As of 2010, nearly 26 million Americans have diabetes (1), most of whom are or wish to be participating members of the workforce.
Diabetes usually has no impact on an individual's ability to do a particular job,
and indeed an employer may not even know that a given employee has diabetes. In 1984,
the American Diabetes Association adopted the following position on employment: Questions are sometimes raised by employers about the safety and
effectiveness of individuals with diabetes in a given job. When such questions are
legitimately raised, a person with diabetes should be individually assessed to determine
whether or not that person can safely and effectively perform the particular duties of
the job in question. This document provides a general set of guidelines for evaluating
individuals with diabetes for employment, including how an assessment should be
performed and what changes (accommodations) in the workplace may be needed for an
individual with diabetes.Any person with diabetes, whether insulin [treated] or
non–insulin [treated], should be eligible for any
employment for which he/she is otherwise qualified.
I. EVALUATING INDIVIDUALS WITH DIABETES FOR EMPLOYMENT
It was once common practice to restrict individuals with diabetes from certain jobs
or classes of employment solely because of the diagnosis of diabetes or the use of
insulin, without regard to an individual's abilities or circumstances. Such
“blanket bans” are medically inappropriate and ignore the many
advancements in diabetes management that range from the types of medications used to
the tools used to administer them and to monitor blood glucose levels.Employment decisions should not be based on generalizations or stereotypes regarding
the effects of diabetes. The impact of diabetes and its management varies widely
among individuals. Therefore, a proper assessment of individual candidates for
employment or current employees must take this variability into account.In addition, federal and state laws require employers to make decisions that are
based on assessment of the circumstances and capabilities of the individual with
diabetes for the particular job in question (2,3). Application of blanket
policies to individuals with diabetes results in people with diabetes being denied
employment for which they are well qualified and fully capable of performing
effectively and safely. It should be noted that, as a result of amendments to the
Americans with Disabilities Act, which became effective on 1 January 2009, all
persons with diabetes are considered to have a “disability” within the
meaning of that law. This is because, among other reasons, diabetes constitutes a
substantial limitation on endocrine system functioning—the Act was amended to
extend its coverage to persons with a substantial limitation in, among other things,
a major bodily function, such as the endocrine system. Therefore, persons with
diabetes are protected from discrimination in employment and other areas. The
amendments overturned a series of Supreme Court decisions that had severely narrowed
who was covered by the law and resulted in many people with diabetes and other
chronic illnesses being denied protection from discrimination. This section provides
an overview of the factors relevant to a medically appropriate individualized
assessment of the candidate or employee with diabetes.
Role of diabetes health care professionals
When questions arise about the medical fitness of a person with diabetes for a
particular job, a health care professional with expertise in treating diabetes
should perform an individualized assessment. The involvement of the diabetes
health care professional should occur before any adverse employment decision,
such as failure to hire or promote or termination. A health professional who is
familiar with the person with diabetes and who has expertise in treating
diabetes is best able to perform such an assessment. In some situations and in
complex cases, an endocrinologist or a physician who specializes in treating
diabetes or its complications is the best qualified health professional to
assume this responsibility (4). The
individual's treating physician is generally the health care professional
with the best knowledge of an individual's diabetes. Thus, even when the
employer utilizes its own physician to perform the evaluation, the opinions of
the treating physician and other health care professionals with clinical
expertise in diabetes should be sought out and carefully considered. In
situations where there is disagreement between the opinion of the
employee's treating physician and that of the employer's physician,
the evaluation should be handed over to an independent health care professional
with significant clinical expertise in diabetes.
Individual assessment
A medical evaluation of an individual with diabetes may occur only in limited
circumstances (3). Employers may not
inquire about an individual's health status—directly or indirectly
and regardless of the type of job—before making a job offer, but may
require a medical examination or make a medical inquiry once an offer of
employment has been extended and before the individual begins the job. The job
offer may be conditioned on the results of the medical inquiry or examination.
