Document KejeyYKYDOv1Rbjjav1xXqYX
TPL& CMrwc
O0UA.
UNION CARBIDE CORPORATION
1300 Hercules Avenue - Suite 202
Engineering, Manufacturing & Technology Services
Houston, Texas 77058
! ZjW iWj'rtu/M *lwl*L
VffimPndto' tU*
Date: To:
1987
(RK h> H ^ ** lt,rA
April 28, 1987
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See Attached Distribution List
I%
Copy to: See Attached Distribution List Subject: Asbestos Gasketing and Packing
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Rapid changes in the asbestos area are taking place and the r change will probably stay high until the majority of asbestos is replaced.
This communication is an overview of current activities to help you meet regulatory requirements.
A task group (C. Neely, et al) dealing with the phase-out of
bestos containing materials in the work place for C&P, made their
commendation to the Manufa^tmi^a-J^nnnril via ^ c Perry, and it was
roved in March, 1987.
pation of purchase
^naininfj
after January 1,
4^1
V/
During the development of the original recommendation, the supply
world has changed. UCC's three major suppliers are no longer manufacturing asbestos containing materials. No supplier is willing to make a firm commitment to supply asbestos containing materials after the end of 1987, because of the inability to get liability insurance. In addition, the cost of asbestos has gone up 25% in the last twelve months. Therefore, the recommended deadline for purchase cessation may be met by lack of supply.
- continued UCC 015814
' (t>* i 5
In order to help prepare fitfr this change-over, tne following actions
are in progress:
/
1. The task force has/initiated and expedited actions to
do the engineering!specification work for asbestos replacements forglsketinaand packing. These C&P Engineering^^ppBWS^HiD^available for each location b^-S^ptember, 1987^^5pecific questions
before theiSUQ^^j3g^i*if?usse^ with Rex Engle at the South Charleston Tech Center.
2. Manufacturing Services - Maintenance working with UCC Carbon Products and Texas City Plant Maintenance is developing a video tape of "How-To's" for Grafoil installation in gasketing and packing applications. This videotape will be available thru Manufacturing Services - Maintenance in June, 1987 and you will be notified later how to obtain it. The videotape is designed to simplify the work of training your people. In addition to the use of the videotape, it would be wise to contact Jim Polomsky of Carbon Products to provide further follow-up, Hands-On Training. (713+852-9468 - Home - Houston, Texas or 1-800-822-4322 - Office - Cleveland, Ohio). See attached seminar content detail.
3. Exposure level data for situations' of removing, cutting, and handling gasketing and packing is now being collected from several locations by Industrial Hygiene. With these data, the appropriate removal methods can be specified. Industrial Hygiene coordination of this data collection program should . eliminate the need for each location collecting data.
4. We are representing maintenance for all*C&P locations in the on-going review of the OSHA field compliance Instructions Draft. As conclusions are drawn we will
let you know.
We are coordinating these efforts in order to speed communications
and minimize the efforts for each location. For further assistance, please call Ashton Barefoot at UNICOM 529-6437 or 713+486-6437. '
LC/6262L/cc
L. E. Calvert
UCC 015815
(C
DRAFT RECOMMENDED C&P PROGRAM CHEMICAL ANO PLASTICS BUSINESS GROUP (C&P)
9/29/86
GOAL: PHASEOUT USE OF ASBESTOS-CONTAINING MATERIALS^ ^IN THE WORK PUCE
PURPOSE/BACKGROUND
The Corporate Charter (1.1) contains the following commitment to em
ployees:
.
"To provide working conditions, programs of training and education, and persistent review and appropriate modifi cation of facilities and practices to protect the health and safety of employees."
It also contains a social commitment to conduct business "in accordance with all the applicable national and local laws and regulations."
As a result of available evidence that airborne asbestos In the occupa tional environment had proven to be carcinogenic In man, all C&P Insulation Standards were revised In 1976 to specify only asbestos-free Insulating materials; and new or replacement Installations of these materials have sub sequently been selected accordingly. Additionally, a Safety/Health Standard designated SH-256 was prepared covering the safe removal and handling (In cludes disposal) of asbestos-containing Insulating material during renova tion and demolition. The requirements of this Standard equal or exceed those of current applicable government standards.
