Reposted from http://www.msdsonline.com
OSHA unveiled the Top 10 OSHA violations of 2013 at this year’s National Safety Council Congress and Expo in Chicago. Sponsored by Safety+Health magazine and The top ten list presentation drew a big crowd of attendees in the Expo hall.
Most hazards carried over from the 2012 list, with a couple gaining ground and a few falling. Fall Protection repeated as the number one violation as did HazCom Violations at #2 – which makes sense given all of the attention OSHA has put on HazCom since it revised the standard last year to align with the United Nations Globally Harmonized System (GHS). Other hazards rounding out the top are as follows:
Most Cited Violation of 2013
1. Fall Protection (29 CFR 1926.501) 7250 violations
2. Hazard Communication (29 CFR 1910.1200)
3. Scaffolding (29 CFR 1926.451) – 3018 violations (Big problem, people using scaffoldings as ladders and ladders as scaffolding, assuming one could work for the other.)
4. Respiratory Protection (1910.134)
5. Electrical – Wiring Methods (29 CFR 1910.305)
6. Powered Industrial Trucks (29 CFR 1910.178)
7. Ladders (1926.1053)
8. Control of Hazardous Energy – Lockout/Tagout (1910.147)
9. Electrical – General (29 CFR 1910.303) 2863 violations
10. Machine Guarding – General Requirement (29 CFR 1910.212)
As posted in Occupational Health and Safety magazine
February 5, 2008
OSHA has issued a new compliance directive for occupational exposure to hexavalent chromium (Cr(VI)). The directive, OSHA Instruction CPL 02-02-074, Inspection Procedures for the Chromium (VI) Standards, was effective January 24, 2008.
“This new directive provides guidance for enforcement of the final rule on hexavalent chromium standards,” said Assistant Secretary of Labor for OSHA Edwin G. Foulke, Jr. “OSHA anticipates these efforts will reduce the risks of exposure to Cr(VI), thereby improving the safety and health of employees affected by this hazard.”
The standards became effective on May 30, 2006. Employers with 20 or more employees were given six months from the effective date to comply with most of the provisions. Employers with less than 20 employees were allowed 12 months from the effective date to come into compliance with most of the provisions. All employers were given four years from the effective date to install feasible engineering controls.
The Cr(VI) standards, which were originally published in the Feb. 28, 2006, Federal Register, are applicable to general industry, construction, and shipyards (Sections 29 CFR 1910.1026, 29 CFR 1926.1126 and 29 CFR 1915.1026, respectively).
Highlights of the new Cr(VI) directive include procedures for reviewing an employer’s air sampling records to determine exposure levels; guidance on how employers can implement effective engineering and work practice controls to reduce and maintain exposure below approved permissible exposure limits; requirements for employers to provide hygiene areas to minimize employees’ exposure to Cr(VI); guidelines requiring employers to maintain exposure and medical surveillance records; and a requirement that CSHOs evaluate portland cement wherever it is being used.
The standards lower the permissible exposure limit for hexavalent chromium to 5 micrograms of Cr(VI) per cubic meter of air as an 8-hour time-weighted average. Hexavalent chromium compounds are regularly used in the chemical industry in pigments, metal plating and chemical synthesis. Significant health effects associated with exposure to Cr(VI) are lung cancer, nasal septum ulcerations and perforations, skin ulcerations, and allergic and irritant contact dermatitis.
To view a PDF of the directive, Click Here.