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I am proud to announce that SAFTENG and The Chlorine Institute have renewed our partnership for another year (through 2026).  Members of The Chlorine Institute receive a FREE SAFTENG membership.  If you qualify, please contact me

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OSHA's proposed "Employee Participation" requirements in its new Emergency Response Standard
To be effective, any safety and health program needs the meaningful participation of workers and their representatives. Similarly, for the Emergency Response Program (ERP) to be effective, team members and responders need to be involved in establishing, operating, evaluating, and improving the ERP. Team members and responders have much to gain from a successful program and the most to lose if the...
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OSHA's proposed Incident Management System (IMS) requirements
Workplace Emergency Response Employers (WEREs) and Emergency Services Organizations (ESOs) respond to a wide variety of incidents, most of which are considered routine and involve a small commitment of resources. Some incidents are more complex and involve larger commitments of resources and potentially higher-risk operations. The WERE and ESO need to develop an incident management system (IMS) that...
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OSHA's proposed Standard Operating Procedures (SOP) requirements
The use of Standard Operating Procedures (SOPs) helps to reduce the risk of injuries and fatalities by providing written guidance to team members and responders with established safe procedures for actions to be taken during a wide variety of incident responses. They provide direction for team members and responders on what they need to do to safely perform job tasks that are routine and predictable....
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OSHA's proposed Pre-Incident Planning (PIP) requirements
This is a long time coming.  OSHA referenced the use of EPCRA’s Tier II’s in this section; something that has been in place since 1986!  For those of you who have stressed over my lengthy and detailed PSM/RMP audit findings regarding emergency planning and response – you’re welcome.  Closing out those findings means you are well on your way to being compliant...
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OSHA's proposed Emergency Incident Operations
During emergency incident operations, team members and responders face the most challenging aspects, both physically and psychologically, of their vocation.Ensuring safe operations at incidents can reduce team member and responder injuries and fatalities and limit exposure to health hazards. Paragraph (p) of the proposed rule is based on current industry practices, as reflected by NFPA consensus standards...
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OSHA's proposed WERE and ESO Facility Preparedness requirements
Proposed paragraph (i) provides requirements to ensure that Workplace Emergency Response Employers (WEREs) facilities are safe for team members. Paragraph (i)(1)(i) of the proposed rule would require WEREs to ensure their facilities comply with 29 CFR 1910 Subpart E, Exit Routes and Emergency Planning.  This proposed provision is not a new requirement because WEREs are already required to comply...
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Organization of the WERT, and Establishment of the ERP and Emergency Service(s) Capability
As noted in the Summary and Explanation for proposed paragraph (a) Scope, the proposed rule would not apply to any employer that is not an Emergency Service Organization (ESO) and does not have a Workplace Emergency Response Team (WERT). Nothing in this proposed rule would require an employer to establish a WERT. Each employer makes the decision for itself, based on a risk assessment of its facility,...
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Could a valve save a life? (Fail Safe Valves)
In the world of hazardous materials, evacuating them from their primary (and secondary) containment system plays a KEY role in performing maintenance/servicing on the system SAFELY.  For example, opening a process/system that contains hazardous materials FIRST has to be evacuated of that hazardous material, and this evacuation to a “safe place” should be done through a Manual “Spring-Loaded-CLOSED”...
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Why Excess Flow Valves (EFV) fail to close
EPA and OSHA put out an Alert in 2007 regarding the use of Excess Flow Valves (EFV) as a “safeguard”.  Although that alert has been “archived” the failures we see today align with what that alert warned us about 16 years ago!  While excess flow valves (EFV) are in extensive service and have prevented numerous pipe or hose breaks from becoming much more serious incidents,...
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NPGA NH3 Alert
Anhydrous ammonia and propane cylinders SAFETY ALERT (NPGA)
SAFETY ALERT From National Propane Gas Association (NPGA) INTRODUCTION: Readers of this bulletin should consult the law of their individual jurisdictions for codes, standards and legal requirements applicable to them. This bulletin merely suggests methods which the reader may find useful in implementing applicable codes, standards and legal requirements. This material is not intended nor should it...
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Get to know your STKY chemicals (H2S)
While wrapping up a 2023 project, I was saddened to see the image below while in the OSHA incident database.  Several things come to mind regarding these H2S incidents: 1) no other chemical in the database has this deadly percentage over the past three (3) years 2) Hydrogen Sulfide has GREAT warning properties (odor threshold 0.008 to 0.1 ppm), but with that also comes Olfactory Fatigue (@ 100...
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Fatal entry into Open-Top Frac Tank (PRCS & H2S)
At 8:00 a.m. on June 26, 2022, two (2) employees emptied and cleaned an open-topped frack tank (Tank #4) at an oil and gas services site. There were no eyewitnesses, and the employees were working at a remote site alone, so few details are known about what occurred. At the time of the investigation, hydrogen sulfide (H2S) gas was detected at levels between 3 parts per million (ppm) and 5 ppm, which...
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