OSHA's rule-making efforts relative to asbestos usage in the work place are mired In controversy. Hearings on the latest EPA proposal which In cludes the phaseout of all asbestos over a ten-year period are now In prog ress. The proposal states: "EPA Is considering banning the manufacture. Importation, and processing of asbestos construction products and asbestos clothing soon after the rule's promulgation with the category of asbestos friction products banned about five years later, and other asbestos products banned at a later time." Gaskets and packing that contain asbestos are in the category of "other asbestos products" that would apparently be banned after ten years. No peer company that we are aware of has a target date for removal of existing asbestos-containing Insulation, gaskets, or packing; however, one major chemical company has recently discontinued the purchase of asbestos-containing gaskets and packing.
A cost analysis of pipe-size gaskets shows that GRAFOIL*, probably the most expensive of the acceptable gasket substitute materials. Is. in fact, cost effective when the cost of mandatory work practices associated with the use of asbestos (e.g., wetting for removal or airborne fiber
^^"Asbestos-containing materials" Include but are not limited to Insulation, gaskets, packing, welding blankets, and construction products.
UCC 015816
DRAFT 2- -
9/29/86
exposure monitoring during removal, placing In labeled plastic bags after removal, landfill disposal, and record keeping) Is considered. The same conclusion Is drawn relative to valve packing when the additional considera tions of Improved service life and sealablllty are included.
Consistent with the aforementioned commitments and the economic use of
materials, C&P has concluded that positive actions relative to asbestos-con taining materials*** should be taken.
RECOMMENDED C&P PROGRAM
**
Except as otherwise provided by applicable law. Chemicals and Plastics Business Group will:
Continue to phase out the use of asbestos-containing materials:
Asbestos-containing insulation shall be replaced with asbestos-free materials as required to maintain structural and functional integ rity.
No asbestos-containing materials shall be purchased after January 1, 1989.
C&P Standard Practices shall be employed for the Identification, removal, modification, and/or disposal of asbestos-containing mate rials; and for use of asbestos-substitute materials.
Evaluation of asbestos-substitute materials shall include considera tion of health effects as well as suitability for intended service and cost.
A variance approval procedure shall be employed to cover considera tion of uncommon circumstances. Approval must always include en dorsement of C&P HS&EA management.
SCOPE
This Recommended Program applies to all C&P operated/hosted facili ties. Other components of the Corporation will be apprised of its content.'
DELEGATION
The assignment of duties and authority to carry out the Recommended C&P Program defined herein Is delegated as follows:
To Central Engineering Department
Develop and maintain C&P Standard Practices covering:
- Identification of asbestos-containing materials;.^
..
UCC 015817
DRA F T
9/29/86
-3
- Removal, modification and/or disposal of asbestos-containing mate rials; and
- Use of asbestos^substitute materials.
To Line Operations Management
Implement C&P Standard Practices for the identification, removal, modification, and disposal of asbestos-containing materials.
Implement C&P Standard Practices covering asbestos substitute mate rial applications, and communicate the service experience with these materials.
To Manufacturing Services
Monitor use of asbestos-substitute materials and communicate the service experience with these materials.
To C&P HS&EA
Audit compliance with governmental regulations and C&P Standard Practices relating to asbestos-containing materials and, where applicable, their substitutes.
UCC 015818
C. C. Neely 47071
--4
* *
*
*
*
**
* UNION *
*
*
CARBIDE
*
***
INTERNAL CORRESPONDENCE
Engineering, Manufacturing, and Technology Services Post Office Box 8361
Central Engineering
Building 2000
Technical Center
South Charleston, WV 25303
October 16, 1986
JTO: Mr. L. E. Calvert
Mr. S. W. Clark Mr. G. B. Elder Mr. R. W. Engle
COPY TO: Mr. C. C. Neely
SUBJECT: Recommended C&P Program - Phase-DUt Use of Asbestos-Containing Materials In Workplace
Gentlemen:
Attached Is a copy of your recommendation covering asbestos usage
which I transmitted to Bob Perry.
..
Thanks for your Insights and efforts'In'pulling this together. I'll keep your team posted as the recommendation proceeds through the system.
Very truly yours.
JES:he Attachment 4704Y
UCC 015819
UNION CARBIDE CORPORATION;P. 0. Box B361 Engineering, Manufacturing, and Technology Services
Central Engineering
So. Chas., WV 25303
. BUSINESS CONFIDENTIAL
September 30, 1986
TO: Mr. J. E. Sanders
COPY TO:
Mr. L. C. Calvert Mr. S. W. Clark Mr. G. B. Elder Mr. R. W. Engle
FROM:
C. C. Neely
SUBJECT:
Final Draft of Recommended C&P Program Phase-Out Use of Asbestos-Containing Materials In Work Place Chemicals and Plastic Group
Attached herewith on behalf of the Special Working Group Is a copy of the subject document dated 9/29/86. It Is a slightly fine-tuned version of the 8/28/86 version which was transmitted to you under my transmittal also dated B/2B/B6. The changes that have been made are of a clarifying rather than substantive nature.
