Federal OSHA Regulatory Update

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Federal OSHA Regulatory Update 22 September 2015 Elizabeth Treanor Director Phylmar Regulatory Roundtable 916.486.4415 1

Federal OSHA Standards Development Enforcement General Duty Clause Temporary Workers Recordkeeping 2

OSHA Administration Personnel is Policy David Michaels Assistant Secretary Deborah Berkowitz Senior Policy Advisor Jordan Barab Deputy Assistant Secretary Dorothy Dougherty Deputy Assistant Secretary Kirk Sander, Chief of Staff Thomas E. Perez Secretary of Labor Howard Shelanski Administrator-OMB-OIRA 3

WHAT IS NOT NEW Combustible dust delayed still in pre rule stage Bloodborne Pathogens still in pre rule stage Infectious Diseases still in pre rule stage Temporary Worker Initiative 4

WHAT IS NEW Recordkeeping PELs responses to RFI by 10/10/15 Increased use of General Duty Clause Electrical Power Generation, Transmission, and Distribution: Protective Equipment Communication Towers 5

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Hazard Communication Standard Compliance Directive Inspection Procedures for the Hazard Communication Standard - https://www.osha.gov/oshdoc/directive_pdf/cpl_ 02-02-079.pdf Employers must update their written hazard communication program, any alternative workplace labeling, and provide additional employee training for newly identified physical or health hazards by June 1, 2016. 10

Hazard Communication Standard Compliance Directive Cont d Training programs must be evaluated through program review and interviews with management and employees. Employees must have an adequate understanding of workplace chemical hazards they are exposed to. Employees must know how to obtain and use information and protective measures on labels and SDSs. 11

Hazard Communication Standard Compliance Directive Cont d Use of General Duty Clause HCS to Support a Violation of the General Duty Clause when there is exposure to chemicals with no PEL. CSHOs to consider issuing a Section 5(a)(1) citation in accordance with the above guidance and the FOM, by taking into account information in the chemical's SDS. 12

Hazard Communication Standard Compliance Directive Cont d Written Hazard Communication Program SDS Requirements Designation of the person(s) responsible. Procedures to maintain SDSs (e.g., in notebooks in work area(s), in a pick-up truck at jobsite), electronic retrieval, backup systems, and how employee access to SDSs. Procedure to follow if the SDS is not received at the time of the first shipment. Procedure to follow if it is suspected that the SDS is not appropriate (e.g., missing hazards). Procedure to follow to determine if the SDS is current. 13

Crystalline Silica Proposed Rule Published in Federal Register 9/12/13 Extended Comment Period ended 1/27/14; hearings 3/18/14 4/4/14 OSHA reviewing +2,700 comments 50 μg/m3 8-hour TWA highly controversial Separate regulations for General Industry/Maritime & Construction Post Hearing Comment Period ended 7/14 Goal: out by April 2016 14

Crystalline Silica Proposed Rule Cont. Includes provisions for: Measuring silica exposure Action Level of 25 μg/m3 Reducing exposure Medical exams for exposure over 30 days per year Training workers 15

Crystalline Silica Proposed Rule Cont. It's absolutely necessary to go below the current PEL, Says Dr. Michaels Proposed rule to save $2.8 - $4.7 billion in health benefits Average annual cost per workplace - $1,242 Mandates wet cleaning methods or HEPAfilter vacuuming Must be included in Hazard Communication Program 16

Electrical Power Generation, Transmission, and Distribution: Protective Equipment Degree of training must be determined by the risk to the worker for the hazard involved Qualified workers must have training to recognize and control or avoid electrical hazards present at the worksite Line-clearance tree trimmers must have training to distinguish exposed live parts & determine voltage of those parts, and must have training in minimum approach distances No longer necessary for employers to certify workers are proficient in safe practices 17

OSHA & NIOSH Joint Temporary Worker Recommended Practices Issued 8/25/14 Tips: Evaluate the Host Employer s Worksite prior to accepting a new host employer Train Agency Staff to Recognize Safety and Health Hazards Ensure the Employer Meets or Exceeds the other Employer s Standards Assign Occupational Safety and Health Responsibilities and Define the Scope of Work in the Contract Communicate Injury and Illness Tracking Conduct Safety and Health Training and New Project Orientation 18

OSHA & NIOSH Joint Temporary Worker Recommended Practices Cont. Develop Procedures for First Aid, Medical Treatment, and Emergencies Both Employers should have an Injury and Illness Prevention Program Host employers should provide temporary workers with safety training that is identical or equivalent to that provided to the host employers own employees performing the same or similar work Injury and illness prevention program assessments and investigations Maintain contact with workers 19

Recordkeeping Final Rule published 9/11/14 Effective 1/1/15 Retains 8 hour reporting for fatalities Requires reporting within 24 hours for work-related in-patient hospitalizations, amputations or loss of an eye Developing web portal for electronic reporting Changes from SIC to NAICS 20

Recordkeeping 2013 Proposal Would require electronic submission of injury and illness information quarterly for employers with 250+ employees OSHA to publish data online Lots of opposition from US Chamber of Commerce 21

