Reclassifying a PRCS in OSHA’s own words (1926.1203(g))

When can a PRCS be reclassified and how must one go about doing it?  This is taken directly from an OSHA publication, but what caught my eye is this publication makes it clear that BOTH “reclassification” and the “alternative entry” methods can be used at the same time for the same PRCS!  Pay close attention to the very last sentence and you’ll see what I mean.

I proposed this back in June 2019 with my post:  Does OSHA’s new PRCS in Construction allow the use of Alternative Entry and Reclassification on the same PRCS?

Here are OSHA’s own words, explain how reclassification can be done…

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