At this point, we have not made an effort to obtain broad, formal
review of the subject program. However, Larry Calvert has discussed It
briefly with the Maintenance APM's and MaTntenanrr Managers. In addition,
Stan Clark arranged for Its review by the Safety, Health Advisory Committee
(SHAC), and your staff has reviewed It. Feedback Indicates these groups to
be supportive of the concept, but some have expressed concern regarding the
January 1, 1989 date specified for the discontinuance of the purchase of
asbestos-containing materials, believing It to be optimistic. Some of the
concern relates to the following:
.
1. CED's ability to revise and reissue the V&P Specifications and the
Valve Manual In time to support the deadline. The responsible CED
specialists have carefully reviewed this matter and believe that
reissuance of these Manuals by July 1, 1988 Is realistic. This
date has not been published, however.
-
UCC 015820
Hr. J. E. Sanders
-2- September 30, 1986
2. Belief that field testing of new gasket and packing materials will
be required. Such testing will not be necessary since the plan at
this time Is to accommodate most of the substitutions by broadening
the use of materials already In use, materials such as reinforced
Teflon and GRAFOIL'". This plan has not been broadly
disseminated, and we can fully appreciate the reluctance to agree
to a purchasing cut-off date for asbestos-containing products
without knowing what the substitutes are. We also appreciate that,
once this material substitute plan Is known, there will be a
natural resistance due to the higher first cost of these substitute
materials.
.
3. Some belief that Installers will need special training to handle the new gasket and packing materials. For reasons cited In (2), we do not believe this requirement will be significant.
4. Perhaps lack of understanding that the January 1, 1989 date Is the cut-off date for the purchase of asbestos-containing materials except as approved by a variance.
5. "Is this really necessary" attitude. The Special Working Group believes that OSHA's recently revised exposure limit of 0.2 fibers per cubic centimeter of air (was previously 2.0 fibers per cubic centimeter) add significant Impetus to Implement the proposed Recommended Program. According to Terry Hanning's September 5, 1986 memorandum (copy attached), labor union representatives do not believe that controlling the exposure limit to this lower level provides adequate protection.
The above concerns notwithstanding, the Special Working Group decided to submit the subject Recommended Program to you with the January 1, 1989 date Included since we believe that, with proper communication with the key plant personnel responsible for Its Implementation, along with management support, this date Is realistic and achievable. We are submitting under separate cover a proposed CED Technology Program'which Includes request for funds to cover the Important communications aspect of the understanding, acceptance and Implementation process.
Please let me know how we can be of further assistance regarding this matter.
CCN:mr 43191 Attachment
UCC 015821
8/28/86
DRAFT
RECOMMENDED POLICY
CHEMICAL AND PLASTICS BUSINESS GROUP (C&P)
SUBJECT: USE OF ASBESTOS-CONTAINING MATERIALS^)IN THE WORK PLACE
PURPOSE/BACKGROUND
The Corporate Charter (1.1) contains the following commitment to employees:
"To provide working conditions, programs of training and education, and persistent review and appropriate modifi cation of facilities and practices to protect the health and safety of employees."
It also contains a social commitment to conduct business "In accordance with all the applicable national and local laws and regulations."
As a result of available evidence that airborne asbestos In the occupa tional environment had proven to be carcinogenic In man, all C&P Insulation Standards were revised In 1976 to specify only asbestos-free Insulating materials; and new or replacement Installations of these materials have sub sequently been selected accordingly. Additionally, a Safety/Health Standard designated SH-256 was prepared covering the safe removal and handling (In cludes disposal) of asbestos-containing Insulating material during renova tion and demolition. The requirements of this Standard equal or - exceed those of current applicable government standards.
OSHA's rule-making efforts relative to asbestos usage In the work place are mired In controversy. Hearings on the latest EPA proposal which In cludes the phaseout of all asbestos over a ten-year period are now In prog ress. The proposal states: "EPA Is considering banning the manufacture. Importation, and processing of asbestos construction products and asbestos clothing soon after the rule's promulgation with the category* of asbrestos friction products banned about five years later, and other asbestos products banned at a later time." Gaskets and packing that contain asbestos are In the category of "other asbestos products" that would apparently be banned after ten years. No peer company that we are aware of has a target date for removal of existing asbestos-containing Insulation, gaskets, or packing; however, one major chemical company has recently discontinued the purchase of asbestos-containing gaskets and packing.
