Mumps Outbreak Control in Detention Facilities

A Guide for Health Departments

At a glance

  • Controlling a mumps outbreak in a correctional and detention facility can be complex and managed by different agencies.
  • Establish routine collaborative relationships with these facilties in your jurisdiciton.
  • Use this guidance on quarantine, testing, and vaccination when responding to a mumps outbreak in a correctional or detention facility.
Lamp lit next to correctional cell.

Introduction

When responding to mumps outbreaks in mostA correctional and detention facilitiesB, state and local health departments have authority to:

  • Investigate cases
  • Provide recommendations
  • Issue guidance

This authority applies even when outbreaks occur among people under federal custody. Health departments should establish routine collaborative relationships with correctional and detention facilities in their jurisdiction; and help facilitate case and outbreak reporting and response.

Complex outbreaks setting

Outbreak response in correctional and detention facilities can be complex. These facilities are often multi-employer settings that include government and private employers. Facilities might house individuals under the custody of multiple law enforcement agencies or jurisdictions. Each employer or law enforcement agency could have different policies and procedures.

Employers/agencies might include:

  • Local law enforcement agencies
  • State law enforcement agencies
  • U.S. Immigration and Customs Enforcement (ICE)
  • U.S. Marshals Service (USMS)
  • U.S. Bureau of Prisons (BOP)
  • Private companies
  • Contractors (e.g., medical, transportation, food services)

Follow these control measures & strategies‎

Health departments can follow the control measures and strategies outlined on this page or download a printer-friendly version of this guidance.

Medical isolation of suspect cases

Strategy:

Patients who are suspected to have mumps should be medically isolated immediately for 5 days after onset of parotitis or other salivary gland swelling, even if laboratory confirmation is pending. Use standard and droplet precautions with appropriate signage on the door. Note, mumps should still be suspected in previously vaccinated persons.

Quarantine/cohort of exposed contacts

Strategy:

Quarantine/cohort exposed incarcerated or detained persons for 25 days from last exposure to mumps. This could be housing them together or have them conduct activities separately from other groups. Quarantine regardless of whether they received an outbreak dose of MMR vaccine.

If an incarcerated or detained person has completed 25 days of cohorting/quarantine and has received a dose of MMR while in custody, the person does not need to be cohorted/quarantined if exposed again.

Lab testing of suspect cases & exposed contacts

Strategies:

1) Diagnostic testing of patients with suspected mumps

Advise the facility to collect a buccal/oral specimen for RT-PCR testing if ≤3 days since symptom onset. If >3 days since symptom onset, collect both buccal/oral for RT-PCR testing and serum specimens for IgM testing. Once a mumps outbreak is confirmed, cases that are epidemiologically linked to another mumps case can be classified as probable cases and do not need to be tested. This is one strategy to help conserve testing resources during an established mumps outbreak. However, if new suspect cases are reported that are not epidemiologically linked (i.e. in a previously unaffected housing unit), these cases should be tested.

2) Serologic testing of contacts is NOT recommended

Instruct the facility to not test for mumps IgG to check for presumptive evidence of immunity. During an outbreak, a positive IgG result may indicate recent acute infection; additionally, the presence of mumps IgG antibody (positive result) does not predict if a person is protected from mumps.

Vaccination of exposed contacts

Strategies:

Advise the facility medical staff to—

  • Offer all exposed incarcerated and detained persons a dose of MMR vaccine. Advise facilities to screen for MMR vaccine precautions and contraindications.
  • Investigate to determine if there are other groups of incarcerated or detained persons at the facility who are likely to have close contact with a mumps patient and offer a dose of MMR vaccine (e.g. persons from other units who may have contact with the same staff members or use the same services/areas).
  • Consider recommending a dose of MMR vaccine for all staff who have close contact with incarcerated or detained persons. This includes public sector employees, private contractors (e.g. food, sanitation, and transport services), and healthcare workers.

MMR vaccine is not effective at preventing mumps after exposure but should still be given to exposed persons to help protect against future exposures if the current exposure did not result in infection.

Vaccine procurement

Strategies

  1. For incarcerated and detained persons—Facilities order vaccine through existing vaccine procurement mechanisms, usually through routine pharmaceutical procurement mechanisms established with the law enforcement agency that has custody of the person who needs vaccination.
  2. Persons under federal custody— A federal law enforcement agency can only provide vaccine to persons under their custody at the facility (e.g., ICE provides vaccines only for persons under their custody).
    1. If there are groups under the custody of different agencies at the facility, the facility needs to order vaccine from each agency separately.
    2. To order vaccine, the facility needs to provide to the federal agency the names of every person who has agreed to receive a dose of MMR vaccine. Because of federal procurement regulations, federal law enforcement agencies cannot provide stock vaccine at a facility unless the agency is the onsite medical authority.
  3. For staff—Staff members' employer(s), health plan(s), or pharmacy may assist with vaccination.
  4. Additional considerations— Health departments may also consider using 317 vaccine funds; or providing additional clinical staff to provide doses in a rapid response situation where using the existing mechanisms or limited facility healthcare staff may delay vaccination efforts.
    1. Work with the facility to ensure they have adequate cold storage to receive and maintain cold storage of a mass shipment of vaccine. Health departments may have to assist with vaccine storage.

Documentation of vaccination

Strategies:

Advise the facility medical staff to—

  1. Include a person's vaccination records as part of the medical transfer summary. Note: vaccination records are not automatically or electronically shared across facilities or agencies.
  2. Check medical transfer summaries or contact the previous facility before administering vaccine to check whether a dose of MMR vaccine was already administered by previous facilities.
  3. Ensure that any live vaccines are administered at a minimum of 28 days since the last dose of MMR vaccine (recommended interval between live vaccines).
  1. Exceptions include facilities that are both federally owned and operated, CBP border patrol stations, and facilities where ICE Health Service Corps staff the medical services.
  2. Correctional facilities refer to state and federal prisons, which incarcerate people who have been tried for a crime, convicted, and sentenced for a duration >1 year. Those convicted of federal crimes are incarcerated in federal prisons; those convicted of state crimes are held in state prisons. Detention facilities refer to jails or detention centers, which temporarily detain people awaiting sentencing or deportation, usually for a duration of <1 year.