Reporting and Record Keeping Procedures for Employee Drug Testing
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Part and parcel of the imperatives to ensure a drug free workplace is the need to protect the privacy of all employees, particularly on matters of health and, in some cases, substance abuse. This includes not only who has access to urine test results, but how records are kept to maintain controls on that access.
First, every employer must have a designated Medical Review Officer (MRO), who is by definition a medical or osteopathic doctor (MD or OD) operating under the regulated responsibilities of the Mandatory Guidelines for Federal Workplace Drug Testing Programs using Urine. MROs also need specialized training specifically to review and verify federally mandated drug testing results.
Beyond review and verification, urine test results have to be managed according to federal regulations for reporting and recordkeeping. These requirements fall on the MRO as well, and include the following:
1. Documentation of all written and oral communications with tested individuals (“donors”), collectors, federal agency representatives, and laboratory personnel.
2. Oversee retention and storage of drug test records to ensure the confidentiality, integrity, and available of the data.
3. Limit access to any data transmission, storage and retrieval system. This requires the MRO to have a record management procedure to ensure proper disposition of those records, which includes a plan to ensure maintenance of the records even in the case of a business discontinuation.
4. Honor requests from a donor, provided in a written request, to access records of his or her drug test.
5. Honor a subpoena or court order for access to the records, if needed.
6. The drug test results must be retained for a minimum of 2 years from the date of collection. Hardcopy records can be destroyed after 6 months when a conversion to electronic records is made.
7. Any reporting of a drug test result should include the donor’s name, plus social security number or employee ID number, the specimen ID number, and result of the test. If the collector makes relevant comments, those comments should be included in the report.
The comprehensive list of the process the MRO must follow is:
• Review of documents
• Interview of the tested employee (“donor”), if a positive result occurs or there is a “failure to test”
• Interpretation and verification of the results
• Documentation and recordkeeping (as described above)
• Reporting the drug test to the designative representative
• Maintenance of confidentiality
The procedures benefit employees and employers alike
As should be clear, these procedures are strictly defined and maintained. The matter of
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