COVID-19 guidance document for long-term care homes in Ontario
Learn more about requirements for long-term care homes with respect to COVID‑19.
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The purpose of this document is to provide licensees of long-term care homes, as defined in the Fixing Long-Term Care Act, 2021 (the Act), with general information on requirements set out by the Province of Ontario with respect to the covid 19 pandemic, including those set out in Directive #3 (PDF), issued by the Chief Medical Officer of Health (CMOH) as well as the Minister’s Directive: covid 19 response measures for long-term care homes and to help homes in developing approaches for operating safely while providing the greatest possible opportunities for maximizing resident quality of life.
This document is to be followed in conjunction with any applicable legislation, directives and orders and is not intended as a substitute and does not constitute legal advice. This document should be followed unless there are reasonable health and safety reasons to exercise discretion as ordered by the local public health unit. Where homes are undertaking covid 19 measures that exceed the requirements in this document or the applicable legislation, directives and orders, it is expected that the home will consult with their local public health unit, the Residents’ Council and Family Council prior to implementation.
In the event of any conflict between this document and any applicable legislation, directive or order, the legislation, directive or order prevails. Additionally, this document is not intended to take the place of medical advice, diagnosis or treatment.
For the purpose of interpreting this document, “up to date” regarding covid 19 vaccines has the same meaning as the current version of Staying Up to Date with covid 19 Vaccines: Recommended Doses (PDF).
Layers of protection against COVID-19
SARS-CoV-2, the virus which causes covid 19, primarily spreads from one person to another when an infected person breathes, talks, coughs or sneezes and releases respiratory emissions of different sized virus-laden particles into the air.
There is not one specific measure that will prevent SARS-CoV-2 transmission. However, the use of multiple layers of prevention provides the best protection, especially when people cannot avoid closed spaces, crowded places and close contact.
With steps being taken to re-open Ontario, including easing measures for long-term care homes, the ministry is shifting public health measures in the long-term care sector to a stabilization and recovery emphasis while ensuring preparedness in case of another wave. The key approach is to further rebalance the risks associated with covid 19 against the risks that measures or restrictions present to residents’ overall health and well-being. The ministry continues to work with the Office of the Chief Medical Officer of Health (OCMOH) to monitor trends and will respond as necessary to any new or emerging issues related to the pandemic, such as a new variant of concern.
Up-to-date information and evidence regarding variants of concern can be found on Public Health Ontario (PHO).
The vaccination program in long-term care homes has been a tremendous success, with staff, residents, and family members having stepped up to get vaccinated to protect themselves, their colleagues, and the residents they support each day.
The now revoked Minister’s Directive on Long-Term Care Home covid 19 Immunization Policy was instituted at a specific point in time of the pandemic to ensure all long-term care homes had a vaccine policy in place that met specific criteria. Revoking this minister’s directive signaled a shift from a provincial directive back to the ministry taking a guidance-based approach that supports licensees with their employer-led policies and promotes best practices.
Long-term care licensees retain the ability to impose vaccination requirements for existing and new staff, students and volunteers, provided they comply with all applicable laws, such as the Ontario Human Rights Code.
In addition, nothing prevents licensees from having proof-of-vaccination requirements for caregivers, general visitors and support workers provided the licensee’s requirements are consistent with the Fixing Long-Term Care Act, 2021, including the Residents’ Bill of Rights and section 5 of the Act (right to a safe and secure home), and O. Reg. 246/22: General, and comply with all other applicable laws including the Ontario Human Rights Code.
Any licensee who developed vaccine requirements would be responsible for updating the policies and reviewing them going forward (for example, requiring existing or new staff be up to date with all recommended covid 19 doses).
While licensees have the ability to develop their own proof-of-vaccination policies, to ensure that residents are not unreasonably restricted from having visitors in accordance with the Residents’ Bill of Rights, vaccination policies must not apply to outdoor visitors or to visitors under the age of five (who are not yet eligible to be vaccinated). Licensees should engage with their residents’ council, family council and local public health unit (PHU) to inform their policies and should seek independent legal advice as needed regarding their ongoing policies.
To augment continued vaccination policies, long-term care homes are strongly encouraged to consider best practices regarding promoting awareness of the benefits of vaccination, ensuring up to date information regarding booster eligibility is available, and offering on site vaccination.
Promoting awareness of the benefits of vaccination
There continues to be an increased risk for severe outcomes as a result of covid 19 in the elderly population due to age and underlying medical conditions, particularly in shared living spaces like long-term care homes. Vaccination remains the best defense against covid 19.