An employer may withdraw an offer from an applicant with diabetes only if it
becomes clear that he or she cannot do the essential functions of the job or
would pose a direct threat (i.e., a significant risk of substantial harm) to
health or safety and such threat could not be eliminated with an accommodation
(a workplace change that enables a worker with a disability to safely and
effectively perform job duties). Another situation in which a medical evaluation
is permissible is when a problem potentially related to the employee's
diabetes arises on the job and such problem could affect job performance and/or
safety. In this situation, a physician may be asked to evaluate the
employee's fitness to remain on the job and/or his or her ability to safely
perform the job.Employers also may obtain medical information about an employee when the employee
has requested an accomodation and his or her disability or need for
accommodation is not obvious. An employer should not rely on a medical
evaluation to deny an employment opportunity to an individual with diabetes
unless it is conducted by a health care professional with expertise in diabetes
and based on sufficient and appropriate medical data. The information sought and
assessed must be properly limited to data relevant to the individual's
diabetes and job performance (3). The data
needed will vary depending on the type of job and the reason for the evaluation,
but an evaluation should never be made based only on one piece of data, such as
a single blood glucose result or A1C result. Since diabetes is a chronic disease
in which health status and management requirements naturally change over time,
it is inappropriate—and medically unnecessary—for examiners to
collect all past laboratory values or information regarding office visits
whether or not related to diabetes. Only medical information relevant to
evaluating an individual's current capacity for safe performance of the
particular job at issue should be collected. For example, in some circumstances
a review of an individual's hypoglycemia history may be relevant to the
evaluation and should be collected.Information about the individual's diabetes management (such as the current
treatment regimen, medications, and blood glucose logs), job duties, and work
environment are all relevant factors to be considered. Only health care
professionals tasked with such evaluations should have access to employee
medical information, and this information must be kept separate from personnel
records (3).
Screening guidelines
A number of screening guidelines for evaluating individuals with diabetes in
various types of high risk jobs have been developed in recent years. Examples
include the American College of Occupational and Environmental Medicine's
National Consensus Guideline for the Medical Evaluation of Law Enforcement
Officers, the National Fire Protection Association's Standard on
Comprehensive Occupational Medical Program for Fire Departments, the U.S.
Department of Transportation's Federal Motor Carrier Safety
Administration's Diabetes Exemption Program, and the U.S. Marshall Service
and Federal Occupational Health Law Enforcement Program Diabetes Protocol.Such guidelines and protocols can be useful tools in making decisions about
individual candidates or employees if they are used in an objective way and
based on the latest scientific knowledge about diabetes and its management.
These protocols should be regularly reevaluated and updated to reflect changes
in diabetes knowledge and evidence and should be developed and reviewed by
health care professionals with significant experience in diabetes and its
treatment. Individuals who do not meet the standards set forth in such protocols
should be given the opportunity to demonstrate exceptional circumstances that
would justify deviating from the guidelines. Such guidelines or protocols are
not absolute criteria but rather the framework for a thorough individualized
assessment.People with diabetes should be individually considered for employment
based on the requirements of the specific job and the individual's
medical condition, treatment regimen, and medical history. (E)When questions arise about the medical fitness of a person with diabetes
for a particular job, a health care professional with expertise in
treating diabetes should perform an individualized assessment; input
from the treating physician should always be included. (E)Employment evaluations should be based on sufficient and appropriate
medical data and should never be made based solely on one piece of data.
(E)Screening guidelines and protocols can be useful tools in making
decisions about employment if they are used in an objective way and
based on the latest scientific knowledge about diabetes and its
management. (E)
II. EVALUATING THE SAFETY RISK OF EMPLOYEES WITH DIABETES
Employers who deny job opportunities because they perceive all people with diabetes
to be a safety risk do so based on misconceptions, misinformation, or a lack of
current information about diabetes. The following guidelines provide information for
evaluating an individual with diabetes who works or seeks to work in what may be
considered a safety-sensitive position.
Safety concerns
The first step in evaluating safety concerns is to determine whether the concerns
are reasonable in light of the job duties the individual must perform. For most
types of employment (such as jobs in an office, retail, or food service
environment) there is no reason to believe that the individual's diabetes
will put employees or the public at risk. In other types of employment (such as
jobs where the individual must carry a firearm or operate dangerous machinery)
the safety concern is whether the employee will become suddenly disoriented or
incapacitated. Such episodes, which are usually due to severely low blood
glucose (hypoglycemia), occur only in people receiving certain treatments such
as insulin or secretagogues such as sulfonylureas and even then occur
infrequently. Workplace accommodations can be made that are minimal yet
effective in helping the individual to manage his or her diabetes on the job and
avoid severe hypoglycemia.
