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Fatal flash fire in water tank (PRCS)

On or about May 28th, 2020 at approximately 15:30 hours three (3) employees were exposed to fire and explosion hazards when a remediation repair (on a produced water tank) involved a grinder for preparing the surface and a heat gun for preparing an epoxy on a tank which had accumulated hydrocarbon vapors from the produced […]

Manhole entry kills entrant and almost killed a “would-be rescuer” (H2S and O2 deficiency)

At 9:00 a.m. on May 29, 2020, Employee #1 and #2, coworkers, discussed entry into a manhole to clear a blockage. Employee #1 entered into the manhole without personal protective equipment, without training, and without performing any air quality testing. Employee #1 successfully placed the line to clear the blockage and began to climb out.

EPA and OSHA are getting serious in their RMP enforcement efforts, especially with NH3 refrigeration and refinery piping inspections!

Those that follow my PSM & RMP Citations / Analysis postings most likely have noticed a significant change in the level and depth that EPA and OSHA are conducting their RMP and PSM inspections.  They have cited many more RAGAGEP issues and now dig deep into PHA’s and SOP’s than they ever had before.  This

EPA RMP citations @ refinery (Flammables & $344K)

Respondent is the owner and/or operator of a Refinery that uses, handles, and/or stores more than a threshold quantity of Flammable Mixture and Hydrogen fluoride/Hydrofluoric acid, which are regulated substances, as specified at 40 C.F.R. ยงยง 68.115 and 68.130. From August 15 to August 18, 2016, authorized representatives of the EPA conducted an inspection of

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