Hand sinks: Often Taken for Granted, but an Essential Part to Effective Hand Hygiene

Late in January, I received a question about hand sinks in a foodservice operation.  The question pertained to school staff (teachers and aides) who were using a hand washing sink in the school kitchen.  The question came as a matter of who was allowed access to the kitchen to use the sink, but the question itself caused me to go down a rabbit hole of requirements for hand washing sinks in foodservice operations.

Hand sinks are, perhaps, taken for granted by many managers, supervisors, and employees in foodservice operations when it comes to reviewing hand washing effectiveness. They are easy to take for granted, until they are not working. Even in these blogs, we’ve focused on the correct procedure for washing your hands, when to wash hands, and hand washing supplies, but we don’t often focus on the hand sink.

The FDA Model Food Code states at least one hand sink should be available to employees.  Further recommendations are that the sink should be convenient for employees who participate in food preparation, dispensing, and ware washing and there should be a hand sink immediately adjacent to restrooms.


…employees are more likely to wash their hands if the operation has more than one handwashing sink and/or a sink is located within the sight of the employee.


Our previous research has found that one big barrier to employees washing their hands is how convenient the sink is to their work area. Remember that your definition of convenient and your employees may very well differ. I once had one of my employees tell me that he can’t wash his hands as many times as he would need to by “the code”, simply because it takes too much time, and we expected him to get food out to our guests in a timely manner.  Even though our management team thought that both hand washing sinks in the kitchen were convenient for all of our employees, employee perception didn’t agree – and it was the employees’ perception that really mattered as they were the ones working in that area 40 hours a week.

Other research in the field has also found employees are more likely to wash their hands if the operation has more than one hand washing sink and/or a sink is located within the sight of the employee. So how many is enough in your operation?  The food code doesn’t give a straight answer to that question because it really does depend on your business.  For a small-scale, limited production kitchen, one sink may very well be enough.  However, for larger operations with complex food production, many sinks would be desired and recommended.

Solid recommendations on the number of sinks required are difficult to come by.  Foodservice Equipment and Supplies Magazine noted that you should allow one hand sink for every five employees working in your kitchen at a time.  Further, they noted that one hand sink should be planned for every 300 square feet of kitchen space, and one hand sink for each foodservice preparation and/or cooking area.  These recommendations align with research in the area and would certainly mean that the hand washing sink is convenient and in view of each employee in the production area.

While this is great information to have, many who are reading this are likely dealing with kitchens that are already built and unable to easily renovate spaces to accommodate more hand washing sinks. In this case, it is imperative that we try to reinforce the importance of hand washing with our employees and remove any barriers they may have to washing their hands. Only then will employees start to change their behaviors and improve hand washing compliance.

Later this month, be on the lookout for the SafeBites Webinar Series announcements for 2023.  We have an exciting set of webinars that we are planning this year. In the meantime, if you have any food safety questions, we are a quick email away and would be happy to assist. Risk Nothing. 

Keeping Food Safe While Serving Outdoors

This afternoon I met some friends for lunch and as I drove through our beautiful downtown area in Manhattan, KS, I noticed that many people were taking advantage of the gorgeous weather and dining outside with friends. For our local community - outdoor dining is one of the remnants of COVID that we actually have come to enjoy on beautiful days. With spring in full swing and summer just around the corner, many foodservice operations are taking advantage of the warm weather by offering outdoor dining options.

The Importance of Air Gaps in Providing Safe Food to All

Late last month, I was exploring job tasks that are important for entry-level foodservice managers to understand related to food safety.  The usual items that you would suspect were on the list were certainly included – foodborne outbreaks; temperature danger zone; physical, biological, and chemical contamination; personal hygiene and proper glove use; HACCP systems, etc. But one thing I noticed was missing that really is integral to protecting the food supply in any foodservice operation is air gaps.

Flour Safety: Don’t Let E. coli become the Secret Ingredient in your Cake.

Earlier this month, we started to see information coming out about a foodborne illness outbreak from an unlikely source – flour. As of early-April, 12 people had fallen ill, and three people had been hospitalized as a result of flour contaminated with Salmonella. While the outbreak is still in its early stages, no individuals have died because of their illness. A specific source has not yet been identified in the outbreak, but all who have fallen ill have reported eating raw batter or dough due before developing symptoms – and flour has been identified as the only common ingredient in these batters and doughs.

Be Proactive and Don’t End Up in Food Safety Jail!

Ok, I admit – there really is no food safety jail. But there is jail and, while it is uncommon, you can be sent there for not practicing food safety. Just the other day, I ran across a news report about two individuals in Wales who were sent to jail (albeit a suspended sentence) for “failing to take action to protect food from the risk of contamination; placing unsafe food on the market; failing to comply with a Remedial Action Notice and operating the business without approval after permission to supply seafood was suspended.”