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Reports
COVID-19: ETA Should Continue To Closely Monitor Impact On Job Corps Program
To safeguard the health of students and staff still at centers, Job Corps should continue to follow CDC, state, local and Job Corps’ COVID-19 prevention and mitigation guidance.
Job Corps should continue monitoring the number of individuals testing positive, provide oversight to ensure the appropriate actions are completed, and take any necessary steps to contain the spread of COVID-19 at its centers.
Job Corps should ensure centers provide needed resources to address the learning needs of all students, including students who require reasonable accommodations, hands-on-instruction, and special equipment to learn.
Job Corps should develop a plan to help ensure all students still at centers and learning remotely have the necessary resources (e.g., laptops, paper packets) to continue to receive training while center campuses remain closed.
Prior to reopening campuses, Job Corps should ensure all centers have proper controls in place to adhere to federal, state, local and other guidelines – from physical distancing to having ample disinfectant, cleaning and PPE supplies.
COVID-19: MSHA Faces Multiple Challenges in Responding to The Pandemic
We recommend the Assistant Secretary for Mine Safety and Health monitor the potential backlog of suspended and reduced enforcement activities and develop a plan to manage the backlog once full operations resume.
We recommend the Assistant Secretary for Mine Safety and Health monitor the COVID-19 outbreaks at mines and use that information to reevaluate the decision not to issue an emergency temporary standard related to the pandemic.
COVID-19: OWCP Should Continue to Closely Monitor Impact on Claims Processing
DFEC should continue to monitor non-COVID claims for delays and other potential impacts, particularly for its opioid population who may be at risk while resources are re-allocated to focus on the program’s response to COVID-19.
DFEC should closely monitor any delays that occur in requesting FERS Offset Calculations from SSA for potential benefit overpayments to claimants as well as any impact a backlog could have on its ability to timely process claims.
DCMWC should issue written guidance to clarify how authorization for rehabilitation services will be handled during the pandemic.
DEEOIC should continue to monitor delays and performance data for potential impact from the pandemic and, if needed, take appropriate action to mitigate that impact.
DLHWC should continue to monitor disputes and controversions arising from COVID-19 claims and assess performance data for potential impact from the pandemic and, if needed, take appropriate action to mitigate that impact.