The National Fire Protection Association (NFPA) is charged with creating standards for fire prevention in North America. While they have no enforcement power of their own, Authorities Having Jurisdiction (AHJs), including OSHA, will reference the NFPA standards in their own regulations. NFPA has had industry/commodity specific standards for combustible dusts for years, in some cases dating back to the early 1920’s. These include: Continue reading “NFPA Issues 2017 Revisions to Industry Specific Combustible Dust Standards”
Your injury and illness records are about to become public record!
The Occupational Safety and Health Administration (OSHA) has issued another final rule this year. This new rule on facility recordkeeping will require employers to electronically submit injury and illness data to OSHA each year. The data submitted will be made public as part of an OSHA public records database. This change, as expected, is causing much controversy with employers throughout general industry sectors.
The new rule will require facilities with 250 or more employees to electronically submit their injury and illness information, from OSHA forms 300, 300A, and 301, to OSHA each year. Continue reading “OSHA’s New Recordkeeping Rule”
Earlier this year, NFPA issued the 2017 edition of NFPA 499: Recommended Practices for the Classification of Combustible Dusts and of Hazardous (Classified) Locations for Electrical Installations in Chemical Process Areas. While “Chemical Process Areas” is identified in the title of the standard, the standard applies to chemical processing or mixing operations, which can include agricultural dusts, if mixing is occurring.The standard is a useful tool in classifying combustible dust areas as part of a Dust Hazard Analysis (DHA) as required by NFPA 652: Standard on the Fundamentals of Combustible Dusts. Continue reading “NFPA Issues 2017 Edition of NFPA 499”
As originally published in CTI’s Compliance Matters Newsletter – Summer 2015. By: Chris Frendahl and Jeff Davis, PE
On September 1, 2015, the National Fire Protection Association (NFPA) issued NFPA 652, Standard on the Fundamentals of Combustible Dust. NFPA 652 is the first step to creating a single, unified combustible dust standard that would apply to all facilities.
A significant number of industrial accidents have been associated with combustible dust flash fires and explosions. Historically, the hazards from combustible dust are often overlooked, in part due to facilities not understanding the hazards of combustible dust. However, there are other cases where the hazards are overlooked due to complacency or a general attitude of “that can’t happen here.” Continue reading “NFPA Issues NFPA 652: Standard on the Fundamentals of Combustible Dust”
If you have elected to comply with the Boiler MACT regulation through performance testing, the deadline for the broad majority of existing boilers to complete the performance testing was July 29th, 2016. For the sake of this blog entry, we’ll assume you have done this. (If not, you should contact us immediately and we can get you up to speed!) Continue reading “Submitting Results of Boiler MACT Performance Tests”
The Georgia Environmental Protection Division (GAEPD) has posted a draft of the 2017 NPDES General Permit No. GAR050000 for Storm Water Discharges Associated with Industrial Activity. The current (2012) version of the permit is set to expire on May 31, 2017, and this revision will replace it. Most facilities with industrial activities exposed to stormwater are required to have a permit to allow the stormwater to discharge. Some facilities have individual permits, but the majority of industrial facilities are able to obtain coverage under this General Permit, which establishes requirements that are applicable to all covered facilities. Continue reading “Georgia Issues Draft Industrial Stormwater Permit”
On July 29, 2016, the U.S. Court of Appeals for the D.C. Circuit ruled on the lawsuits over EPA’s Boiler MACT (40 CFR Part 63, Subpart DDDDD) and Boiler GACT (40 CFR Part 63, Subpart JJJJJJ) regulations. The lawsuit was the consolidation of multiple suits from industry and environmental groups. The split of the suits from industry versus environmental groups was stated by the court to be approximately 50/50. In summary, the court rejected all the industry petitions and granted some of the petitions from environmental groups. The most significant aspects of this ruling pertain to vacating portions of the standard and remanding additional portions of the standard to EPA to provide further explanation.
Under the Boiler MACT regulation, boilers are divided into subcategories based on the type of fuel utilized and the configuration of the combustion unit. Continue reading “Court Rules on Lawsuit over EPA’s Boiler MACT Regulation”
One environmental reporting requirement that is often overlooked, but enforced regularly by the Environmental Protection Agency (EPA) and state environmental agencies, is Toxic Release Inventory (TRI) reporting under Section 313 of the Superfund Amendments and Recovery Act (SARA). Continue reading “TRI Reporting: Is Your Facility Required to Report?”
The Occupational Safety and Health Administration (OSHA) has issued a final rule to protect workers from exposure to respirable crystalline silica. The rule is comprised of two standards, one for Construction (1926.1153) and one for General Industry (1910.1053). Before going into the details of the final rules, here is a review of what crystalline silica is and why a new rule governing exposure to it is being pushed out. Continue reading “OSHA Releases Final Rule on Silica Exposure Requirements”
It feels like we have been talking about the enacting of the Globally Harmonized System (GHS) for years, probably because we have been discussing the different aspects and implementation plans since it came out in 2012. The last deadline for compliance with this regulation is almost here. With the three-year transition period for full implementation of this regulation ending on June 1, 2016, this standard and its components should be at the fore front of our minds. Continue reading “Final GHS Deadline Is Almost Here!”