![]() ![]() The effective date for completion of these requirements is June 1, 2015. ![]() Chemical manufacturers and importers are required to distribute modified SDSs to downstream users of their chemicals. The modifications also established a new uniform format for SDSs, containing 16 specific sections with headings for each section to ensure consistency in presentation of information. The new criteria must be provided to downstream users in revised MSDSs, now referred to as safety data sheets (SDSs). As part of these modifications, chemical manufacturers and importers are required to re-evaluate chemicals according to the new criteria adopted from GHS in order to ensure that pure chemicals and mixtures are classified appropriately. On March 26, 2012, OSHA modified its HCS to conform to the United Nations’ (UN) Globally Harmonized System of Classification and Labeling of Chemicals (GHS). Facilities must subsequently submit a revised MSDS to the LEPC, the SERC, and the local fire department after they discover significant new information concerning a hazardous chemical for which an MSDS was submitted (§ 370.31(a)). ![]() 1200.Pursuant to 40 CFR Part 370, facilities must submit a material safety data sheet (MSDS) for each hazardous chemical or submit a list of all hazardous chemicals for which the facility is required to prepare or have available an MSDS under the Occupational Safety and Health Administration (OSHA) Hazard Communication Standard (HCS) and are present at the facility equal to or above the applicable threshold. Outside of the above subparts, other frequently cited standards for the covered industries include §§1910.28. Recording and Reporting Occupational Injuries and Illnesses Note that covered industries have frequent violations in: ![]() OSHA explains that federal data show injury and illness rates for these establishments are higher than in private industry overall and, in some sectors, more than twice the rate of private industry!Įmployers may wish to focus their compliance efforts on heat and ergonomic hazards, along with and five subparts of, since they are mentioned in the NEP: Regulation: NEPs are enforcement programs that concentrate the agency’s inspection and outreach efforts on particular hazards or high-hazard industries, based on emerging trends and strategic goals.įind background information in two earlier articles, “ Warehousing Safety Crackdown: Beating OSHA to the Punch” (), and “ OSHA Plotting Even More Inspections for Warehousing Nationwide” (). The warehouse NEP (CPL 03-00-026) is one of only 13 for the agency. Certain high-injury-rate retail establishments.Mail/postal processing and distribution centers,.Warehousing and distribution center operations,.It’s now all-hands-on-deck for OSHA and state-plan-state inspectors nationwide for the next three years, as they knock on doors to: Attempting to put a stop to skyrocketing incidence rates, OSHA issued its National Emphasis Program (NEP) on Warehousing and Distribution Center Operations on June 13. ![]()
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