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IBFCSM Certified Emergency and Disaster Professional Sample Questions (Q38-Q43):NEW QUESTION # 38
What legislation mandates development evacuation plans for disabled visitors?
- A. Disaster Mitigation Act
- B. Americans with Disabilities Act
- C. Stafford Relief and Emergency Assistance Act
Answer: B
Explanation:
TheAmericans with Disabilities Act (ADA)is the primary legislation that mandates the development of evacuation plans and accessibility considerations for individuals with disabilities, including visitors.
1Specifically, underTitle II(covering state and local government services) andTitle III(covering public accommodations and commercial facilities), entities are legally required to provide "equal access" to their programs and services.2In the context of emergency management, this "access" extends to the safety and evacuation of the facility.
Failure to include specific protocols for disabled visitors-such as those with mobility, sensory, or cognitive impairments-constitutes a violation of civil rights. The Department of Justice (DOJ) and theNational Council on Disabilityhave emphasized that emergency plans must not only exist but must be effective. This includes ensuring that notification systems (alarms) are both audible and visual, and that "Areas of Refuge" are designated for those who cannot use stairs when elevators are grounded during a fire or disaster.
While theStafford Act(Option A) governs how the federal government provides disaster assistance and theDisaster Mitigation Act(Option B) focuses on pre-disaster hazard reduction, neither specifically mandates the architectural or procedural evacuation requirements for private or local public buildings found in the ADA. For aCertified Emergency and Disaster Professional (CEDP), compliance with the ADA is not just a legal necessity but a moral imperative. Effective planning requires a "functional needs" approach, ensuring that evacuation routes are clear of obstructions, signage is in Braille or high-contrast text, and staff are trained in specific assistance techniques, such as using evacuation chairs. This inclusive planning ensures that during a crisis, no individual is left behind due to a lack of foresight regarding their physical or mental capabilities.
NEW QUESTION # 39
Disaster responder safety and health capabilities fall under what oversight entity?
Answer: B
Explanation:
In the national preparedness architecture,Responder Safety and Healthis officially designated as one of the32 Core Capabilitieswithin theFEMA National Preparedness Goal. While the Department of Homeland Security (DHS) (Option B) provides the overarching policy umbrella, the actual management, training, and operational oversight of these capabilities for the disaster workforce fall underFEMA. This includes the development of safety protocols for the 15 Emergency Support Functions (ESFs) and the specialized training provided at the Center for Domestic Preparedness (CDP) and the Emergency Management Institute (EMI).
The "Responder Safety and Health" capability focuses on protecting emergency responders from the myriad of physical, chemical, and psychological hazards present in a disaster zone. FEMA coordinates with agencies likeNIOSHandOSHAto ensure that responders are equipped with the correct Personal Protective Equipment (PPE), have access to health monitoring (such as the Medical Monitoring and Surveillance or MMS programs), and receive the necessary immunizations and post-incident mental health support.
For theCEDPprofessional, this FEMA-led capability is the "Shield" for the responders. It ensures that the mission does not create more victims from within the response ranks. In a catastrophic event, such as a major structural collapse or a CBRN release, FEMA's Safety Officers are responsible for establishing the safety zones and enforcing the "Stay Time" limits. By placing this capability under the same entity that manages theIncident Command System (ICS), the federal government ensures that safety is integrated into every level of command. This oversight ensures that the response force remains viable and healthy throughout the duration of a prolonged disaster, fulfilling the core principle of "Responder Safety First" that is a prerequisite for any successful mission.
NEW QUESTION # 40
What defines the respirator concept of Assigned Protection Factor?
- A. Personal Illness factor determined by qualitatively evaluating respirator protection
- B. Level of protection deemed acceptable by NIOSH before approving a respiratory device
- C. Level of protection afforded to an Individual correctly wearing a properly fitted device
Answer: C
Explanation:
TheAssigned Protection Factor (APF)is an OSHA-defined metric (29 CFR 1910.134) that represents the workplace level of respiratory protection that a respirator or class of respirators is expected to provide to employees when the employer implements a continuing, effective respiratory protection program.
Specifically, it is thelevel of protection afforded to an individual correctly wearing a properly fitted device.