Regardless of a home’s specific vaccination policy, all individuals entering long-term care homes, including residents, staff, caregivers and visitors, are strongly encouraged to get vaccinated and stay up-to-date with all recommended covid 19 doses. All vaccines provided as part of Ontario’s vaccine rollout are safe and effective.
covid 19 vaccine booster doses help increase protection against symptomatic infection and severe outcomes at the individual level and help reduce transmission at the population level. Evidence shows that vaccine effectiveness against symptomatic infection wanes over time, with little to no protective effect six months after the second dose, and that protection from infection is restored shortly after receiving a booster dose to between 50% and 70%. Additionally, evidence shows that booster doses are highly effective against severe outcomes, including hospitalizations and death, with a third dose restoring protection from hospitalization to 95%. The more people who have up-to-date covid 19 vaccinations, the lower the risk of infection and the lower the chance that covid 19 will enter homes and affect the lives of residents.
For more information on recommended doses of covid 19 vaccine, please review the Ministry of Health’s guidance document Staying Up to Date with covid 19 Vaccines: Recommended Doses (PDF). Additional information about covid 19 vaccination can also be found at covid 19 vaccines for Ontario.
Eligibility for booster doses
Currently, residents of long-term care homes are eligible for a fourth dose of an mRNA vaccine if at least three months have passed since their third dose. Residents who have not yet received their third or fourth dose are likely becoming increasingly susceptible to covid 19 infection due to waning immunity and should be strongly encouraged to get booster doses.
All adults are eligible for a booster dose of an mRNA vaccine if at least three months have passed since their second dose, and youth aged 12-17 are eligible six months after their second dose.
Onsite vaccine administration by homes remains the preferred approach to ensure vaccines can get to residents, caregivers and staff as quickly as possible. Homes that are set up for self-administration of covid 19 vaccines should work with their local public health units to request vaccine and relevant ancillary supplies for administering vaccine doses to residents, staff and caregivers onsite.
Homes that are not yet set up for self-administration are asked to either take the necessary steps to onboard for self-administration, or consider other avenues for administering vaccines onsite, such as working with their local public health unit to arrange for a local pharmacy, community family physicians or Emergency Medical Services staff to administer boosters.
Onsite vaccine administration should include residents, staff and caregivers, regardless of whether the home is administering or another partner. Notwithstanding the benefits of onsite administration, homes should also continue to strongly encourage staff and caregivers to leverage resources available in the community to get their booster dose as soon as they are eligible. Staff and caregivers can book booster appointments on the provincial covid 19 vaccination portal, by calling the Provincial Vaccine Contact Centre at
Infection prevention and control (IPAC)
The importance of ongoing adherence to strong and consistent IPAC processes and practices cannot be overstated. It is critical that homes strive to prevent and limit the spread of covid 19 by ensuring that strong and consistent IPAC practices are implemented and continuously reviewed. Appropriate and effective IPAC practices must be carried out by all people attending or living in the home, at all times, regardless of whether there are cases of covid 19 in the home or not, and regardless of the vaccination status of an individual.
Per Directive #3 (PDF), homes must be completing IPAC audits every two weeks unless in outbreak. When a home is in outbreak IPAC audits must be completed weekly.
Homes are reminded that IPAC audits should be rotated across shifts, including evenings and weekends.
At minimum, homes must include in their audit the PHO's covid 19: Self-Assessment Audit Tool for Long-Term Care Homes and Retirement Homes (PDF).
Results of the IPAC audit should be kept for at least 30 days and shared with inspectors from Public Health Unit, Ministry of Labour, Training and Skills Development, and Ministry of Long-Term Care for long-term care homes upon request.
General IPAC requirements
As a reminder, licensees are subject to section 23 of the Act, which requires that every home have an IPAC program. Additionally, section 102 of O. Reg. 246/22 contains additional requirements, including that homes are to follow an interdisciplinary team approach in the coordination and implementation of the IPAC program and that every long-term care home must have a designated IPAC lead. The importance of ongoing adherence to strong IPAC processes and practices cannot be overstated.
Specific requirements for long-term care homes in the context of the covid 19 pandemic are also set out in the Required Infection Prevention and Control (IPAC) Practices section of Directive #3 (PDF).
Everyone in a long-term care home, whether staff, student, volunteer, caregiver, support worker, general visitor or resident, has a responsibility to ensure the ongoing health and safety of all by practising these measures at all times.
Licensees should ensure that they have adequate stock levels of all supplies and materials required on a day-to-day basis regardless of outbreak status.
