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URLhttps://www.foley.com/insights/publications/2023/11/massachusetts-vaccination-criteria-hospitals/
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Meta TitleMassachusetts: Proceed With Caution - New Vaccination Criteria for Hospitals and Other Licensed Health Facilities | Foley & Lardner
Meta DescriptionFollowing public hearings and at least 78 public comments, at the end of October, hospitals and other facilities licensed by the Massachusetts Department of Public Health will have new flexibility to require both flu and COVID-19 vaccinations for personnel, with attendant potential pitfalls to navigate.
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November 7, 2023 Following public hearings and at least 78 public comments, at the end of October, hospitals and other facilities licensed by the Massachusetts Department of Public Health (DPH) will have new flexibility to require  both  flu and COVID-19 vaccinations for personnel, with attendant potential pitfalls to navigate. The DPH’s new  licensure regulations  will permit requiring vaccines for a broad group of personnel, unless the individual declines the vaccine. Importantly, however, the new rules will also allow a hospital (or other DPH-licensed facility) to establish its own vaccination requirements that exceed the state regulations, and our sources tell us that DPH’s informal position is that a hospital may mandate vaccinations as a condition of employment. Massachusetts regulations were modified for each category of affected provider: hospitals, clinics, hospice providers, long-term care facilities, adult day health program and emergency medical services systems.   Promptly after publication of the updated regulations, several Massachusetts hospitals reported that they would be reinstating their vaccine mandates for employees in the Fall of 2023.  The threshold vaccination requirements adopted by the Commonwealth are described below: Each hospital shall provide all personnel with information about the risks and benefits of influenza vaccine and notify all personnel of the new vaccination requirements for both influenza and Covid. This applies to all employees and independent contractors who either work at or come to the licensed facility, whether or not they provide direct patient care. For example, this includes members of the medical staff, contract employees or staff, students, and volunteers. The hospital shall, at no cost to any personnel, provide or arrange for vaccination of all personnel who cannot provide proof of current immunization against influenza, unless an individual declines vaccination.  An individual who declines the vaccine shall sign a statement certifying they are exempt from vaccination and they received information about the risks and benefits of the vaccine. For any individual subject to the exemption, a hospital may require such individual take mitigation measures to prevent viral infection and transmission. Typical accommodations may include, for example, mandatory masking, mandatory testing, and remote work. The DPH will also establish guidelines and vaccine requirements, which guidelines may determine the categories and priorities of personnel to be vaccinated, the influenza vaccine(s) to be administered, the dates by which personnel must be vaccinated; and any related reporting and data collection requirements. DPH will follow Covid vaccination recommendations established by the Centers for Disease Control. A hospital shall not be required to provide or arrange for influenza vaccination during such times that the vaccine is unavailable for purchase, shipment, distribution or administration by a third party, or when complying with a DPH order that restricts the use of the vaccine. A hospital shall require and maintain for each individual proof of current vaccination or the individual’s exemption statement as described above. Each hospital shall maintain a central system to track the vaccination status of all personnel. If a hospital is unable to provide or arrange for influenza vaccination for any individual, it shall document the reasons such vaccination could not be provided or arranged for. Each hospital shall report information to DPH documenting the hospital’s compliance with the personnel vaccination requirements, in accordance with reporting and data collection guidelines of the Commissioner. An unfortunate ambiguity in the published regulation relating to exemptions for individuals who decline vaccination led to concerns that providers may only implement mitigation measures for such individuals, as opposed to terminating their employment or refusing to hire such individuals based on their declination to receive the vaccine. To date, many organizations permitted exemptions only for employees who qualified for an accommodation to the requirement based on a sincerely-held religious belief or a medical condition. The final clause in the new regulations (added in response to industry comments) should be read as permitting providers to mandate vaccination as a condition of employment. (“Nothing in 105 CMR 130 et seq. shall be read to prohibit hospitals from establishing policies and procedures for COVID-19 vaccination of personnel that exceed the requirements set forth in this section.”) This language makes clear that the new regulation is the baseline, not a limiting policy. DPH senior staff have subsequently confirmed that hospitals and other providers may require vaccination as a condition of employment. Making this clarification explicit in the regulation would be a helpful amendment.  