Recordkeeping Cont d PRR Submitted comments March 6, 2014, comments included: OSHA database should replace the OSHA Data Initiative (BLS) reports Ability to submit through both online forms and batch submissions (Excel or XML files) Personal Identifying Information be excluded from submission 22

PRR Recordkeeping Comments- cont d Option for enterprise wide submission, up to enterprise Owned/operated to be defined by company Annual, rather than quarterly, submission Confirmation email once data is submitted Data submission system to include updates User friendliness of website is key 23

Spring 2015 Semiannual Agenda Pre-Rule Stage Bloodborne Pathogens End Review Issue Findings 9/15 Combustible Dust Initiate SBREFA 2/16 PELs RFI issued! PSM Analyze Comments Initiate SBREFA 6/15 24

Spring 2015 Semiannual Agenda Proposed Rule Stage Occupational Exposure to Crystalline Silica Analyze comments through 6/15 Occupational Exposure to Beryllium NPRM published 8/6/15-.2mg/u 3 Clarification of Employer s Obligation to Make and Maintain Accurate Records of Work Related Injuries and Illnesses NPRM published 7/29/15 to clarify ongoing duty 25

Spring 2015 Semiannual Agenda Proposed Stage Cont. Standards Improvement Project IV NPRM 9/15 Amendments to the Cranes and Derricks in Construction NPRM 11/15 Cranes and Derricks in Construction: Operator Certification NPRM 12/15 Infectious Diseases NPRM 12/16 26

Spring 2015 Semiannual Agenda Final Rule Stage often a work of fiction Confined Spaces in Construction Final Rule published 5/4/15, effective 8/3/15 Walking Working Surfaces and Personal Fall Protection Systems (Slips, Trips, and Fall Prevention) Final Rule 8/15 Improved Tracking of Workplace Injuries and Illnesses Final Rule 9/15 electronic submission Updating OSHA Standards Based on National Consensus Standards for Eye and Face Protection Final Rule 5/15 27

RFI on Permissible Exposure Limits Request for Information Reviews history Identifies possible courses of action Invites comments/dialogue Series of questions mostly involving how companies manage chemical risks in the workplace 28

RFI on Permissible Exposure Limits (PELs) Cont d Most adopted into Z tables based on 1968 TLVs Late 1980s-OSHA issued rule to update them. 1989-Rule Overturned US Court of Appeals Should updating the PELs be a priority for the agency? Suggestions for ways to update the PELs? Are there other ways to control workplace chemical exposures? 29

RFI on Permissible Exposure Limits Cont d Popular idea 6/24/10 1-day OSHA Stakeholder meeting on PELs Should issue an annotated list of PEls with basis & limitations for each, including target organ/endpoint used to set the limit, whether based on animal or human data, quality of data, quantity of data, protection factors used, who paid for research to produce data, and data gaps OSHA released: https://www.osha.gov/dsg/annotatedpels/index.html 30

RFI on Permissible Exposure Limits Cont d Options Control Banding But OSHA questions resources to develop bands How to Develop? General Duty Clause 5(a)(1) to enforce SDS recommendations? Decades ago proposal to OSHA to develop generic standards to accompany HazCom: for exposure monitoring, medical monitoring, training, personal protective equipment (last was done by feds) Other options? 31

OSHA Moving to Guidance rather than Standard Setting Transitioning to Safer Chemicals https://www.osha.gov/dsg/safer_chemicals /index.html Temporary Worker Initiative Guidance - https://www.osha.gov/temp_workers/ Annotated PELs 32

SEVERE VIOLATORS PROGRAM - SVEP OSHA s Severe Violators Enforcement Program (SVEP) recordkeeping a component; issued way to get off list Targets egregious & persistent OSH Act violators with willful, repeat, or failure-toabate citations including recordkeeping violations based on underreporting Employers identified on OSHA website Likely to be expanded White Paper Issued 1/13 33

SVEP Focus Amputations Combustible dust Crystalline silica Excavation/trenching Lead Shipbreaking 34

SVEP REMOVAL CRITERIA Published SVEP Removal Criteria 8/12 3 years from final disposition of SVEP citations All affirmed violations abated, penalties paid, no additional serious citations Controversy press release when added to SVEP list, nothing when taken off. Added to list before citations are adjudicated 35

Penalty Structure Employer size Employer history Repeat violations SVEP Good faith Gravity-based penalties Penalty calculation 36

SST (Site Specific Targeting) New Site-Specific Targeting Inspection Plan issued 3/6/14 2,250 establishments selected 1,260 establishments selected to evaluate effectiveness of the program 37

SST Cont d DART rate at or above 7.0 or DAFWII case rate at or above 5.0 Non-manufacturing with a DART rate at or above 15.0 or a DAFWII rate at or above 14.0 Nursing and Personal Care Facilities 2012 OSHA Data Survey Nonresponders Industries without Permanent Workplaces 38