For further guidance or elaboration on best practices related to IPAC, refer to the following Public Health Ontario (PHO) websites:
- Infection Prevention and Control for Long-Term Care Homes: Summary of Key Principles and Best Practices (PDF)
- COVID-19: Infection Prevention and Control Checklist for Long-Term Care and Retirement Homes (PDF)
- Heating, Ventilation and Air Conditioning (HVAC) Systems in Buildings and covid 19 (PDF)
Consistent with Directive #3 (PDF), homes must ensure that physical distancing (PDF) (a minimum of two metres or six feet) is practiced by all individuals at all times, except for the purposes of providing direct care to a resident or when the following exceptions apply:
- between residents and their visitors
- between residents in one-on-one or in small group settings
- for the purposes of compassionate or end-of-life visits
- while providing personal care services (for example, haircutting)
- between staff and clients of Adult Day Programs that take place on the site of a long-term care home
Homes must ensure that all staff, students and volunteers wear a medical mask for the entire duration of their shift or visit indoors (including in the resident’s room), regardless of their immunization status.
Masks are not required outdoors for staff, residents, students, volunteers or visitors (general or essential). However, outdoor masking is still recommended and encouraged where tolerated as an added layer of protection when in close proximity to others.
Removal of masks for the purposes of eating should be restricted to only areas designated by the home.
For residents: homes are required to have policies regarding masking for residents. While there is no requirement for residents to wear a mask inside of the home, a home’s policies must set out that residents must be encouraged to wear, or be assisted to wear, a medical mask or non-medical mask when receiving direct care from staff, when in common areas with other residents (with the exception of meal times), and when receiving a visitor, as tolerated.
Exceptions to the masking requirements are:
- children who are younger than two years of age
- any individual (staff, visitor or resident) who is being accommodated in accordance with the Accessibility for Ontarians with Disabilities Act, 2005 or the Ontario Human Rights Code
- if entertainment provided by a live performer (that is, a visitor) requires the removal of their mask to perform their talent
Homes must also have policies for individuals (staff, students, volunteers, visitors or residents) who:
- have a medical condition that inhibits their ability to wear a mask
- are unable to put on or remove their mask without assistance from another person
Communal dining is an important part of many homes’ social environment.
All long-term care homes may provide communal dining with the following precautions:
- when not eating or drinking, residents should be encouraged to wear a mask where possible or tolerated
- caregivers and general visitors may accompany a resident for meals to assist them with eating (however, caregivers or general visitors must remain masked at all times and not join in the meal)
- frequent hand hygiene of residents and staff, general visitors, caregivers and volunteers assisting residents with eating must be undertaken
Unless otherwise directed by the local public health unit, homes may offer buffet or family-style service, including during regular daily meals and as part of special occasions or celebrations (for example, to celebrate a holiday).
Group activities: organized events and social gatherings
Homes are to provide opportunities for residents to gather for group activities including:
- social purposes
- physical activities
- hobbies and crafts
- celebrations such as for birthdays
- religious ceremonies
- practices consistent with licensees’ requirement to ensure that there is an organized program for the home to ensure that residents are given reasonable opportunity to practice their religious and spiritual beliefs, and to observe the requirements of those beliefs, pursuant to section 18 of the Act
Social group activities can be increased in size (more than 10). However, while larger social group activities where potential crowding can occur should continue to be avoided, and IPAC measures should continue to be followed by staff, residents and visitors to promote safety and wellbeing (for example, masking, physical distancing, good ventilation). General visitors and caregivers may join residents during the activities in all homes, both indoors and outdoors, unless otherwise directed by the local public health unit.
What happens in an outbreak?
In the event of a covid 19 outbreak, residents must be cohorted for all non-essential activities including communal dining, organized events and social gatherings. Different cohorts are not to be mixed, and residents from different cohorts should not visit one another. Additional guidance on cohorting of residents during outbreaks can be found in the covid 19 Guidance: Long-Term Care Homes and Retirement Homes for Public Health Units (PDF).
What happens when a resident is isolating or fails screening?
Residents in isolation or who fail screening are not to join in group organized events, activities, dining or social gatherings. However, homes should attempt to have these residents join-in virtually where possible to provide these residents with an alternative to in-person social interaction.
Homes must ensure that all individuals are actively screened for symptoms and exposure to covid 19 before they are allowed to enter the home, including for outdoor visits. Homes must follow the Ministry of Health’s covid 19 Screening Tool for Long-Term Care Homes and Retirement Homes (PDF), for minimum requirements and exemptions regarding active screening.
