December 28, 2020

CDC: All Air Passengers Traveling From the U.K. to the U.S. Must Have Proof of a Negative COVID-19 Test

On December 25, 2020, in an effort to mitigate the potential spread of a new variant of the coronavirus that has been found in the U.K., the Centers for Disease Control and Prevention (CDC) issued an order requiring proof of a pre-departure, negative COVID-19 test result for all airline passengers — including U.S. citizens and lawful permanent residents — traveling from the U.K. to the U.S. The test must be a viral test that was conducted on a specimen collected during the three calendar days preceding the flight’s departure (Qualifying Test). The order is effective as of December 27, 2020, at 7:01 p.m. ET.

Requirements for Airlines

Any airline operating aircraft with passengers arriving into the U.S. from the U.K. must meet the following requirements for each passenger on board:

  1. Verify that each passenger has attested to having received a negative Qualifying Test result. Airlines must retain a copy of each passenger attestation for two years.
  2. Confirm that each passenger aged 2 years or older has documentation of a negative Qualifying Test result.
  3. Not board any passenger without verifying the attestation and confirming the documentation as set forth in Items 1 and 2 above.

Any airline that fails to comply with the “Requirements for Airlines” may be subject to criminal penalties, including substantial fines and imprisonment.

Requirements for Passengers

Any passenger departing the U.K. with a final destination in the U.S. shall:

  1. Provide an attestation to the CDC, through the airline, of having received a negative Qualifying Test result. A parent or legal guardian must attest on behalf of a passenger aged 2 to 17 years. An authorized individual may attest on behalf of any passenger who is unable to attest on their own behalf (e.g., by reason of physical or mental impairment).
  2. Retain a copy of the negative Qualifying Test result in their possession and present it for inspection to the airline and upon request by agent of the U.S. government or a cooperating state or local public health authority.

Any passenger who fails to comply with the “Requirements for Passengers” may be subject to criminal penalties, including substantial fines and imprisonment.

Exemptions

Individuals who are exempt from the CDC’s order are:

  1. Airline crew members, provided that they follow industry standard protocols for the prevention of COVID-19 as set forth in relevant Safety Alerts for Operators (SAFOs) issued by the Federal Aviation Administration (FAA).
  2. Passengers who originate on flights outside of the U.K. but connect through an airport in the U.K. on a transit flight with a connection time of no more than 24 hours.

Additional Information

The CDC has issued an FAQ that addresses common questions individuals may have concerning this new order. Of significance is that Presidential Proclamation 9996 — which precludes entry to the U.S. (with specific exceptions) by foreign nationals who have been in the U.K. during the immediately preceding 14-day period — remains in effect.

As the number of cases around the world grows, Faegre Drinker’s Coronavirus Resource Center is available to help you understand and assess the legal, regulatory and commercial implications of COVID-19.

 

The material contained in this communication is informational, general in nature and does not constitute legal advice. The material contained in this communication should not be relied upon or used without consulting a lawyer to consider your specific circumstances. This communication was published on the date specified and may not include any changes in the topics, laws, rules or regulations covered. Receipt of this communication does not establish an attorney-client relationship. In some jurisdictions, this communication may be considered attorney advertising.

Related Legal Services

The Faegre Drinker Biddle & Reath LLP website uses cookies to make your browsing experience as useful as possible. In order to have the full site experience, keep cookies enabled on your web browser. By browsing our site with cookies enabled, you are agreeing to their use. Review Faegre Drinker Biddle & Reath LLP's cookies information for more details.