For example, an APF of 10 means that the respirator can protect the wearer against air contaminants that are up to 10 times the Permissible Exposure Limit (PEL). If a hazard's concentration is 50 times the PEL, a respirator with an APF of at least 50 (such as a full-facepiece air-purifying respirator) must be used. APFs range from 10 for simple half-mask respirators to 10,000 for positive-pressure self-contained breathing apparatus (SCBA).
In theCEDPandHAZWOPERcontext, the APF is the "safety multiplier" used to select the correct PPE.
Planners must understand that an APF is only valid if the respirator is "properly fitted" through annual fit testing and if the user is trained to wear it "correctly." If a user has facial hair that interferes with the seal, the APF essentially drops to zero, as the contaminated air will take the path of least resistance through the gaps in the seal. Option C is incorrect because whileNIOSHapproves the devices,OSHAassigns the protection factors used for regulatory compliance and field safety planning. Understanding APF is critical for ensuring that disaster responders are not under-protected when entering toxic atmospheres.
NEW QUESTION # 41
Coordination of medical surge operations relates to what disaster management process?
- A. Collaboration planning
- B. Information sharing
- C. Healthcare resiliency
Answer: C
Explanation:
The coordination ofMedical Surge Operationsis a critical component ofHealthcare resiliency. Medical surge refers to the ability of a healthcare system to provide adequate medical evaluation and care during events that exceed the limits of the normal medical infrastructure.7Resilience, in this context, is defined as the system's ability to "absorb" the shock of a mass casualty event or pandemic, adapt its operations (e.g., by usingCrisis Standards of Care), and rapidly recover to its baseline state.
In theMSCC (Medical Surge Capacity and Capability)Handbook, surge operations are coordinated through a tiered framework.8This framework ensures that individual hospitals (Tier 1) can integrate into a local healthcare coalition (Tier 2), which is then supported by jurisdictional incident management (Tier 3). This multi-layered coordination is what creates "systemic resiliency." If one facility fails but the regional system successfully redistributes the patient load and maintains life-saving care, the overall healthcare system has demonstrated resiliency.
For aCertified Emergency and Disaster Professional (CEDP), medical surge is the ultimate test of the healthcare system's design. WhileInformation sharing(Option C) andCollaboration(Option A) are the "tools" used to manage surge,Healthcare resiliencyis the broader "process" or "state" being addressed. A resilient healthcare system is one that has pre-planned surge capacity-including extra beds, trained "reserve" staff, and stockpiled supplies-allowing it to function even when stressed to its breaking point. This ensures that during a disaster, the medical system does not become a victim itself but remains a stable community lifeline that prevents unnecessary mortality and morbidity through disciplined, coordinated surge management.
NEW QUESTION # 42
Which response best describes DHS Enhanced Cybersecurity Services (ECS)?
- A. Voluntary members sharing indicators of malicious cyber activity with providers
- B. Formal partnership with operators of critical cyber infrastructure such as financial systems
- C. Process that allows DHS to release cyber alerts to pursue the arrest of cyber criminals
Answer: A
Explanation:
TheEnhanced Cybersecurity Services (ECS)is a voluntary information-sharing program managed by the Department of Homeland Security (DHS) Cybersecurity and Infrastructure Security Agency (CISA). The program is best described as a mechanism that allowsDHS to share sensitive and classified indicators of malicious cyber activity with approved Commercial Service Providers (CSPs). These CSPs, in turn, use that information to protect their customers-specifically US-based public and private entities-from advanced cyber threats.
Unlike a general partnership (Option B) or a law enforcement process for arrests (Option C), ECS is a technical defensive program. It "enhances" the security of critical infrastructure by providing high-level threat intelligence that the private sector might not otherwise have access to. The program focuses on three main services: Email filtering, DNS sinkholing, and Netflow analysis. By sharing "indicators" (such as malicious IP addresses or file hashes), DHS enables CSPs to block cyber-attacks before they reach the networks of the participating organizations.
For theCEDPprofessional, ECS represents a key component of theNational Cyber Incident Response Plan (NCIRP). It emphasizes the principle of "Public-Private Partnership" in protecting the nation's critical infrastructure. Participating in ECS allows an organization to benefit from the federal government's unique visibility into global cyber threats. Because it isvoluntary, it respects the privacy and autonomy of private entities while providing them with a "shield" against sophisticated nation-state actors and cyber-criminal organizations that target sectors such as energy, water, and healthcare.
NEW QUESTION # 43
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