For clarity, staff and visitors must be actively screened once per day at the beginning of their shift or visit. The only exception is for first responders who must be permitted entry without screening in emergency situations.
Any resident returning to the home following an absence who fails active screening must be permitted entry but isolated on additional precautions and tested for covid 19 as per Management of Cases and Contacts of covid 19 in Ontario (PDF).
Any staff or visitor who fails active screening (that is, having symptoms of covid 19 or having had contact with someone who has covid 19):
- must not be allowed to enter the home
- must be advised to follow public health guidance
- must be encouraged to be tested, if applicable
There are three exceptions where staff or visitors who fail screening may be permitted entry to the home:
- Staff and essential visitors who are up to date on their covid 19 vaccinations as per the Guidance for Employers Managing Workers with Symptoms within 48 Hours of covid 19 or Influenza Immunization (PDF) document.
- Visitors for palliative end-of-life residents must be screened prior to entry. If they fail screening, they must be permitted entry, but homes must ensure that they wear a medical (surgical or procedural) mask and maintain physical distance from other residents and staff.
- Staff who are on Test to Work must follow the protocols and requirements for Test to Work per the Ministry of Health’s Management of Cases and Contacts of covid 19 in Ontario (PDF).
In recognition of the staffing challenges that long-term care homes are experiencing the ministry has put in place a number of measures to help homes in times of serious staffing shortages that cannot be filled by other means including staffing agencies. Homes not in outbreak have the ability to implement these measures based on their own assessment. When a home is in outbreak, they should work with the PHU when implementing these measures.
To ensure operational continuity and maintain safety and security for residents, certain transitional provisions have been included in O. Reg. 246/22 under the Act as follows:
- Require that licensees ensure that a care conference is conducted for residents within three months of O. Reg. 95/20: streamlining requirements for long-term care homes ceasing to be in force.
- If no care conference has been held since the resident was admitted or if a resident’s last care conference was conducted more than one year prior to the date of O. Reg. 95/20: streamlining requirements for long-term care homes ceasing to be in force.
- Require licensees to ensure that the annual physical examination is held within three months of O. Reg. 95/20: streamlining requirements for long-term care homes ceasing to be in force (if an annual physical examination had not been held in the year before cessation to be in force).
- Exempt licensees from meeting the minimum staffing hours requirements in the Act and Regulation, for a period of six months from the date the transitional provision comes into effect, as long as all care requirements associated with the position are met (these exemptions would not apply to the direct hours of care targets referred to in sections 8 and 9 of the new Act).
- Provide that a licensee is not required to comply with a requirement set out in the Act or Regulation respecting qualifications for members of staff, subject to exceptions, until 12 months after the coming into force of the transitional section, as long as the person holding the position, in the reasonable opinion of the licensee, has the adequate skills, training and knowledge to perform the duties required of that position (this transitional provision does not apply to a number of staff positions, including physicians, registered nurses, registered nurses in the extended class and registered practical nurses).
- Provide that a licensee is not required to comply with the requirements in s. 140 (3) of the Regulation related to the administration of drugs until 12 months after the coming into force of the transitional section, as long as, where the administration involves the performance of a controlled act set out in s. 27 (2) of the Regulated Health Professions Act, 1991, the person administering the drug is authorized to perform the controlled act under the relevant health profession Act.
Return-to-work risk-based framework
Please refer to the Ministry of Health’s covid 19 Interim Guidance: Omicron Surge Management of Staffing in Highest-Risk Settings (PDF).
Staffing resources available across the system are limited.
Facilities must rely on their business continuity plans and system partners to support wherever possible. In the event that challenges continue after exhausting your contingency plans, staffing agency partnerships, community partners, and corporate or municipal supports (where applicable) homes should escalate to Ontario Health.
Admissions and transfers
For matters related to admissions and transfers as well as applicable isolation and testing requirements for long-term care homes, refer directly to Directive #3 (PDF) and the Ministry of Health covid 19 Guidance: Long-Term Care Homes and Retirement Homes for Public Health Units (PDF), specifically Appendix E: Algorithm for Admissions and Transfers for Long-Term Care Homes and Retirement Homes.
All long-term care homes must establish and implement policies and procedures in respect of resident absences, which, at a minimum set out the definitions and requirements and conditions described below.
