Our previous information memo discussed several issues that employers should be aware of when considering whether to provide an incentive to employees to encourage them to receive the COVID-19 vaccine. On May 28, 2021, the Equal Employment Opportunity Commission (EEOC) issued updated guidance to employers on workplace COVID-19 vaccination policies, including guidance on employer-offered COVID-19 vaccine incentives.

Notably, the updated EEOC guidance provides the following: 

The updated EEOC guidance does not discuss the Health Insurance Portability and Accountability Act’s (HIPAA) nondiscrimination requirements that are likely applicable to employer-offered COVID-19 vaccine incentive programs. As described in more detail in our previous information memo, the HIPAA nondiscrimination rules impose incentive limitations (in addition to the ADA incentive limitations described above), and other requirements on such programs.

Employers considering offering vaccination incentives should review the updated guidance and other applicable legal requirements to ensure that their incentive arrangement is compliant. 

If you have any questions, please contact Daniel J. Nugent, any attorney in our Employee Benefits and Executive Compensation practice or the attorney at the firm with whom you are regularly in contact.