This is, without a doubt, the number one question posed regarding 1910.146(k). The problem is that many think there is no time requirements at all, and on the other end of the spectrum are folks like me who think response readiness is CRITICAL. OSHA has defined this response timing ( as well as other technical PRCS questions) for us in a formal settlement agreement that I wish to share…
Emphasis added to this letter is by me to highlight significant statements