(Q3) OSHA and FTC (pg. 19,20,21,22) Flashcards

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1
Q

Enactment of OSHA

A
  • Enactment and Enforcement in 1970,
  • Under the dept. of Labor
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2
Q

Purpose of OSHA

A

protect employees and the public

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3
Q

General OSHA Standards for Businesses

A
  • lighted exit signs
  • fire extinguishers
  • covering of electrical cords
  • protective bars around
  • mechanical equipment.
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4
Q

Specific Standards Applicable to Funeral Homes

A
  • formaldehyde monitoring (1988): PEL for TWA (.75), STEL (2.0), ACTION LEVEL (.5)
  • hazardous communication (1988):Disclosure law about hazardous chemicals for protection of employees
  • blood borne pathogens(1988): provide Hepatitis B vaccination and other requirements. Also, a disclosure law regarding diseases.
  • needlestick safety and prevention act of 2000:Requires F.H. to have needlestick exposure control plan updated annually and Sharps container requirements.
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5
Q

When must funeral homes have OSHA training?

A

All OSHA standards require yearly employee training with training records to be kept for 5 years.

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6
Q

How long must funeral homes keep the medical records of their employees?

A

Medical records must be kept for 30 years from date employee left work for whatever reason

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7
Q

Consequences for the Failure to Comply with OSHA Standards

A

– fines of up to $15000.00 per violation and other reprimands
- Officials make announced visits, sometimes.
- A violation is reported to the district manager who normally will contact the F.H. and discuss corrective action
- Some complaints can be made by disgruntled employee

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8
Q

Enactment of FTC

A
  • Enactment in 1984
  • amended in 1994
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9
Q

Purpose of the FTC Funeral rule

A

to protect the customer (families)

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10
Q

General Price List (GPL) requirements from FTC

A
  • Heading : name, address and phone number of F.H., GPL and effective date
  • Must be a list of 16 goods and services separately priced that the funeral home offers
  • Six mandatory disclosures on GPL
  • Basic service charge
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11
Q

What are the Six Mandatory Disclosures Required on the GPL?

A
  1. choice of goods and services
  2. non-declinable service fee
  3. embalming disclosure
  4. availability of casket price list
  5. availability of OBCPL
  6. alternative containers for direct cremation
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12
Q

FTC Requirements for the Casket Price List (CPL)

A
  • CPL must have name of funeral home, title, effective date and include any alternative containers and any caskets offered for sale.
  • Does not have any mandatory disclosures
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13
Q

FTC Requirements for the Outer Burial Container Price List (OBCPL)

A
  • OBCPL must have name of funeral home, title, effective date and any outer burial containers offered for sale
  • 1 mandatory disclosure: Outer Burial Containers are not required by law but may be a cemetery requirement
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14
Q

FTC Requirements for the Statement of Funeral Home Goods and Services Selected (SFGSS)

A

a) mandatory disclosures
1. listing of legal or other requirements
2. embalming approval needs to be signed
3. marked up cash advances
b) prices must match exactly as those on the GPL
c) must be presented and given at the conclusion of the arrangement conference

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15
Q

What must a funeral director do if asked about prices?

A

Whenever there is a “face to face conversation about your goods or services or their prices, the funeral director must present a GPL

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16
Q

What must a funeral director do if asked about caskets or outer burial containers?

A

whenever there is a face to face conversation of caskets or their prices a price list must be presented
- before showing any caskets and/or outer burial containers, a price list must be presented

17
Q

Phone Disclosures

A
  • must give accurate responses to inquires of caller.
  • Can not require the caller to identify themselves
  • Do not have to mail GPL/CPL/OBCPL if requested, but may do so
18
Q

Tying Arrangements

A
  • Requiring the consumer to buy unwanted goods/services to receive the wanted goods/services
  • This is illegal
19
Q

Retention of Price Lists and SFGSS

A

all price lists and the statement must be kept for at least one year from the date last used or distributed

20
Q

Enforcement by the FTC

A
  • unannounced visits or phone calls by “pretend “mourners.
  • Violations enforced by Attorney General.
  • Fines can be from $15000 on up.
21
Q

What is FROP?

A
  • Funeral Rule Offenders Program
  • can request to take this program rather than pay the fine but program is expensive and may not be offered to repeat offenders. It also can be for a fairly long period of time