For all absences, residents must be:
- provided with a medical mask when they are leaving the home
- provided a handout that reminds residents and families to practice public health measures such as masking and hand hygiene when outside of the home
- actively screened upon their return to the home
There are four types of absences:
- medical absences are absences to seek medical or health care and include:
- outpatient medical visits and a single visit (less than or equal to 24 hours in duration) to the emergency department
- all other medical visits (for example, admissions or transfers to other health care facilities, multi-night stays in the emergency department)
- compassionate and palliative absences include, but are not limited to, absences for the purposes of visiting a dying loved one
- short term (day) absences are absences that are less than or equal to 24 hours in duration and include:
- essential absences include absences for reasons of groceries, pharmacies, and outdoor physical activity
- social absences include absences for all reasons not listed under medical, compassionate or palliative, or essential absences that do not include an overnight stay
- temporary absences include absences involving two or more days and one or more nights for non-medical reasons
As per Directive #3 (PDF), homes cannot restrict or deny absences for medical, palliative or compassionate reasons at any time. This includes when a resident is in isolation or when a home is in an outbreak.
Isolation and testing requirements for residents when returning from absences
The following are the testing and isolation requirements for residents who go on day and overnight absences. Please note that residents are exempt from these requirements if they are within 90 days from a confirmed covid 19 infection, assuming they do not have symptoms.
Effective April 11, 2022
Day and overnight absences (medical, compassionate, temporary or short term)
- No isolation is required unless the resident has a known exposure to a case or symptomatic person while on their absence (see below). A polymerase chain reaction (PCR) test on day five following the absence.
Residents who go on absences on a daily or frequent basis are to have a laboratory-based PCR test, on the same day, two times per week (for example PCR test on Tuesday; PCR test on Friday).
If a timely PCR test is not available, two rapid antigen tests (RAT) 24 hours apart may be used as an alternative.
If a resident has a known exposure to a case or symptomatic person while on their absence, they must be treated as a high-risk contact as per the Ministry of Health covid 19 Guidance: Long-Term Care Homes and Retirement Homes for Public Health Units (PDF), which would require:
- residents who are up to date with their covid 19 vaccines to isolate until a PCR test on day five is negative
- residents who are not up to date with their covid 19 vaccines to isolate for 10 days with a PCR test on day five
Off-site group excursions (for example, to an attraction) are considered social absences and are permitted to reflect the reopening of attractions, music or theatre venues, etc.
For all off-site group excursions, residents must be:
- provided with a medical mask when they are leaving the home
- reminded to practice public health measures such as masking and hand hygiene when outside of the home
- actively screened per Directive #3 (PDF) upon their return to the home
- following testing and isolation rules under isolation and testing requirements for residents when returning from absences, where applicable
All homes are required to establish and implement a visitor policy that complies with Directive #3 (PDF) (as amended from time to time) and the Act, O. Reg. 246/22, in addition to all other applicable laws.
Homes are reminded that residents have a right under the Fixing Long-Term Care Act, 2021, to receive visitors and homes should not develop policies that unreasonably restrict this right.
- Every long-term care home must have and implement a visitor policy that, at a minimum:
- reflects the following guiding principles:
- safety – any approach to visiting must balance the health and safety needs of residents, staff, and visitors, and ensure risks are mitigated
- emotional well-being – welcoming visitors is intended to support the mental and emotional well-being of residents by reducing any potential negative impacts related to social isolation
- equitable access – all residents must be given equitable access to receive visitors, consistent with their preferences and within reasonable restrictions that safeguard residents
- flexibility – the physical or infrastructure characteristics of the home, its workforce or human resources availability, whether the home is in an outbreak and the current status of the home with respect to PPE are all variables to consider when setting home-specific policies
- equality – residents have the right to choose their visitors. In addition, residents or their substitute decision-makers, as applicable, have the authority to designate caregivers
- sets out the parameters, requirements, and procedures prescribed in the current version of this document with respect to visitors, including but not limited to:
- the definitions of the different types of visitors
- the requirement to designate caregivers in accordance with the O. Reg. 246/22
- restrictions with respect to visitors in the event of an outbreak or when a resident is isolating
- non-compliance by visitors of the home’s visitor policy
- includes provisions around the home’s implementation of all required public health measures as well as infection prevention and control practices.