While the new regulations support employer discretion in adopting vaccination requirements, hospitals and other providers are advised to consult with counsel and carefully structure their own policies. For example, providers must ensure that employment decisions made pursuant to vaccination programs comply with not only the DPH regulations, but also the applicable non-discrimination laws such as MGL c. 151B and Title VII. A few years post-pandemic, we have gleaned lessons to inform best practices, which Foley addressed in our  earlier post  discussing tips for employers seeking to navigate the religious accommodation process. Foley is here to help you address the short- and long-term impacts in the wake of regulatory changes. We have the resources to help you navigate these and other important legal considerations related to business operations and industry-specific issues. Please reach out to the authors, your Foley relationship partner, or to our  Health Care Practice Group  with any questions. April 14, 2026 Health Care Law Today FDA Clarifies Policies for Pharmacy Compounders of GLP-1 Products On April 1, 2026,the U.S. Food & Drug Administration (FDA) issued a statement clarifying its compliance policy on the  conditions that must be met for compounded drugs to qualify for the exemptions under Sections 503A and 503B of the Federal Food, Drug, and Cosmetic Act (FD&C Act). April 9, 2026 Health Care Law Today Hemp Product Use in Medicare: CMS Greenlights Pilot Program under the Substance Access Beneficiary Engagement Incentive On April 1, 2026, the Centers for Medicare & Medicaid Services (CMS), through the CMS Innovation Center (CMMI), officially launched a new pilot program which allows participants in specific CMS programs to offer eligible hemp products to eligible Medicare beneficiaries. April 9, 2026 Health Care Law Today Structuring Discounts Arrangements in Compliance with Federal Anti-Kickback Law: OIG's Advisory Opinion 25-11 Understanding the regulatory framework for discount arrangements is essential in order to structure such arrangements to be in compliance with the AKS. The recent Office of lnspector General (OIG) Advisory Opinion 25-11 (AO 25-11) provided new insights and flexibilities on structuring discount arrangements and offered some of the most detailed guidance articulated by the OIG regarding permissible discount practices.
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[Share](https://www.addtoany.com/share#url=https%3A%2F%2Fwww.foley.com%2Finsights%2Fpublications%2F2023%2F11%2Fmassachusetts-vaccination-criteria-hospitals%2F&title=Massachusetts%3A%20Proceed%20With%20Caution%20-%20New%20Vaccination%20Criteria%20for%20Hospitals%20and%20Other%20Licensed%20Health%20Facilities%20%7C%20Foley%20%26%20Lardner) [Back to top](https://www.foley.com/insights/publications/2023/11/massachusetts-vaccination-criteria-hospitals/#page) Following public hearings and at least 78 public comments, at the end of October, hospitals and other facilities licensed by the Massachusetts Department of Public Health (DPH) will have new flexibility to require *both* flu and COVID-19 vaccinations for personnel, with attendant potential pitfalls to navigate. The DPH’s new [licensure regulations](https://mhalink.informz.net/mhalink/data/images/105cmr130-dph-final-reg.pdf) will permit requiring vaccines for a broad group of personnel, unless the individual declines the vaccine. Importantly, however, the new rules will also allow a hospital (or other DPH-licensed facility) to establish its own vaccination requirements that exceed the state regulations, and our sources tell us that DPH’s informal position is that a hospital may mandate vaccinations as a condition of employment. Massachusetts regulations were modified for each category of affected provider: hospitals, clinics, hospice providers, long-term care facilities, adult day health program and emergency medical services systems. Promptly after publication of the updated regulations, several Massachusetts hospitals reported that they would be reinstating their vaccine mandates for employees in the Fall of 2023. The threshold vaccination requirements adopted by the Commonwealth are described below: - Each hospital shall provide all personnel with information about the risks and benefits