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- What the Ammonia refrigeration industry can learn from West, TX | TAO Compliance – PSM News for Ammonia Refrigeration on West Texas Damage Photos
- Resource Compliance » Overview of the DHS CFATS Regulation on Did you get a DHS – CFATS/CSAT Top Screen letter?
- FUD in the news! | TAO Compliance – PSM News for Ammonia Refrigeration on West Texas Damage Photos
- FUD in the news! | TAO Compliance – PSM News for Ammonia Refrigeration on Texas Ammonia Explosion Coverage
- OSHA is going to have a field day in 2016 | TAO Compliance – PSM News for Ammonia Refrigeration on Chicago Jewel’s Citation on Operating Procedures and PSI
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Category Archives: EPA
Interesting Times
A wise man once said that it was a curse if someone said to you: “May you live in interesting times.” EXECUTIVE ORDER – – – – – – – IMPROVING CHEMICAL FACILITY SAFETY AND SECURITY By the authority vested … Continue reading
Posted in Community Involvement, Compliance, EPA, Inspections, NEP
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Five Year Independent Full Inspection
IIAR Bulletin 110, Section 6.4.4 calls for something called an “Independent Full Inspection”: At least every five years, the annual inspection of the vessels and heat exchangers shall be carried out by a competent person independent of immediate commercial and … Continue reading
Posted in Compliance, EPA, General Information, Good Engineering Practices, Mechanical Integrity, NEP, OSHA
Tagged Fines, Mechanical Integrity, RAGAGEP
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Texas Ammonia Explosion Coverage
Just a quick note – I hope to update this later. The explosion in Texas has caused some reporters to imply that the company’s RMP filing for Anhydrous Ammonia was inaccurate because the “Worst Case Scenario” didn’t include an explosion … Continue reading
EPA & Tyson agree to settle in a BIG way
The U.S. Environmental Protection Agency (EPA) and the U.S. Department of Justice announced a Clean Air Act (CAA) settlement with Tyson Foods, Inc. and several of its affiliate corporations to address threats of accidental chemical releases after anhydrous ammonia was … Continue reading
Posted in Community Involvement, Compliance, EPA
Tagged EPA, Fines, Incidents, RMP
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The real cost of an OSHA/EPA fine isn’t the check you write
Sure, it’s painful to write a check to pay fines, but if you think that fine is the cost of OSHA/EPA non-compliance, you’re in for a rude awakening. The real cost of a fine from OSHA or the EPA isn’t … Continue reading
Posted in Community Involvement, Compliance, EPA, Inspections, OSHA
Tagged EPA, Fines, OSHA, PSM, RMP
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Maximum Intended Inventory (1910.119(d)(2)(i)(C))
Lately we’ve been seeing quite a few misunderstandings of the inventory calculations required by a PSM program so I thought I would try and explain it as simply as I can. Both the EPA’s RMP and OSHA’s PSM require you … Continue reading
Posted in Compliance, EPA, Good Engineering Practices, NEP
Tagged EPA, OSHA, PSM, RAGAGEP, RMP
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What should you do if you get a notice of an EPA Risk Management Program inspection?
Depending on your area you may get anywhere from five days up to six weeks notice for a scheduled inspection from the EPA. You aren’t going to create a compliant, living PSM/RMP program in that time frame but there are … Continue reading
Posted in Compliance, EPA, Inspections
Tagged EPA
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