- reflects the requirements related to the active screening, and surveillance testing of visitors, consistent with Directive #3 (PDF), the current Minister of Long-Term Care’s Directive covid 19: Long-term care home surveillance testing and access to homes, and this guidance document, as applicable
- reflects the following guiding principles:
- In accordance with section 267(2) of O. Reg. 246/22 and Directive #3 (PDF), homes must maintain visitor logs of all visits to the home. The visitor log must include, at minimum:
- the name and contact information of the visitor
- time and date of the visit
- the purpose of the visit (for example, name of resident visited)
These visitor logs or records must be kept for a period of at least 30 days and be readily available to the local public health unit for contact tracing purposes upon request
- Homes must ensure that all visitors have access to the home’s visitor policy.
- Homes must provide education or training to all visitors about physical distancing, respiratory etiquette, hand hygiene, IPAC practices, and proper use of PPE.
The home’s visitor policy should include guidance from the following Public Health Ontario resources to support IPAC and PPE education and training:
- guidance document: recommended steps: putting on personal protective equipment
- video: putting on full personal protective equipment
- video: taking off full personal protective equipment
- videos: how to hand wash and how to hand rub
Types of visitors
Not considered visitors
Long-term care home staff (as defined under the Act), volunteers, and student placements are not considered visitors as their access to the home is determined by the licensee. Infants under the age of one are also not considered visitors and are excluded from testing requirements.
There are no limits on the total number of essential visitors allowed to come into a home at any given time, under this guidance.
Essential visitors are the only type of visitors allowed when there is an outbreak in a home or area of a home or when a resident has failed screening, is symptomatic or in isolation.
- a caregiver, as defined under section 4 of O. Reg. 246/22
- a support worker who visits a home to provide support to the critical operations of the home or to provide essential services to residents
- a person visiting a very ill resident for compassionate reasons including, but not limited to, hospice services or end-of-life care
- a government inspector with a statutory right to enter a long-term care home to carry out their duties
Caregivers – scheduling and length and frequency of visits
Homes may not require scheduling or restrict the length or frequency of visits by caregivers. However, in the case where a resident resides in an area of the home in outbreak, is symptomatic or isolating under additional precautions, only one caregiver may visit at a time.
A caregiver should not visit any other home for 10 days after visiting:
- an individual with a confirmed case of covid 19
- an individual experiencing covid 19 symptoms
Recognizing there are caregivers who want to volunteer to support more than one resident, in the event of an outbreak, caregivers may support up to two residents who are covid 19 positive, provided the home obtains consent from all involved residents (or their substitute decision makers). Caregivers may also support more than one resident in non-outbreak situations, with the same expectation regarding resident consent.
A general visitor is a person who is not an essential visitor and is visiting to provide non-essential services related to either the operations of the home or a particular resident or group of residents. General visitors include those persons visiting for social reasons as well as visitors providing non-essential services such as personal care services, entertainment, or individuals touring the home.
Homes should prioritize the mental and emotional well-being of residents and strive to be as accommodating as possible when scheduling visits with general visitors.
Access to homes
All general visitors, including children under the age of five, can enter the long-term care home. General visitors, with the exception of the children under the age of five, will need to follow the vaccination policy of the individual long-term care home.
Up to four visitors (including caregivers) per resident may visit at a time for indoor visits.
There are no sector limits on the number of visitors permitted at outdoor visits, and homes can return to their regular practices on use of their available outdoor spaces in accordance with applicable guidance and laws.
Homes should not restrict individuals from outdoor visits based on vaccination status and should ensure physical distancing (a minimum of two metres or six feet) is maintained between groups.
Restrictions during outbreaks or when a resident is isolating
Essential visitors are the only type of visitors allowed when a resident is isolating or resides in a home or area of the home in an outbreak.
General visitors are not permitted:
- when a home or area of a home is in outbreak
- to visit an isolating resident
- when the local public health unit so directs
Direction from the local public health unit
In the case where a local public health unit directs a home in respect of the number of visitors allowed, the home must follow the direction of the local public health unit.
COVID-19 asymptomatic screen testing
Every licensee shall ensure that no staff member, caregiver, student placement, volunteer, support worker or general visitor enters the long-term care home, unless the requirements contained in this section have been met.
Individuals who receive a positive test result for covid 19 as part of asymptomatic screen testing must follow further testing and isolation requirements as outlined in the Ministry of Health’s COVID-19 Guidance: Long-Term Care Homes and Retirement Homes for Public Health Units (PDF) or as directed by the local public health unit.
These testing requirements apply when a long-term care home is not experiencing an outbreak. Additional measures may apply in an outbreak situation, including measures directed by local public health units.