Hypoglycemia
Hypoglycemia is defined as a blood glucose level <70 mg/dl (4,6).
It is a potential side effect of some diabetes treatments, including insulin and
sulfonlyureas. It can usually be effectively self-treated by ingestion of
glucose (carbohydrate) and is not often associated with loss of consciousness or
a seizure. Severe hypoglycemia, requiring the assistance of another person, is a
medical emergency. Symptoms of severe hypoglycemia may include confusion or,
rarely, seizure or loss of consciousness (6). Most individuals with diabetes never experience an episode of
severe hypoglycemia because either they are not on medication that causes it or
they recognize the early warning signs and can quickly self-treat the problem by
drinking or eating. Also, with self-monitoring of blood glucose levels, most
people with diabetes can manage their condition in such a manner that there is
minimal risk of incapacitation from hypoglycemia because mildly low glucose
levels can be easily detected and treated (4,7).A single episode of severe hypoglycemia should not per se disqualify an
individual from employment. Rather, an appropriate evaluation should be
undertaken by a health care professional with expertise in diabetes to determine
the cause of the low blood glucose, the circumstances of the episode, whether it
was an isolated incident, whether adjustment to the insulin regimen may mitigate
this risk, and the likelihood of such an episode happening again. Some episodes
of severe hypoglycemia can be explained and corrected with the assistance of a
diabetes health care professional.However, recurrent episodes of severe hypoglycemia may indicate that an
individual may in fact not be able to safely perform a job, particularly jobs or
tasks involving significant risk of harm to employees or the public, especially
when these episodes cannot be explained. The person's medical history and
details of any history of severe hypoglycemia should be examined closely to
determine whether it is likely that such episodes will recur on the job. In all
cases, job duties should be carefully examined to determine whether there are
ways to minimize the risk of severe hypoglycemia (such as adjustment of the
insulin regimen or providing additional breaks to check blood glucose
levels).
Hyperglycemia
In contrast to hypoglycemia, high blood glucose levels (hyperglycemia) can cause
long-term complications over years or decades but does not normally lead to any
adverse effect on job performance. The symptoms of hyperglycemia generally
develop over hours or days and do not occur suddenly. Therefore, hyperglycemia
does not pose an immediate risk of sudden incapacitation. While over years or
decades, high blood glucose may cause long-term complications to the nerves
(neuropathy), eyes (retinopathy), kidneys (nephropathy), or heart, not all
individuals with diabetes develop these long-term complications. Such
complications become relevant in employment decisions only when they are
established and interfere with the performance of the actual job being
considered. Evaluations should not be based on speculation as to what might
occur in the future. Job evaluations should take high blood glucose levels into
account only if they have already caused long-term complications such as visual
impairment that interfere with performance of the specific job.
Aspects of a safety assessment
When an individual with diabetes is assessed for safety risk there are several
aspects that must be considered.
Blood glucose test results.
A single blood glucose test result only gives information about an
individual's blood glucose level at one particular point in time.
Because blood glucose levels fluctuate throughout the day (this is also true
for people without diabetes), one test result is of no use in assessing the
overall health of a person with diabetes. The results of a series of
self-monitored blood glucose measurements over a period of time, however,
can give valuable information about an individual's diabetes health.
Blood glucose records should be assessed by a health care professional with
expertise in diabetes (7).
History of severe hypoglycemia.
Often, a key factor in assessing employment safety and risk is documentation
of incidents of severe hypoglycemia. An individual who has managed his or
her diabetes over an extended period of time without experiencing severe
hypoglycemia is unlikely to experience this condition in the future.
Conversely, multiple incidents of severe hypoglycemia may in some situations
be disqualifying for high-risk occupations. However, the circumstances of
each incident should be examined, as some incidents can be explained due to
changes in insulin dosage, illness, or other factors and thus will be
unlikely to recur or have already been addressed by the individual through
changes to his or her diabetes treatment regimen or education.
Hypoglycemia unawareness.
Some individuals over time lose the ability to recognize the early warning
signs of hypoglycemia. These individuals are at increased risk for a sudden
episode of severe hypoglycemia. Some of these individuals may be able to
lessen this risk with careful changes to their diabetes management regimen
(for example, more frequent blood glucose testing or frequent meals).
Presence of diabetes-related complications.
