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Tag Archives: OSHA
Should you challenge OSHA citations?
Will Kramer has written an excellent article on why you should challenge OSHA citations. Based on an analysis of the more than 57,000 citations listed in OSHA’s public inspection databases in 2012, employers achieved an average penalty reduction of 49% … Continue reading
H.R.1648 – Protecting America’s Workers Act
Rep. Miller, George [D-CA-11] has introduced legislation to revise the OSHA penalty structure. There are some interesting changes in this legislation: Repeat Violations – Increased from $70,000 to $120,000 Serious Violations – OSHA has requested increase from $7,000 to $12,000. … Continue reading
Posted in Compliance, OSHA
Tagged Fines, OSHA
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How do I deal with recommendations to my program?
You should frequently get recommendations for improving your PSM program through the PSM elements of Employee Participation, Process Hazard Analysis, Incident Investigations, Mechanical Integrity audits, Compliance Audits. Often, these recommendations are worthwhile improvements to your system that are worthy of … Continue reading
Posted in Compliance, Incidents, OSHA
Tagged Employee Involvement, Incidents, Mechanical Integrity, OSHA, PSM, RMP
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OSHA is going to have a field day in 2016
The IIAR released two new standards today which you can download (if you are a member) or purchase from their website: IIAR5 – Start-up and Commissioning of Closed Circuit Ammonia Refrigeration Systems IIAR7 – Developing Operating Procedures for Closed-Circuit Ammonia Mechanical Refrigerating … Continue reading
Posted in Compliance, Inspections, NEP, SOP Development, Standardization
Tagged NEP, OSHA, PSM, RAGAGEP
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OSHA to revise Palmer guidance on Hydrostatic Trapping
OSHA and the IIAR have not seen eye to eye on the issue of Hydrostatic trapping since 2006 when OSHA issued the Palmer interpretation letter which said the following: If a liquid expansion hazard exists and the only safeguard to protect … Continue reading
Posted in Compliance, Good Engineering Practices, NEP
Tagged OSHA, PSM, RAGAGEP, Standardization
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OSHA to focus on difficult inspections (like PSM) in 2014
Taken from the FY 2014 CONGRESSIONAL BUDGET JUSTIFICATION of the OCCUPATIONAL SAFETY AND HEALTH ADMINISTRATION: With the agency now in its fifth decade, OSHA finds itself at a crossroads concerning how it will direct its enforcement resources. OSHA has always operated … Continue reading
The three levels of PSM Compliance…
I’ve always taught that there are three levels of PSM compliance. In my travels throughout the Ammonia Refrigeration Community I’ve seen facilities at every level. I’ve also found that you can fairly quickly figure out what their situation is by … Continue reading
What does OSHA think is the biggest concern in ammonia refrigeration components?
I read a disturbing amount of OSHA documents through FOIA requests for research. About 99% of the stuff I read is pretty useless or already known to me from previous reading, but occasionally you come across something that wasn’t redacted … Continue reading
Posted in Compliance, Inspections, Mechanical Integrity, OSHA
Tagged Fines, Mechanical Integrity, OSHA, PSM
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Are Oil Separators a Confined Space?
Quite a few people have been reporting that OSHA inspectors and consultants are making an issue of people not classifying their compressor oil separators as a confined space. This is vexing because unless your oil separators are “large enough and … Continue reading
Posted in Compliance, Inspections, OSHA
Tagged Confined Space, OSHA
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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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