Document 3N42Qra8wMp5BjGkMkMdXDkkn
CHEMICALS
PPG
INTEROFFICE / LAKE CHARLES
To: Jere Clark From: Nelson Perez
Date: March 12, 1990
Subject: OSHA/EDC Exposure Regs Vacuum Truck Services
As a result of the new OSHA/EDC exposure regulations we are
in the process of studying modifications to equipment and
changes of procedures in Derivatives necessary to reduce EDC
exposure of personnel. The new EDC/OSHA regulations limits
currently in effect are 1 ppm personnel exposure for 8 hours
TWA and 2 ppm for 15 minutes. As of now, we are operating
under a temporary provision which allows for the use of
respiratory protection to meet the new exposure limits.
Engineering controls will need to be in place by December 31,
1992 to meet the new EDC exposure levels without respiratory ,
protection.
*
Extensive monitoring have being conducted to determine the
extent of the EDC exposure problem. These monitoring include
operations and maintenance personnel while performing routine jobs. As a result of that, it has been determined that the vacuum trucks operations is a source of possible exposure for people working on or nearby vacuum trucks.
Vacuum trucks are, in effect, a fact of life in Derivatives to move around waters that require further treatment prior discharge. I would like to know if we can get the providers of these services to modify their equipment in such a manner as to help us to comply with the new EDC/OSHA regulations. As I noted before, the time frame to comply with the regulations is limited and eventually we will have problems with them if no action is taken.
cc:
F. Ortiz D. Savoy C. Parnell
D. Holliday
SL 091888