Chronic complications that may result from long-term diabetes involve the
blood vessels and nerves. These complications may involve nerve
(neuropathy), eye (retinopathy), kidney (nephropathy), and heart disease. In
turn, these problems can lead to amputation, blindness or other vision
problems, including vision loss, kidney failure, stroke, or heart attack. As
these complications could potentially affect job performance and safety,
such complications should be evaluated by a specialist in the specific area
related to the complication. If complications are not present, their
possible future development should not be addressed, both because of laws
prohibiting such consideration and because with medical monitoring and
therapies, long-term complications can now often be avoided or delayed.
Thus, many people with diabetes never develop any of these complications,
and those that do generally develop them over a period of years.
Inappropriate assessments
The following tools and terms do not accurately reflect the current state of
diabetes treatment and should be avoided in an assessment of whether an
individual with diabetes is able to safely and effectively perform a particular
job.
Urine glucose tests.
Urine glucose results are no longer considered to be an appropriate and
accurate methodology for assessing diabetes control (8). Before the mid-1970s, urine glucose tests were the
best available method of monitoring blood glucose levels. However, the urine
test is not a reliable or accurate indicator of blood glucose levels and is
a poor measure of the individual's current health status. Blood glucose
monitoring is a more accurate and timely means to measure glycemic control.
Urine glucose tests should never be used to evaluate the employability of a
person with diabetes.
A1C and estimated average glucose (eAG).
Hemoglobin A1C (A1C) test results reflect average glycemia over several
months and correlate with mean plasma glucose levels (4). An eAG is directly related to A1C and also provides
an individual with an estimate of average blood glucose over a period of
time, but it uses the same values and units that are observed when using a
glucose meter or recording a fasting glucose value on a lab report (5). A1C/eAG values provide health care
providers with important information about the effectiveness of an
individual's treatment regimen (4) but are often misused in assessing whether an individual can
safely perform a job. Because they identify only averages and not whether
the person had severe extreme blood glucose readings, A1C/eAG results are of
no value in predicting short-term complications of diabetes and thus have no
use in evaluating individuals in employment situations.The American Diabetes Association recommends that in most patientsA1C levels
be kept below 7% (4), or eAG
below 154 mg/dl. This recommendation sets a target in order to lessen the
chances of long-term complications of high blood glucose levels but does not
provide useful information on whether the individual is at significant risk
for hypoglycemia or suboptimal job performance and is not a measure of
“compliance” with therapy. An A1C or eAG cut off score is not
medically justified in employment evaluations and should never be a
determinative factor in employment.
“Uncontrolled” or “brittle” diabetes.
Sometimes an individual's diabetes is described as
“uncontrolled,” “poorly controlled,” or
“brittle.” These terms are not well defined and are not
relevant to job evaluations. As such, giving an opinion on the level of
“control” an individual has over diabetes is not the same as
assessing whether that individual is qualified to perform a particular job
and can do so safely. Such an individual assessment is the only relevant
evaluation.Evaluating the safety risk of employees with diabetes includes
determining whether the concerns are reasonable in light of the job
duties the individual must perform. (E)Most people with diabetes can manage their condition in such a manner
that there is no or minimal risk of incapacitation from hypoglycemia at
work. A single episode of severe hypoglycemia should not per se
disqualify an individual from employment, but an individual with
recurrent episodes of severe hypoglycemia may be unable to safely
perform certain jobs, especially when those episodes cannot be
explained. (E)Hyperglycemia does not pose an immediate risk of sudden incapacitation on
the job, and long-term complications are relevant in employment
decisions only when they are established and interfere with the
performance of the actual job being considered. (E)Proper safety assessments should include review of blood glucose test
results, history of severe hypoglycemia, presence of hypoglycemia
unawareness, and presence of diabetes-related complications and should
not include urine glucose or AIC/eAG tests or be based on a general
assessment of level of control. (E)
III. ACCOMMODATING EMPLOYEES WITH DIABETES
Individuals with diabetes may need certain changes or accommodations on the job in
order to perform their work responsibilities effectively and safely. Federal and
state laws require the provision of “reasonable accommodations” to
help an employee with diabetes to perform the essential functions of the job (3). Additional laws provide for leave for an
employee to deal with his or her medical needs or those of a family member (9). Although there are some typical
accommodations that many people with diabetes use, the need for accommodations must
be assessed on an individualized basis (2).
