Person in Charge has Major Role Related to Employee Health

In the last blog, we talked about the importance of having healthy employees working in a foodservice operation and how that is related to foodborne illness. In this blog, we discuss employee health controls, one of five key public health interventions needed to control for risk factors of foodborne illness. The purpose of this control is to minimize the possibility that employees contaminate food. That means that employees need to be healthy, and that they report any symptoms or illnesses that might impact the safety of food served to customers.

The person-in-charge plays a major role in implementing employee health controls. First and foremost, the PIC needs to understand why employee health is important and its impact on the foodservice operation, what must be reported, when employees should be excluded or restricted from work, when they can return to work, and what must be reported to the regulatory agency.

Second, the PIC must communicate the responsibilities to employees, and must have documentation that employees know what they should do. Each foodservice operation must have written documentation to verify:

  1. Implementation of an employee health policy. Remember how we keep saying that written standard operating procedures are so important? This is a case in point. Your policy should include what should be reported and to whom. It should outline basic guidelines on when an employee can return to work.
  2. ALL employees are informed of their responsibility to report symptoms and illness.
  3. A training curriculum is established and rosters showing that employees have completed the training.

Note: Some managers have employees sign an agreement indicating they have received this information. One resource is Form 1-B, which is included in Annex 7 of the 2017 FDA Food Code (link).   It is designed to be used in training and is signed and dated by the employee. This form would serve as documentation that the employee was told about his/her responsibility to report symptoms/illnesses. This form can be used as is, or modified for specific needs of an operation.

Third, the PIC has the responsibility to report some illnesses to the regulatory agency. Additionally, it should be reported if an employee is jaundiced or if they have one of the diagnoses listed on the previous blog.

Exclusion and Restriction

Exclusion means that an employee is not allowed to work, or even enter, a foodservice operation as a food employee. Restriction means that an employee’s activities are limited to prevent transmitting a disease through food. That means that an employee with restriction can’t work with exposed food, clean equipment, linens, or unwrapped single-service/use items.

How do you know when to remove exclusions and restrictions? Section 2-201.13 of the Food Code specifies when removing exclusions and restrictions can occur. It varies based on the diagnosis. For example, in some cases the individuals just has to be asymptomatic for 24 hours, while in other cases the employee must provide documentation that they can return to work from a health practitioner. Also, there is extensive information and discussion about employee health in Annex 3 of the Food Code.

There are many good resources available from Cooperative Extension and professional organizations to assist with communicating elements of an employee health policy. FoodHandler has videos and signage to reinforce fundamental messages about handwashing and avoidance of bare hand contact with foods. A SafeBites webinar on Standard Operating Procedures is also available.

Bottom line—employee health is the responsibility of both the employees and the person in charge. The person in charge has the responsibility to set the work place rules and monitor that they are followed. Be sure that the guidance in the Food Code is followed in your foodservice to minimize the risk for contamination. 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.”