of influenza vaccine and notify all personnel of the new vaccination requirements for both influenza and Covid. - This applies to all employees and independent contractors who either work at or come to the licensed facility, whether or not they provide direct patient care. For example, this includes members of the medical staff, contract employees or staff, students, and volunteers. - The hospital shall, at no cost to any personnel, provide or arrange for vaccination of all personnel who cannot provide proof of current immunization against influenza, unless an individual declines vaccination. - An individual who declines the vaccine shall sign a statement certifying they are exempt from vaccination and they received information about the risks and benefits of the vaccine. - For any individual subject to the exemption, a hospital may require such individual take mitigation measures to prevent viral infection and transmission. Typical accommodations may include, for example, mandatory masking, mandatory testing, and remote work. - The DPH will also establish guidelines and vaccine requirements, which guidelines may determine the categories and priorities of personnel to be vaccinated, the influenza vaccine(s) to be administered, the dates by which personnel must be vaccinated; and any related reporting and data collection requirements. DPH will follow Covid vaccination recommendations established by the Centers for Disease Control. - A hospital shall not be required to provide or arrange for influenza vaccination during such times that the vaccine is unavailable for purchase, shipment, distribution or administration by a third party, or when complying with a DPH order that restricts the use of the vaccine. - A hospital shall require and maintain for each individual proof of current vaccination or the individual’s exemption statement as described above. - Each hospital shall maintain a central system to track the vaccination status of all personnel. If a hospital is unable to provide or arrange for influenza vaccination for any individual, it shall document the reasons such vaccination could not be provided or arranged for. - Each hospital shall report information to DPH documenting the hospital’s compliance with the personnel vaccination requirements, in accordance with reporting and data collection guidelines of the Commissioner. An unfortunate ambiguity in the published regulation relating to exemptions for individuals who decline vaccination led to concerns that providers may only implement mitigation measures for such individuals, as opposed to terminating their employment or refusing to hire such individuals based on their declination to receive the vaccine. To date, many organizations permitted exemptions only for employees who qualified for an accommodation to the requirement based on a sincerely-held religious belief or a medical condition. The final clause in the new regulations (added in response to industry comments) should be read as permitting providers to mandate vaccination as a condition of employment. (“Nothing in 105 CMR 130 et seq. shall be read to prohibit hospitals from establishing policies and procedures for COVID-19 vaccination of personnel that exceed the requirements set forth in this section.”)This language makes clear that the new regulation is the baseline, not a limiting policy. DPH senior staff have subsequently confirmed that hospitals and other providers may require vaccination as a condition of employment. Making this clarification explicit in the regulation would be a helpful amendment. While the new regulations support employer discretion in adopting vaccination requirements, hospitals and other providers are advised to consult with counsel and carefully structure their own policies. For example, providers must ensure that employment decisions made pursuant to vaccination programs comply with not only the DPH regulations, but also the applicable non-discrimination laws such as MGL c. 151B and Title VII. A few years post-pandemic, we have gleaned lessons to inform best practices, which Foley addressed in our [earlier post](https://www.foley.com/en/insights/publications/2022/05/religious-accommodation-challenges-covid) discussing tips for employers seeking to navigate the religious accommodation process. *Foley is here to help you address the short- and long-term impacts in the wake of regulatory changes. We have the resources to help you navigate these and other important legal considerations related to business operations and industry-specific issues. Please reach out to the authors, your Foley relationship partner, or to our* [*Health Care Practice Group*](https://www.foley.com/en/services/practice-areas/corporate/health-care) *with any questions.