A cost analysis of pipe-size gaskets shows that GRAFOIL, probably the most expensive of the acceptable gasket substitute materials. Is, In fact, cost effective when only the cost of mandatory work practices associ ated with the use of asbestos (e.g. wetting for removal or airborne fiber
{"Asbestos-containing materials" Include but are not limited to Insulation, gaskets, packing, welding blankets, and building materials.
UCC 015822
DRAFT 2- -
8/28/86
exposure monitoring during removal, placing In labeled plastic bags after removal, landfill disposal, -and record keeping) Is considered. The same conclusion Is drawn relative to valve packing when the additional considerations of Improved servtre Ilfe a-nd sealabll 1 ty are Included.
Consistent with the aforementioned commitments and the economic use of
materials, C&P has concluded that positive-actions- relative to asbesto-s-contalnlng materials^) should be taken.
POLICY
Except as otherwise provided by applicable law, Chemicals and Plastics Business Group will:
Continue to phase out the use of asbestos-containing materials:
Asbestos-containing Insulation shall be replaced with asbestos-free materials as re4ul.red.t0 maintain structural and functional Integ rity.
No asbestos-containing materials shall be purchased after January 1, 1989.
C&P approved practices shall be ..employed for the Identification, removal, modification, and/or disposal of asbestos-containing mate rials.
Evaluation of asbestos substitute materials shall Include considera tion of health effects as well as suitability for Intended service and cost.
A variance approval procedure shall be employed to cover considera tion of uncoramorv.clr.ciuns.tajutes. Approval must always Include en dorsement of C&P HS&EA management. '
SCOPE
This reconsnended policy applies to all C&P operated/hosted facilities. Other components of the Corporation will be apprised of Its content.
DELEGATION
The assignment of duties and authority to carry out the policy defined herein Is delegated as follows:
To Central Engineering Department
Develop and maintain engineering standards covering:
_ - Identification of asbestos-containing materials;
UCC 015823
DRAFT
8/28/86
-3
- Removal, modification and/or disposal of asbestos-containing mate rials; and
- Use of asbestos-substitute materials.
To Site Management
Implement policies and practices for the Identification, removal, modification, and disposal of asbestos-containing materials.
Use of CEO Standards covering asbestos substitute materials and the communication of service experience with these materials.
To Manufacturing Services
Monitor use of asbestos-substitute materials and the communication of service experience with these materials.
To C&P HS&EA
Audit compliance with governmental regulations and CED-developed
standards relating to asbestos-containing materials and, where
applicable, their substitutes.
'
UCC 015824
C. C. Neely 2073W
?*
UNION CARBIDE CORPORATION
SPECIALTY PRODUCTS GROUP
.
James J. Polonsky ' District Sales Mgr:,, ' P. 0. Box' 94637
Cleveland, OH 44101 Ph 1-800-822-4322(0) (713)+852-9468 (H)
P.O BOX S4637. CLEVELAND. OHIO A41D1
PHONE: (SIS) 529-3900
` (BOO) B22-4322
GRAF0H
Flexible Grabhite
A Union Carbide Corporation Trademark Product
GRAPOIL SEMINAR OUTLINE
1. Solving your packing and gasketing problems.
.2 Understanding Asbestos packings or gaskets.
3. The search for an asbestos replacement. 4. Current non-asbestos offerings. 5. Characteristics of Graphite.
.6 Hew GRAF0H is processed from chrystalline graphite.
7. Characteristics of GRAFGIL vs .'`Graphite
.8 Cnemical resistance of GRAF0XL.
9. Fire testing and fire safety with GRAF0H/D.
.10 Corrosion protection with GRAF0IL. .11 Oxidation of GRAF0H-----Misconceptions????
.12 Valves-----Packing Installation procedures and features.
13. Flanges-----Gasketing Installation procedures and features. 14. Gaskets-----GRAF0H laminate offering and SWS filler. 15. Product Offerings; Packings, gaskets, ribbons, and tapes.
The seminar includes demonstrations which assist the participant in his/her understanding of the product and lasts about 90 minutes.
;.v
lP, 7>L NOTE***.
