Permit-Required Confined Spaces and Exposure Records Retention

OSHA has long stated that “entry permits” which contain exposure data MUST be maintained per 1910.1020.  However, this requirement seems to not be well understood.  It seems we find companies that prohibit entry into any hazardous atmosphere are keeping warehouses full of closed entry permits and those companies that are actually entering hazardous atmospheres are throwing out their permits after their annual review.  So what is the actual requirement?

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