* [Disclaimer](https://www.foley.com/insights/publications/2023/11/massachusetts-vaccination-criteria-hospitals/#disclaimer) Close This blog is made available by Foley & Lardner LLP (“Foley” or “the Firm”) for informational purposes only. It is not meant to convey the Firm’s legal position on behalf of any client, nor is it intended to convey specific legal advice. Any opinions expressed in this article do not necessarily reflect the views of Foley & Lardner LLP, its partners, or its clients. Accordingly, do not act upon this information without seeking counsel from a licensed attorney. This blog is not intended to create, and receipt of it does not constitute, an attorney-client relationship. Communicating with Foley through this website by email, blog post, or otherwise, does not create an attorney-client relationship for any legal matter. Therefore, any communication or material you transmit to Foley through this blog, whether by email, blog post or any other manner, will not be treated as confidential or proprietary. The information on this blog is published “AS IS” and is not guaranteed to be complete, accurate, and or up-to-date. Foley makes no representations or warranties of any kind, express or implied, as to the operation or content of the site. Foley expressly disclaims all other guarantees, warranties, conditions and representations of any kind, either express or implied, whether arising under any statute, law, commercial use or otherwise, including implied warranties of merchantability, fitness for a particular purpose, title and non-infringement. In no event shall Foley or any of its partners, officers, employees, agents or affiliates be liable, directly or indirectly, under any theory of law (contract, tort, negligence or otherwise), to you or anyone else, for any claims, losses or damages, direct, indirect special, incidental, punitive or consequential, resulting from or occasioned by the creation, use of or reliance on this site (including information and other content) or any third party websites or the information, resources or material accessed through any such websites. In some jurisdictions, the contents of this blog may be considered Attorney Advertising. If applicable, please note that prior results do not guarantee a similar outcome. Photographs are for dramatization purposes only and may include models. Likenesses do not necessarily imply current client, partnership or employee status. Authors - [Lawrence W. Vernaglia](https://www.foley.com/people/vernaglia-lawrence-w/) - [Adria Warren](https://www.foley.com/people/warren-adria/) - [Katharine O. Beattie](https://www.foley.com/people/beattie-katharine-o/) Show More Sectors - [Health Care & Life Sciences](https://www.foley.com/sectors/health-care-life-sciences/) Practice Areas - [Health Care](https://www.foley.com/practice-areas/corporate/health-care/) ## Author(s) ![A middle-aged man with gray hair and glasses, wearing a blue suit jacket and blue shirt, stands in a modern corporate law office—an ideal setting for experienced lawyers in Chicago.](https://www.foley.com/wp-content/uploads/2024/07/Vernaglia_Larry_05835-416x416.jpg) ### [Lawrence W. Vernaglia](https://www.foley.com/insights/publications/2023/11/massachusetts-vaccination-criteria-hospitals/%0A%09%09%09%09https://www.foley.com/people/vernaglia-lawrence-w/%09%09%09%09) [lvernaglia@foley.com](mailto:lvernaglia@foley.com) Boston [617\.342.4079](tel:6173424079) ![A woman with gray hair wearing a navy blazer, teal top, and pearl necklace smiles in an office setting with shelves in the background, reflecting the professionalism often seen in law offices or among lawyers in Chicago.](https://www.foley.com/wp-content/uploads/2023/11/Warren_Adria_05763-416x416.jpg) ### [Adria Warren](https://www.foley.com/insights/publications/2023/11/massachusetts-vaccination-criteria-hospitals/%0A%09%09%09%09https://www.foley.com/people/warren-adria/%09%09%09%09) [awarren@foley.com](mailto:awarren@foley.com) Boston [617\.342.4092](tel:6173424092) ![A woman with long brown hair, wearing a white blazer over a blue top, smiles at the camera against a blurred corporate law office background.](https://www.foley.com/wp-content/uploads/2023/11/Beattie_Katharine_26040-416x416.jpg) ### [Katharine O. Beattie](https://www.foley.com/insights/publications/2023/11/massachusetts-vaccination-criteria-hospitals/%0A%09%09%09%09https://www.foley.com/people/beattie-katharine-o/%09%09%09%09) [kbeattie@foley.com](mailto:kbeattie@foley.com) Boston [617\.226.3136](tel:6172263136) ## Related Insights [View All Posts](https://www.foley.com/insights/category/blogs/health-care-law-today/) [April 14, 2026 Health Care Law Today FDA Clarifies Policies for Pharmacy Compounders of GLP-1 Products On April 1, 2026,the U.S. Food & Drug Administration (FDA) issued a statement clarifying its compliance policy on the conditions that must be met for compounded drugs to qualify for the exemptions under Sections 503A and 503B of the Federal Food, Drug, and Cosmetic Act (FD\&C Act).](https://www.foley.com/insights/publications/2026/04/fda-clarifies-policies-for-pharmacy-compounders-of-glp-1-products/) [April 9, 2026 Health Care