National Emphasis Programs 12 underway (including SVEP focus) Hazardous Machinery Primary Metal Injuries Hexavalent chromium Federal Agencies 6/25/14 Isocyanates 6/20/13 Inspections of all refineries completed 39

FED ENFORCEMENT STATS 2014 23,183 inspections, down from 2013 Programmed inspections 51% Unprogrammed 49% up from 2012 Fatality Investigations, 827, up, 274 in 2014 % with Violations contested 11% same as 2012 Referrals 4,634, down 7.7% Average Penalty per Serious Violation - $2,200 Significant cases 102 down from 2013 Total violations 43,580 down from 2013 40

TOP 10 MOST FREQUENTLY CITED STANDARDS (General Industry) - FY 2014 Hazard Communication Electrical, Wiring Methods Lockout/Tagout Respiratory Protection Powered Industrial Trucks Machine Guarding Electrical, General Requirements Bloodborne Pathogens Personal Protective Equipment Guarding Floor & Wall Openings 41

Temporary Worker Initiative (TWI) Started with Fairfax Memo April 2013 Now a website identifying shared responsibility - https://www.osha.gov/temp_workers/ 3/12/14 Issued TWI Bulletin 1, stating host log to include contractor injuries & illnesses on log Encourages communication-host & primary ER Michaels too many reports of workers being killed the first day on the job and some workers have 50 first days on the job NIOSH/OSHA Practices 42

Ergonomics Using General Duty Clause 5(a)(1) of OSH Act since 2004 28 Citations issued under 5(a)(1) 973 Ergonomics Hazard Alert Letters to employers in healthcare and nursing homes primarily 43

Workplace Violence Using General Duty Clause 5(a)(1) 60 investigations in 2013 26 Hazard Alerts 30 5(a)(1)s issued in last 3 years 2014 29 on-going investigations in social services, night retail, healthcare, and prisons Updating directive to clarify employer responsibilities 44

NIOSH Carcinogen Policy - Sleeper Issued 11/5/2013 Public Comment by 2/13/14 Would use hazard assessment from NTP, EPA & IARC Evaluate occupational relevance-accurate ID and communicated in workplace If occupationally-relevant, NIOSH will list as occupational carcinogen NIOSH will determine GHS classification 45

Proposition 65 Adopted by CA voters in 1986- Clean Water and Toxic Enforcement Act In part, requires warning prior to exposure to carcinogens & reproductive toxicants Bounty hunter provisions-happy lawyers Bill to improve Prop 65 passed in 2013 Proposed regulations early 2015 Hearing May 2015 Final Regulations expected soon 46 46

Proposition 65 cont d Name of chemical to be on warnings for acrylamide, arsenic; benzene; cadmium; chlorinated Tris; l,4-dioxane, formaldehyde, lead, mercury, phthalates, tobacco smoke & toluene Workplace warning - Entering this area will expose you to a chemical (or chemicals) known to the State... instead of This area contains... For carcinogens & reproductive toxins 47

Proposition 65 Occupational Warnings cont d International health hazard symbol required Supplemental information SDS, pamphlet, training materials may be provided, but cannot be substituted for warning methods required 48

Proposition 65 cont d Employers/manufacturers posting warning signs-upload info to website Must put For more information, go to your employer or to www.p65warnings.gov on signs Include name of chemical(s) if one of the 12 Labels used within workplace must be re-labeled as well 49

10 Most Frequently Cited Title 8 Standards California Section 3203 Injury and Illness Prevention Program Section 3395 Heat Illness Prevention Section 1509 Construction IIPP Section 5194 Hazard Communication Section 3314 Lock out/tag out (Energy Control) Section 6151 Portable Fire Extinguishers Section 461 Permits to Operate Air Tanks Section 342 Failure to Report Section 5144 Respiratory Protection Section 2340.16 Work Space About Electrical Equipment 50

Heat Illness Revised Standard effective 5/1/15 New High Heat Procedures effective at 80 degrees Effective communication with workers voice, observation, electronic Observing employees for alertness or signs/ symptoms of heat illness Designation of employee at each site authorized to call for emergency assistance Remind employees to drink water Pre-shift meeting 51

Heat Illness cont d One utility cited for failure to include in written procedures that employees can refill water jugs at restaurant at lunch time Another citation to qualify as shade, a truck must have the air conditioning running the entire time the employee is working Settlement with CRLA heat illness is part of all outdoor workplace inspections 52

Heat Illness cont d Enforcement Inspections 2014 3,855; 2015 YTD 1,690 heat inspections 2014 713; 2015 YTD 246; in agriculture 2014 2,185; 2015 YTD - 992; in construction Remainder outdoor work sites in various industries utilities, landscaping 2014 1,058; 2015 YTD 748; with at least one Section 3395 citation Most frequently cited section of Section 3395 Lack of or an inadequate written Heat Illness Prevention Program Lack of or inadequate employee training Lack of or inadequate provision of water 53

Questions? Contact: Elizabeth Treanor, Esq. Director, Phylmar Regulatory Roundtable 916.486.4415 Etreanor@phylmar.com 54