-t ...ijw .7' v : -v
Since several of the demonstrations require the use of an open
flame, your management is requested to provide a conference room in
which these demonstrations may be conducted without violati-ny the
safety regulations of your company.
.*
UCC 015825'
Brand Flexible Graphite
Newsletter Number
Your Seal of Assurance
PG 008 178
SUBJECT: Special Gasketing Techniques With GRAFOIL Flexible Graphite
INTRODUCTION
GRAFOIL flexible graphite is a resilient form of graphite which has
excellent properties as a gasketing material. By itself, GRAFOIL flexible
graphite seals about as readily as rubber. It is also fabricated into metal
core laminates or into spiral wound gaskets, and significantly improves their
characteristics. In general, GRAFOIL gaskets will seal the maximum pressure
specified on properly designed, correctly manufactured and suitable maintained
equipment.
.
While being flexible and resilient, GRAFOIL flexible graphite is still all graphite. It has no resins, binders or filler materials or other additives that might detract from the chemical inertness and temperature resistance of pure graphite. GRAFOIL gaskets will not cold flow, become brittle, or vulcanize to gasketing surfaces in service. The unique chemical and physical properties of GRAFOIL flexible graphite combine to make it a nearly universal gasketing material especially suitable to high temperature and cryogenic service and|or corrosive environments.
GENERAL POINTS TO REMEMBER WHEN GASKETING WITH GRAFOIL FLEXIBLE GRAPHITE
1.) The f lange surfaces must t>e clean, -free of nicks, scratches, Durrs, metal
fillings, scale or other foreign matter.
2.) Use a proper bolt tightening sequence to ensure a uniform load is applied
to the joint (see Figure VI). The use of a torque wrench is advantageous
to ensure that a uniform tensile stress is applied to each bolt.
3.) GRAFOIL Grade GHE 316 Stainless Steel Tang Metal Inserted gaskets (Catalog
Section G-B817 and G-8819) should not be used between any metal surfaces
that are softer than the stainless steel (i.e. aluminum, brass, bronze),
or between glass or ceramic surfaces. When GRAFOIL Grade GHE gaskets are
used, the metal tangs must be compressed such "that the -GRAFOIL begins to
seal. Due to the minimum seating stress recommended for these gaskets
(i.e. 2500 psi), the metal tangs carv-make small indentations in the softer
metal of the flange face. The tangs can also create stress concentration
points on glass or ceramic surfaces.
4.) GRAFOIL flexible graphite gaskets must be loaded with a net compressive
unit load as shown in the Unit Load vs. Leak Pressure Curve, Figure I, and
in GRAFOIL Catalog Sections G-8816 and G-B817.
5.) The initial thickness of the GRAFOIL gasket must be such that when it is
compressed between two mating surfaces, the GRAFOIL is strained
sufficiently at all points in the joint to seal the maximum service
. pressure. If the flange surfaces are scratched, serrated, or warped, the
initial gasket thickness must be large enough to completely fill and
compensate for their effects when - the joint is made and the gasket is
compressed.
. '
OO c-,voac77
UNION CARBIDE CORPORATION
On.ni/:ini >iennon leOOl E22-4322 In Ohio (216) 529-2900 TELEX: 810-<2l-0047
UCC 015826
6.) The flatness
the flange surfaces is as ssential to good gasketing
practice as .e proper gasket Unit load. f gasketed surfaces are
perfectly flat under operating conditions, the average unit load is also
the minimum unit load. If, for any reason the gasketed surfaces are not
flat while in service, the gasket unit load can be less at some point or
points than the amount required to seal operating or test pressures.
In general, if when the flange faces are brought together (i.e. just touching and under no bolt load), a 0.001" feeler gauge can not be inserted anywhere around the circumference of the joint, then a 1|64 inch (0.015") thick GRAF0IL gasket can always be used. If this criteria can not be met, then the thicker GRAFOIL gasket will be required.
IMPORTANT POINTS CONCERNING FLANGE SURFACE FINISH AND "STANDARD" SERRATIONS
Under equivalent compressive unit loads, GRAFOIL gaskets will seal where surface finishes range from 5 RMS (root mean square) to 125 RMS. Within that range any RMS finish will seal as well as any other.
Flanges ordered with "standard serrations" or a "standard finish" usually have finished surfaces machined in accordance with MSS Standard Practice SP-6 (1) which allows for considerable latitude in finish. The SP-6 Standard refers to AARH finishes or arithmetic average roughness. AARH values are different from RMS valves for any given surface. RMS measurements can be made with stylus tracer instruments, whereas, AARH can not. AARH finishes are evaluated only by "sight and touch" comparisons with standard specimens.