Law Today Hemp Product Use in Medicare: CMS Greenlights Pilot Program under the Substance Access Beneficiary Engagement Incentive On April 1, 2026, the Centers for Medicare & Medicaid Services (CMS), through the CMS Innovation Center (CMMI), officially launched a new pilot program which allows participants in specific CMS programs to offer eligible hemp products to eligible Medicare beneficiaries.](https://www.foley.com/insights/publications/2026/04/hemp-product-use-in-medicare-cms-greenlights-pilot-program-under-the-substance-access-beneficiary-engagement-incentive/) [April 9, 2026 Health Care Law Today Structuring Discounts Arrangements in Compliance with Federal Anti-Kickback Law: OIG's Advisory Opinion 25-11 Understanding the regulatory framework for discount arrangements is essential in order to structure such arrangements to be in compliance with the AKS. The recent Office of lnspector General (OIG) Advisory Opinion 25-11 (AO 25-11) provided new insights and flexibilities on structuring discount arrangements and offered some of the most detailed guidance articulated by the OIG regarding permissible discount practices.](https://www.foley.com/insights/publications/2026/04/structuring-discounts-arrangements-in-compliance-with-federal-anti-kickback-law-oigs-advisory-opinion-25-11/) [![Foley and Lardner Logo](https://www.foley.com/wp-content/uploads/2023/06/foley-logo-white.svg)](https://www.foley.com/) We look beyond the law to focus on the constantly evolving demands facing our clients. 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Readable Markdown
November 7, 2023 ![View of downtown Boston at sunset, featuring the illuminated Massachusetts State House with its golden dome and adjacent city park—a picturesque scene that even lawyers in Chicago would admire.](https://www.foley.com/wp-content/uploads/2023/09/massachusettscapitol860x360.jpg) Following public hearings and at least 78 public comments, at the end of October, hospitals and other facilities licensed by the Massachusetts Department of Public Health (DPH) will have new flexibility to require *both* flu and COVID-19 vaccinations for personnel, with attendant potential pitfalls to navigate. The DPH’s new [licensure regulations](https://mhalink.informz.net/mhalink/data/images/105cmr130-dph-final-reg.pdf) will permit requiring vaccines for a broad group of personnel, unless the individual declines the vaccine. Importantly, however, the new rules will also allow a hospital (or other DPH-licensed facility) to establish its own vaccination requirements that exceed the state regulations, and our sources tell us that DPH’s informal position is that a hospital may mandate vaccinations as a condition of employment. Massachusetts regulations were modified for each category of affected provider: hospitals, clinics, hospice providers, long-term care facilities, adult day health program and emergency medical services systems. Promptly after publication of the updated regulations, several Massachusetts hospitals reported that they would be reinstating their vaccine mandates for employees in the Fall of 2023. The threshold vaccination requirements adopted by the Commonwealth are described below: - Each hospital shall provide all personnel with information about the risks and benefits of influenza vaccine and notify all personnel of the new vaccination requirements for both influenza and Covid. - This applies to all employees and independent contractors who either work at or come to the licensed facility, whether or not they provide direct patient care. For example, this includes members of the medical staff, contract employees or staff, students, and volunteers. - The hospital shall, at no cost to any personnel, provide or arrange for vaccination of all personnel who cannot provide proof of current immunization against influenza, unless an individual declines vaccination. - An individual who declines the vaccine shall sign a statement certifying they are exempt from vaccination and they received information about the risks and benefits of the vaccine. - For any individual subject to the exemption, a hospital may require such individual take mitigation measures to prevent viral infection and transmission. Typical accommodations may include, for example, mandatory masking, mandatory testing, and remote work. - The DPH will also establish guidelines and vaccine requirements, which guidelines may determine the categories and priorities of personnel to be vaccinated, the influenza vaccine(s) to be administered, the dates by which personnel must be vaccinated; and any related reporting and data collection requirements. DPH will follow Covid vaccination recommendations established by the Centers for Disease Control. - A hospital shall not be required to provide or arrange for influenza vaccination during such times that the vaccine is unavailable for purchase, shipment, distribution or administration by a third party, or when complying with