The countdown to Thanksgiving, along with all the turkey, stuffing and pumpkin pie has begun. This particular holiday is all about giving thanks and spending a day with friends, family and loved ones.
OSHA's NEP will increase education and enforcement efforts while its inspectors will record trenching and excavation inspections in a national reporting system, and each OSHA Area Office will develop outreach programs.
"Removing workers from and helping workers identify trenching hazards is critical," said Deputy Assistant Secretary of Labor for Occupational Safety and Health Loren Sweatt. "OSHA will concentrate the full force of enforcement and compliance assistance resources to help ensure that employers are addressing these serious hazards."
It makes sense that employees would not even want their employers and/or coworkers having knowledge of their private medical conditions. And there are laws in place which prevent employers from even asking questions related to an applicant’s medical conditions. In my opinion, when it comes to safety sensitive positions and/or safety sensitive tasks, this policy can cause some serious problems for employees and employers alike.
Remember on November 5th, when you set your clock back an hour, test your smoke alarm batteries, also. See, according to the NFPA, or the National Fire Protection Association, between 2009-2013, smoke alarms sounded in more than half (53%) of the home fires reported to U.S. fire departments. Three out of every five home fire deaths resulted from fires in homes with no smoke alarm (38%) or no working smoke alarm (21%).
Issued October 19, 2017
MEMORANDUM FOR: REGIONAL ADMINISTRATORS
THROUGH: THOMAS GALASSI - Acting Deputy Assistant Secretary
FROM: PATRICK J. KAPUST, Acting Director - Directorate of Enforcement Programs
Interim Enforcement Guidance for the Respirable Crystalline Silica in Construction Standard, 29 CFR 1926.1153
This memorandum provides interim enforcement guidance to Compliance Safety and Health Officers (CSHOs) for enforcing 29 CFR 1926.1153, Respirable Crystalline Silica. The Respirable Crystalline Silica in Construction standard establishes a new 8-hour time weighted average (TWA) permissible exposure limit (PEL) of 50 µg/m3, and an action level (AL) of 25 µg/m3.
As you know, OSHA has been enforcing the Respirable Crystalline Silica in Construction standard since September 23, 2017. However, for the first 30 days, OSHA offered compliance assistance in lieu of enforcement for those employers who were making good faith efforts to comply with the new construction standard. Effective October 23, 2017, OSHA will fully enforce all appropriate provisions of the Silica in Construction standard. This memorandum will serve as interim enforcement guidance while the standard's companion compliance directive is proceeding through the review process. It will expire when the compliance directive becomes effective and available to the field.
This memorandum highlights some of the requirements of 29 CFR 1926.1153, but does not provide guidance on all of the standard's provisions. The attachments provide inspection and citation guidance; as well as flow charts to assist with evaluating employers' control methods. Please consult the Office of Health Enforcement when you need further information or guidance on 29 CFR 1926.1153, Respirable Crystalline Silica.
Further, due to the new requirements in 29 CFR 1926.1153, Respirable Crystalline Silica, OSHA has revoked CPL 03-00-007, National Emphasis Program - Crystalline Silica. However, the inspection procedures for both General Industry and Maritime will remain unchanged until the compliance date for these industries begins on June 23, 2018.
If you’ve been in the safety profession or in supervision, for any length of time, you’re familiar with the difficulties associated with getting employees on board when it comes to following safety policies or procedures. Many of you have probably even had trouble in simply getting workers to follow a simple order of operation when performing routine tasks. In this post, I will share one of my experiences that really helped me understand why this is and share some tips on ways to effectively get the results you seek.
First, we must understand that our workforce is comprised of people, each of whom are a creature of habit, a culmination of life experiences. Having spent the first decade of my career as a field-level employee, I sometimes wonder why it took me as long as it did to figure this out.
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