Staff, caregivers, student placements and volunteers
Subject to the exceptions listed below, all staff, caregivers, student placements and volunteers working in or visiting a long-term care home must be tested for covid 19 according to one of the following:
- an antigen test at least two times per week, on separate days, if they are up-to-date with all recommended covid 19 vaccine doses (PDF)
- an antigen test at least three times per week, on separate days, if they are not up-to-date with recommended covid 19 vaccine doses
- one PCR and one antigen test per week, at a minimum, on separate days
Where a staff member, student or volunteer takes an antigen test at the long-term care home, the test must be taken as soon as possible after beginning a shift, and the individual may enter the home with appropriate PPE and following IPAC practices, as per Directive #3 (PDF) while waiting for the test results. Staff, student placements and volunteers should not provide direct care to residents until a negative test result is received.
Where a caregiver takes an antigen test at the long-term care home, the test must be taken before granting them full entry. However, they may proceed to the resident’s room, with appropriate PPE and following IPAC practices while waiting for the test result. They must not enter any shared spaces (for example, dining room, activity room) until a negative test result is received.
General visitors and support workers
All general visitors and support workers entering a long-term care home must meet one of the following prior to entry:
- receive and demonstrate a negative test result from an antigen test taken at the long-term care home on that day
- demonstrate proof of a negative test result from an antigen test or PCR test taken on the same day or the day prior to the visit
Where a support worker who is a member of a regulated health profession takes an antigen test onsite, the test must be taken upon entry and the person may enter the home with appropriate PPE as per Directive #3 (PDF) and following IPAC practices, while waiting for the test result.
If a staff, caregiver, student placement or volunteer only enters a long-term care home on two consecutive days within a seven day period and demonstrates a negative test result from an antigen test or from a PCR test taken on the first day, they may enter on the second consecutive day without requiring a negative test.
No individual is required to attend the home for the sole purposes of meeting the testing requirements (for example, if they enter a home fewer than the number of times required to be tested per week).
Repeat false positives
If an individual receives three “false positive” antigen tests (takes an antigen test and the test result is positive for covid 19 and subsequently receives a negative confirmatory PCR test result), within a 30 day period, starting from the day the first preliminary positive antigen test was taken, the individual does not need to follow the above testing requirements. Instead, the individual must demonstrate proof of a negative PCR that was taken in the last seven days prior to entry.
Previous covid 19
If an individual has had a prior confirmed covid 19 infection in the past 90 days, they do not need to be asymptomatic screen tested, but must immediately resume asymptomatic screen testing after the 90th day from the date of their confirmed covid 19 infection.
Palliative and emergency situations
Asymptomatic screen testing for support workers, caregivers and general visitors is not required in an emergency situation or in situations where these individuals are visiting or attending to residents receiving end-of-life care.
The testing requirements of this Guidance Document do not apply to inspectors with a statutory right of entry. Rather, inspectors from the Ministry of Long-Term Care and the Ministry of Labour, Training and Skills Development have separate and specific testing protocols that have been established within their ministries.
Proof of negative test
Where an individual is being granted entry based on an antigen test or a PCR test not onsite at the long-term care home, as outlined in the sections above, they must provide proof of the negative test result in order to gain entry to the home or take a new antigen test. The licensee shall ensure that a log is maintained documenting that such proof has been demonstrated.
Every licensee shall collect, maintain and disclose statistical information on asymptomatic screen testing, including:
- the number of staff, caregivers, student placements, volunteers, support workers and general visitors tested with an antigen test, and the number who received a positive test result from an antigen test
- the number of staff, caregivers, student placements and volunteers screen tested with a PCR test, and the number who received a positive test result from a PCR test
- the number of caregivers, support workers and general visitors who were permitted entry under an emergency or palliative situation
- the number of staff, caregivers, student placements, volunteers, support workers and general visitors that provided proof of a negative test to gain entry
Upon request, the licensee must disclose the statistical information to the Ministry of Long-Term Care, Ministry of Health, Ministry of Government and Consumer Services, the public health unit for the area in which the long-term care home is located, or Ontario Health.
Prohibition on reselling or distributing to any other person
Antigen tests that have been provided by the Province of Ontario, either directly or indirectly (for example, through an agency of the government), must only be used for intended purposes and not be resold or distributed to any other person.
Residents’ councils play an important role in every long-term care home. As a reminder:
- licensees are not to interfere with the meetings or operation of the residents’ council per s. 71 under the Act
- licensees are to cooperate with the residents’ council, appoint an assistant, and respond to council concerns and recommendations
All homes need to ensure that the residents’ council is provided an opportunity to meet. When in-person meetings of the residents’ council are possible, it is expected that the residents’ councils will be provided with the appropriate PPE and adequate space to meet so that physical distancing can be maintained and IPAC guidelines can be followed. Homes are to accommodate the continuation of residents’ council meetings when in-person meetings are not possible.
