Bryan Haywood

EPA Seeks Input on Modernizing the Risk Management Plan (RMP) Rule

The U.S. Environmental Protection Agency (EPA) invites small businesses, governments, and not-for-profit organizations to participate as Small Entity Representatives (SERs) for a Small Business Advocacy Review (SBAR) Panel. This panel will focus on the Agency’s development of a rule that proposes to modify the current Risk Management Plan (RMP) regulation to reduce the likelihood of…...

Membership Required

You must be a member to access this content.

View Membership Levels

Already a member? Log in here

Using OSHA inspection data to analyze respirator protection program compliance (DOL Report)

Several million American workers wear respirators on a regular basis, and the Occupational Safety and Health Administration (OSHA) requires that nonagricultural firms have a respiratory protection program. This article uses the OSHA inspection data base to examine all inspections in manufacturing in 47 states from 1999 through 2006; the examination starts with 1999 because an…...

Membership Required

You must be a member to access this content.

View Membership Levels

Already a member? Log in here

Delusional Safety Syndrome (DSS)

It has taken me 25 years to diagnose it, but I have finally establish the “Delusional Safety Syndrome” (DSS).  It is the only mental illness known at this time that is actually contagious.  It is spread by close contact with an infected person.  It can lie dormant for years and the infected person can spread…...

Membership Required

You must be a member to access this content.

View Membership Levels

Already a member? Log in here

Making the case my PSM/RMP covered process complies with RAGAGEPs (Vessels)

This is a follow up to my July 2013 article “Making the case my PSM/RMP covered process complies with RAGAGEPs (Piping)”.  With OSHA’s recent memo on “RAGAGEP in Process Safety Management Enforcement” I have received renewed request to explain how a facility can demonstrate their vessels/tanks comply with RAGAGEP(s).  Here it goes:… Membership Required You...

Membership Required

You must be a member to access this content.

View Membership Levels

Already a member? Log in here

Does the “voluntary use” of a “filtering facepieces” (dust masks) require the use Appendix D?

Are you providing a copy of 1910.134 Appednix D to each employee who wears a filtering facepieces (dust masks) on a “voluntary basis”? Are you controlling these filtering facepieces (dust masks) so that ONLY employees who have been provided with a copy of Appendix D have access to these filtering facepieces (dust masks)?  For the…...

Membership Required

You must be a member to access this content.

View Membership Levels

Already a member? Log in here

Looking for a FREE Safety Culture Survey?

As part of their Industrial Safety Ordinance Contra Costa County, CA developed a VERY NICE safety culture survey.  It is a requirement for CalARP facilities, but just a GREAT RESOURCE for the rest of us.  Check it out Attachment E: Safety Culture Assessment (PDF).  You may have some work to do to get it in…...

Membership Required

You must be a member to access this content.

View Membership Levels

Already a member? Log in here

EPA RMP vs. CalARP (CA Accidental Release Program)

When it comes to EPA’s Risk Management Plan rule, the state of California made significant modifications to the RMP rule.  Basically, California replaced the Risk Management and Prevention Program with the California Accidental Release Prevention (CalARP) Program on January 1, 1997. The CalARP Program is very similar to the EPA’s Risk Management Program with the…...

Membership Required

You must be a member to access this content.

View Membership Levels

Already a member? Log in here

OSHA’s presentation on RAGAGEP Enforcement from 2015 ASSE

Here is the presentation that Jim Lay, P.E., from OSHA’s Office of Chemical Process Safety & Enforcement Initiatives did last week @ ASSE’s Annual Conference.  He did this presentation the same day OSHA rolled out their new enforcement policies on chemical mixtures and RAGAGEP enforcement.  The presentation covers RAGAGEP Background, Early recognition of RAGAGEP, RAGAGEP…...

Membership Required

You must be a member to access this content.

View Membership Levels

Already a member? Log in here

50 incidents & 1 update (6/15/15)

  Many THANKS to my NEW and RENEWING “Partners in Safety“ – See more at: http://www.safteng.net/#sthash.3AXLlGgX.dpuf Over 12,500 exclusive unsafe acts/conditions and accident/injuries photos and over 1,100 ppt’s & doc’s from more than 2,797 contributors! 2015 Fatality Tracker Electrical 21 (2014 =55) (2013 = 32) (2012 = 68) Forklift/Aerial 19 (2014 = 60) (2013=62) (2012…...

Membership Required

You must be a member to access this content.

View Membership Levels

Already a member? Log in here

OSHA memo Evaluating Hazardous Levels of Accumulation Depth for Combustible Dusts (4/21/15)

April 21, 2015 MEMORANDUM FOR: REGIONAL ADMINISTRATORS THROUGH: DOROTHY DOUGHERTY Deputy Assistant Secretary FROM: THOMAS GALASSI, Director Directorate of Enforcement Programs SUBJECT: Evaluating Hazardous Levels of Accumulation Depth for Combustible Dusts   The purpose of this memorandum is to provide guidance in calculating the levels of dust accumulations that may be allowed at workplaces for…...

Membership Required

You must be a member to access this content.

View Membership Levels

Already a member? Log in here
Scroll to Top