Summary of Potential Changes to the Existing PSM Standard

The potential changes of scope include:

  • Clarifying the exemption for atmospheric storage tanks
  • Expanding the scope to include Oil- and Gas-Well Drilling and Servicing
  • Resuming Enforcement for Oil and Gas Production Facilities
  • Expanding PSM coverage and requirements for reactivity hazards
  • Updating and expanding the list of HHCs in Appendix A of the existing PSM standard
  • Amending Paragraph (k) of the Explosives and Blasting Standard to cover dismantling and disposal of explosives and pyrotechnics under the requirements of PSM.

The potential changes to particular provisions of the existing PSM standard that OSHA is considering include:

  • Expanding the scope of Paragraph (c) of the existing standard to include enhanced employee participation and stop work authority
  • Amending Paragraph (d) of the existing PSM standard to require evaluation of updates to applicable recognized and generally accepted good engineering practices (RAGAGEP)
  • Expanding the scope of Paragraph (e) by requiring safer technology and alternatives analysis
  • Expanding the scope of Paragraph (j) of the existing PSM standard to cover the mechanical integrity of any critical equipment
  • Revising Paragraph (n) of the existing PSM standard to require coordination of emergency planning with local emergency-response authorities
  • Amending Paragraph (e) of the existing PSM standard to require formal documentation with management signature(s), approving the actions taken (or lack thereof) in order to
    resolve PHA team recommendations
  • Amending Paragraph (m) of the existing PSM standard to require root cause analysis
  • Revising Paragraph (o) of the existing PSM standard to require third-party compliance audits
  • Revising the PSM standard to require additional management-system elements

In addition, OSHA is considering several minor modifications which largely codify existing OSHA interpretations of the PSM standard.

PSM Standard Section  Proposed Change(s)
(a) Application

Clarifying the Atmospheric Storage Tank Exemption

Clarify the scope of the retail facilities exemption

Adding Oil and Gas Drilling and Servicing

Adding Reactive Chemical Hazards Coverage

Clarifying threshold quantity coverage of mixtures of covered HHCs

Adding dismantling of explosives and pyrotechnics (by amendments to 1910.119(k))

(b) Definitions

Adding RAGAGEP Definition

Adding critical equipment definitions

(c) Employee Participation  Stop Work Authority
(d) Process Safety Information (PSI)

Collect Reactive Chemical Hazard Data

Assessing Updates to Selected RAGAGEP

Continuous Updating of Collected Information

(e) Process Hazards Analysis (PHA)

Assessing Reactive Chemical Hazards

Performing Safer Technology and Alternatives Analysis

Requiring PHA Teams to Identify “Critical” Equipment

Requiring Rationale for PHA

Recommendations that are Not Utilized

(f) Operating Procedures N/A
(g) Training N/A
(h) Contractors N/A
(i) Pre-startup Safety Review (PSSR) N/A
(j) Mechanical Integrity (MI)

Adding “Critical” to the List of Covered Equipment

Clarifying “Equipment Deficiencies”

(k) Hot Work Permit N/A
(l) Management of Change (MOC) Clarifying Organizational Changes
(m) Incident Investigation Adding Root Cause Analysis Requirement
(n) Emergency Planning and Response Adding Emergency Response Coordination and Training
(o) Compliance Audits Adding Third-Party Audit Requirements
(p) Trade Secrets N/A
(q) New Elements
Written PSM Management Systems  
Evaluation and Corrective Action  
Appendix A List of Covered Chemicals

Updating the List of Covered Chemicals

New Chemicals

New Concentrations for Existing Chemicals

Scroll to Top