The Ontario Association of Residents’ Councils (OARC) has developed a number of resources to help homes facilitate residents’ council meetings; please visit OARC’s Tools webpage to access these important resources.
Case and outbreak management
For matters related to the definition of an outbreak in long-term care homes, refer directly to Directive #3 (PDF) and the Ministry of Health covid 19 Guidance: Long-Term Care Homes and Retirement Homes for Public Health Units (PDF).
Only the local public health unit can declare an outbreak and declare when it is over. It is not the long-term care home’s responsibility to determine whether cases have an epidemiological link. Local public health units will determine whether cases have an epidemiological link as part of their investigation, which will inform their decision as to whether or not they declare an outbreak.
Case and outbreak management
For covid 19 related case and outbreak management, homes are to abide by requirements set out in:
- Directive #3 (PDF)
- covid 19 Guidance: Long-Term Care Homes and Retirement Homes for Public Health Units (PDF)
- COVID-19 Integrated Testing & Case, Contact and Outbreak Management Interim Guidance: Omicron Surge (PDF)
Homes must follow direction from their local public health unit in the event of a suspect or confirmed outbreak.
Reporting outbreaks and cases
covid 19 is a designated disease of public health significance (O. Reg. 135/18) and thus confirmed and suspected cases of covid 19 are reportable to the local public health unit under the Health Protection and Promotion Act (HPPA).
Homes must follow the critical incident reporting requirements set out in section 115 of O. Reg. 246/22 made under the Act.
Homes are required to immediately report any covid 19 outbreak (suspect or confirmed) to the Ministry of Long-Term Care using the Critical Incident System during regular working hours or calling the after-hours line at
Questions regarding covid 19 related policies and guidance can be emailed to the Ministry of Long-Term Care at MLTCpandemicresponse@ontario.ca.
Alternatively, you can contact your local public health unit.
Questions regarding surveillance testing can be sent to:
- covid 19 Long-Term Care Communications
- LTCHomes.net for long-term care home licensees and administrators
- Centres for Learning, Research and Innovation in Long-Term Care: Supports During covid 19
- covid 19 vaccines for Ontario
- Ministry of Health, covid 19 Vaccine-Relevant Information and Planning Resources
- Ministry of Health, covid 19 Vaccine Third Dose Recommendations (PDF)
Infection prevention and control
For information and guidance regarding general IPAC measures (for example, hand hygiene, environmental cleaning), please refer to the following documents:
- Infection prevention and control (IPAC) program guidance (Ministry of Long-Term Care) (PDF)
- Public Health Ontario:
- Infection Prevention and Control for Long-Term Care Homes: Summary of Key Principles and Best Practices (PDF)
- At a Glance: Prevention and Management of covid 19 in Long-Term Care Homes and Retirement Homes (PDF)
- covid 19: Infection Prevention and Control Checklist for Long-Term Care and Retirement Homes
- covid 19 IPAC Fundamentals Training
- Interim Guidance on Infection Prevention and Control for Health Care Providers and Patients Vaccinated Against covid 19 in Hospital and Long-Term Care Settings (PDF)
- Key Elements of Environmental Cleaning in Healthcare Settings (Fact Sheet) (PDF)
- Best Practices for Environmental Cleaning for Prevention and Control of Infections in All Health Care Settings (PDF)
- PIDAC Routine Practices and Additional Precautions in All Health Care Settings
- Cohorting During an Outbreak of covid 19 in Long-Term Care Homes (PDF)
- Recommendations for Control of Respiratory Infection Outbreaks in Long-Term Care Homes
- Infection Prevention and Control in Long-Term Care (Ontario CLRI)
- McMaster University offers a free online IPAC learning course for caregivers and families
- Resources to prevent covid 19 in the workplace (Ministry of Labour, Training and Skills Development)
- Public Health Ontario
- Local Public Health Units may have additional signage on their websites that may be helpful or useful to homes
Ventilation and air flow
Below is a list of Public Health Ontario knowledge related to the use of portable fans, air conditioning units, and portable air cleaners.
- At a glance: the use of portable fans and portable air conditioning units during covid 19 in long-term care and retirement homes (PDF)
- FAQ: use of portable air cleaners and transmission of covid 19 (PDF)
- Focus on: heating, ventilation and air conditioning (HVAC) systems in buildings and covid 19 (PDF)