For some reason, we have seen a spike in questions and request to assess the applicability of PSM/RMP covered process(s), and this is beyond the typical “can use the Meer decision to get our flammable process out of PSM?” questions. So I thought it would be helpful to publish OSHA’s official interpretation and explanation of the phrase “on site in one location” as it goes a long way in explaining both “interconnected” and “co-located,” both of which have to be considered when establishing PSM/RMP applicability…
PLEASE NOTE, this information is publically available without my highlights and commentary