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11 <br />vii. Training. Each Non-Critical Business must ensure that training is <br />provided to workers on the contents of its Plan and required <br />procedures, so that all workers understand and are able to perform the <br />precautions necessary to protect themselves and their co-workers. This <br />training should be easy to understand and available in the appropriate <br />language and literacy level for all workers. Businesses should also take <br />steps to supervise workers and ensure that workers understand and <br />adhere to necessary precautions to prevent COVID-19 transmission. <br />Documentation demonstrating compliance with this training <br />requirement must be maintained and made available to regulatory <br />authorities and public safety officers, including DLI, upon request. <br />viii. Compliance. Workers and management must work together to ensure <br />compliance with the Plan, implement all protocols, policies, and <br />procedures, and create a safe and healthy work environment. <br />ix. Availability to regulatory authorities and public safety officers. <br />Non-Critical Businesses do not need to submit their Plans for <br />preapproval. Upon request, Non-Critical Businesses must make their <br />Plans available to regulatory authorities and public safety officers, <br />including DLI. <br />x. In the event of a complaint or dispute related to a Non-Critical <br />Business’s Plan, DLI is authorized to determine whether the Plan <br />adequately implements the applicable guidance, Minnesota OSHA <br />Standards and MDH and CDC Guidelines in its workplaces. <br />f. Youth Programs. This Executive Order intends to allow as many summer <br />programs for youth as can safely be provided. Youth Programs intending to <br />operate must do so in accordance with the following requirements: <br />i. “Youth Programs” means programs providing care or enrichment to <br />children or adolescents such as day camps, summer activities, and <br />recreational or educational classes that require registration and have <br />on-site supervision. “Youth Programs” does not include licensed child <br />care facilities or school-district summer learning programs. <br />ii. Youth Programs must adhere to the requirements set forth in paragraph <br />7.e of this Executive Order, including development and <br />implementation of a COVID-19 Preparedness Plan in accordance with <br />guidance for youth and student programs available on MDH’s website <br />(https://www.health.state.mn.us/diseases/coronavirus/schools/). <br />COVID-19 Preparedness Plans must be distributed, available for <br />review, and followed by participants and their parents or guardians. <br />iii. Youth Programs must comply with any public health restrictions <br />implemented by the manager or owner of property or facilities used by