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Guidance, which includes a vaccine mandate for “covered contractor employees” at “covered contractor workplaces” has been issued by the Safer Federal Workforce Taskforce, established earlier this year by Presidential Executive Order. The FAR Rule implementing the requirement to comply with the Guidance will be issued by October 8, and FAR Deviation Clause guidance already is being issued to allow contracting agencies to include the requirements in both new and existing contracts. The Guidance requires covered employees to be fully vaccinated by December 8, 2021, and urges contracting agencies to expand contract coverage beyond the requirements of the EO.
Join attorneys from Jackson Lewis P.C. on this fast-moving issue to discuss the vaccine mandate, coverage and timing issues, legally required accommodations, other compliance challenges, and best practices
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