Accommodating daily diabetes management needs
Many of the accommodations that employees with diabetes need on a day-to-day
basis are those that allow them to manage their diabetes in the workplace as
they would elsewhere. They are usually simple accommodations, can be provided
without any cost to the employer, and should cause little or no disruption in
the workplace. Most employers are required to provide accommodations unless
those accommodations would create an undue burden (3). Some accommodations that may be needed include the
following.
Testing blood glucose.
Breaks may be needed to allow an individual to test blood glucose levels when
needed. Such checks only take minutes to complete. Some individuals use
continuous glucose monitors but will still need an opportunity to check
blood glucose with a meter. Blood glucose can be checked wherever the
employee is without putting other employees at risk, and employers should
not limit where employees with diabetes are permitted to manage their
diabetes. Some employees may prefer to have a private location for testing
or other diabetes care tasks that should be provided whenever feasible.
Administering insulin.
Employees may need short breaks during the workday to administer insulin when
it is needed. Insulin can be safely administered wherever the employee
happens to be. The employee may also need a place to store insulin and other
supplies if work conditions (such as extreme temperatures) prevent the
supplies from being carried on the person (10).
Food and drink.
Employees may need access to food and/or beverages during the workday. This
is particularly important in the event that the employee needs to quickly
respond to low blood glucose levels or maintain hydration if glucose levels
are high. Employees should be permitted to consume food or beverages as
needed at their desk or work station (except in an extremely rare situation
in which this would pose a hazard and create a safety issue, and if this is
the case, an alternative site should be provided).
Leave.
Employees may need leave or a flexible work schedule to accommodate medical
appointments or other diabetes care needs. Occasionally, employees may need
to miss work due to unanticipated events (severe hypoglycemic episode) or
illness.
Work schedules.
Certain types of work schedules, such as rotating or split shifts, can make
it especially difficult for some individuals to manage diabetes
effectively.
Accommodating complications of diabetes
In addition to accommodating the day-to-day management of diabetes in the
workplace, for some individuals it is also necessary to seek modifications for
long-term diabetes-related complications. Such people can remain productive
employees if appropriate accommodations are implemented.For example, an employee with diabetic retinopathy or other vision impairments
may benefit from using a big screen computer or other visual aids, while an
employee with nerve pain may benefit from reduced walking distances or having
the ability to sit down on the job. Individuals with kidney problems may need to
have flexibility to take time off work for dialysis treatment.It is impossible to provide an exhaustive list of potential accommodations. The
key message in accommodating an employee with diabetes is to ensure that
accommodations are tailored to the individual and effective in helping the
individual perform his or her job. Input from health care professionals who
specialize in the particular complication, or from vocational rehabilitation
specialists or organizations, may help identify appropriate accommodations.Individuals with diabetes may need accommodations on the job in order to
perform their work responsibilities effectively and safely; these
include accommodating daily diabetes needs and, when present, the
complications of diabetes. All such accommodations must be tailored to
the individual and effective in helping the individual perform his or
her job. (E)
CONCLUSION
Individuals with diabetes can and do serve as highly productive members of the
workforce. While not every individual with diabetes will be qualified for, nor can
perform, every available job, reasonable accommodations can readily be made that
allow the vast majority of people with diabetes to effectively perform the vast
majority of jobs. The therapies for, and effects of, diabetes vary greatly from
person to person, so employers must consider each person's capacities and needs
on an individual basis. People with diabetes should always be evaluated individually
with the assistance of experienced diabetes health care professionals. The
requirements of the specific job and the individual's ability to perform that
job, with or without reasonable accommodations, always need to be considered.
Authors: David E Goldstein; Randie R Little; Rodney A Lorenz; John I Malone; David M Nathan; Charles M Peterson Journal: Diabetes Care Date: 2004-01 Impact factor: 19.112
Authors: William Clarke; Larry C Deeb; Paula Jameson; Francine Kaufman; Georgeanna Klingensmith; Desmond Schatz; Janet H Silverstein; Linda M Siminerio Journal: Diabetes Care Date: 2012-01 Impact factor: 19.112
Authors: David M Nathan; Judith Kuenen; Rikke Borg; Hui Zheng; David Schoenfeld; Robert J Heine Journal: Diabetes Care Date: 2008-06-07 Impact factor: 19.112