![]() (iii) Select a rescue team or service from those evaluated that: (ii) Evaluate a prospective rescue service's ability, in terms of proficiency with rescue-related tasks and equipment, to function appropriately while rescuing entrants from the particular permit space or types of permit spaces identified For example, §1910.134, Respiratory Protection, requires that employers provide a standby person or persons capable of immediate action to rescue employee(s) wearing respiratory protection while in work areas defined as IDLH atmospheres. Note to paragraph (k)(1)(i): What will be considered timely will vary according to the specific hazards involved in each entry. 146(k)(1) provides: (1) An employer who designates rescue and emergency services, pursuant to paragraph (d)(9) of his section, shall: (i) Evaluate a prospective rescuer's ability to respond to a rescue summons in a timely manner, considering the hazard(s) identified Question: If the employer selects this local fire department as its off-site rescue service, would the employer be in compliance with. In other words, they have the ability to respond in a timely basis, unless another call prevents them from doing so. However, the local fire department cannot guarantee that the rescue team will not be sent on another call during the employer's permit-space entry operations. ![]() The employer has also made a performance evaluation of the service in which the employer has measured the performance of the team or service during an actual or practice rescue. The employer has determined that the local fire department is adequately trained and equipped to perform permit space rescues of the kind needed at the facility. Scenario: An employer evaluates and selects a local fire department using the guidance provided in Appendix F of the PRCS standard, Rescue Team or Rescue Service Evaluation Criteria (Non-mandatory). Your scenario and question has been paraphrased below for clarity. However, your letter requests a written response to your question from Federal OSHA. It is my understanding that you have spoken with my staff and were informed that the State of Kentucky operates its own occupational safety and health program under a plan approved by Federal OSHA. Your letter has been referred to DEP's Office of General Industry Enforcement (GIE) for an answer regarding OSHA's Permit-required confined spaces standard (PRCS). Are you unsure if your space is permit-required? Read more about it on our FAQ page.Thank you for your January 2 letter to the Occupational Safety and Health Administration's (OSHA's) Directorate of Enforcement Programs (DEP). Impact Safety’s Rescue Team can help keep your workers safe and your costs low. Adjustments have continued which has increased the Maximum penalty amount to $132,598 ( OSHA Penalties ). In 2016, OSHA adjusted its penalties for inflation in 2016 for the first time in 25 years raising the maximum penalty for a violation to over $126,000. OSHA requires a standby confined space rescue team for all entries into permit-required confined spaces. ![]()
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