a DPH order that restricts the use of the vaccine. - A hospital shall require and maintain for each individual proof of current vaccination or the individual’s exemption statement as described above. - Each hospital shall maintain a central system to track the vaccination status of all personnel. If a hospital is unable to provide or arrange for influenza vaccination for any individual, it shall document the reasons such vaccination could not be provided or arranged for. - Each hospital shall report information to DPH documenting the hospital’s compliance with the personnel vaccination requirements, in accordance with reporting and data collection guidelines of the Commissioner. An unfortunate ambiguity in the published regulation relating to exemptions for individuals who decline vaccination led to concerns that providers may only implement mitigation measures for such individuals, as opposed to terminating their employment or refusing to hire such individuals based on their declination to receive the vaccine. To date, many organizations permitted exemptions only for employees who qualified for an accommodation to the requirement based on a sincerely-held religious belief or a medical condition. The final clause in the new regulations (added in response to industry comments) should be read as permitting providers to mandate vaccination as a condition of employment. (“Nothing in 105 CMR 130 et seq. shall be read to prohibit hospitals from establishing policies and procedures for COVID-19 vaccination of personnel that exceed the requirements set forth in this section.”)This language makes clear that the new regulation is the baseline, not a limiting policy. DPH senior staff have subsequently confirmed that hospitals and other providers may require vaccination as a condition of employment. Making this clarification explicit in the regulation would be a helpful amendment. While the new regulations support employer discretion in adopting vaccination requirements, hospitals and other providers are advised to consult with counsel and carefully structure their own policies. For example, providers must ensure that employment decisions made pursuant to vaccination programs comply with not only the DPH regulations, but also the applicable non-discrimination laws such as MGL c. 151B and Title VII. A few years post-pandemic, we have gleaned lessons to inform best practices, which Foley addressed in our [earlier post](https://www.foley.com/en/insights/publications/2022/05/religious-accommodation-challenges-covid) discussing tips for employers seeking to navigate the religious accommodation process. *Foley is here to help you address the short- and long-term impacts in the wake of regulatory changes. We have the resources to help you navigate these and other important legal considerations related to business operations and industry-specific issues. Please reach out to the authors, your Foley relationship partner, or to our* [*Health Care Practice Group*](https://www.foley.com/en/services/practice-areas/corporate/health-care) *with any questions.* [April 14, 2026 Health Care Law Today FDA Clarifies Policies for Pharmacy Compounders of GLP-1 Products On April 1, 2026,the U.S. Food & Drug Administration (FDA) issued a statement clarifying its compliance policy on the conditions that must be met for compounded drugs to qualify for the exemptions under Sections 503A and 503B of the Federal Food, Drug, and Cosmetic Act (FD\&C Act).](https://www.foley.com/insights/publications/2026/04/fda-clarifies-policies-for-pharmacy-compounders-of-glp-1-products/) [April 9, 2026 Health Care Law Today Hemp Product Use in Medicare: CMS Greenlights Pilot Program under the Substance Access Beneficiary Engagement Incentive On April 1, 2026, the Centers for Medicare & Medicaid Services (CMS), through the CMS Innovation Center (CMMI), officially launched a new pilot program which allows participants in specific CMS programs to offer eligible hemp products to eligible Medicare beneficiaries.](https://www.foley.com/insights/publications/2026/04/hemp-product-use-in-medicare-cms-greenlights-pilot-program-under-the-substance-access-beneficiary-engagement-incentive/) [April 9, 2026 Health Care Law Today Structuring Discounts Arrangements in Compliance with Federal Anti-Kickback Law: OIG's Advisory Opinion 25-11 Understanding the regulatory framework for discount arrangements is essential in order to structure such arrangements to be in compliance with the AKS. The recent Office of lnspector General (OIG) Advisory Opinion 25-11 (AO 25-11) provided new insights and flexibilities on structuring discount arrangements and offered some of the most detailed guidance articulated by the OIG regarding permissible discount practices.](https://www.foley.com/insights/publications/2026/04/structuring-discounts-arrangements-in-compliance-with-federal-anti-kickback-law-oigs-advisory-opinion-25-11/)
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