The standard serrations may be concentric or spiral. If concentric, there
may be up to 32 serrations per inch, and the depth of the serration may range
from 0.005" to 0.015". The serration cross-section can range from a radiused
"u" cut to a "v" cut.
...
Flange surfaces having the maximum serrations per inch at maximum depth can leave a "saw tooth" surface with little or no flat areas between the serrations. GRAFOIL flexible graphite gaskets are not recommended for use with this type of flange finish.
Spiral serrations can range from 20 to 50 per inch in number and from 0.001" to 0.006" in depth. Again, the maximum number of serrations to maximum groove depth can produce a sharp, "saw .tooth".surface. .However, in contrast with concentric serrations, a spiral serration can form a continuous leak path if the gasket material does not deform and-.seal all the way to the bottom of the groove. Consequently, the greater the depth of the spiral serration, the greater the required thickness of the GRAFOIL gasket in order to seal. The required thickness can be calculated in a manner similar to that shown in Case 3.
While serrations, in general, do not help GRAFOIL gaskets to seal, GRAFOIL gaskets with their unique physical properties will seal serrations more dependably than most other materials. If a flanged joint is being designed with the intent of using GRAFOIL flexible graphite gaskets, it is recommended that the serrations and surface finish be dimensioned in detail, rather than left to the broad limits permitted by Standard Practice SP-6.
. (1) Developed and approved by the Manufacturer's Standardization Society of the Valve and fittings Industry, 420 Lexington Avenue, New York, New York 10017.
UCC 015827
UNION CARBIDE CORPORATION ENGINEERING, MANUFACTURING, AND TECHNOLOGY SERVICES DIVISION
CENTRAL ENGINEERING P. 0. BOX 8361
SOUTH CHARLESTON, WEST VIRGINIA 25303
MEMORANDUM
BUSINESS CONFIDENTIAL
March 27, 1987
TO: COPY: FROM: SUBJECT:
CStME Personnel Mr. C. C. Neely G. B. Elder Asbestos Containing Materials
RECEIVED MAR 31 1987
CCN
The C&P Manufacturing Council have endorsed the program to phase out asbestos containing materials In the workplace, and Clyde Neely Is chairing a committee to Implement the policy.
Attached Is a copy of the final draft of the policy for your use. The key statement Is that no asbestos containing material shall be purchased after January 1, 1989.
The biggest change will occur In the area of gaskets and packing. The approach for gaskets Is to use Grafoll spiral-wound with teflon or Grafoll filler, or In some cases, reinforced teflon. The organic fiber reinforced "non-asbestos" materials do not pass fire tests and have very limited ability to maintain adequate -bolt Toads, so they are nst being considered.. Grafol1 and graphite fiber will be used for packing.
The policy does not forbid the use of asbestos containing gaskets or packing and only states that we will quit buying It after January 1, 1989. However, EPA rules are making It Increasingly difficult to remove and dispose of any asbestos materials Including gaskets and packing. It makes sense to discourage the use of these asbestos materials starting now so that we minimize the removal and disposal problem. A second benefit of doing this will be to assist a change In the psychology and procedures over a longer period of time Instead of having a crisis during 1988.
UCC 015828
2- I realize that the change to other gasket and packing materials cannot take place over night and that you will be using additional asbestos materials. However, please don't recommend any asbestos gaskets or packing for any new Installations and try to encourage the substitution of Grafoll and spiral-wound gaskets whenever you have the opportunity. GBE/ds 2033H
UCC 015829
DRAFT RECOMMENDED C&P PROGRAM CHEMICAL AND PLASTICS BUSINESS GROUP (C&P)
9/29/86
GOAL: PHASEOUT USE OF ASBESTOS-CONTAINING MATERIALS^IN THE WORK PLACE
PURPOSE/BACKGROUND
The Corporate Charter (1.1) contains the following commitment to em ployees:
"To provide working conditions, programs of training and education, and persistent review and appropriate modifi cation of facilities and practices to protect the health and safety of employees."
It also contains a social commitment to conduct business "In accordance with all the applicable national and local laws and regulations."
As a result of available evidence that airborne asbestos In the occupa tional environment had proven to be carcinogenic In man, all C&P Insulation Standards were revised In 1976 to specify only asbestos-free Insulating materials; and new or replacement Installations of these materials have sub sequently been selected accordingly. Additionally, a Safety/Health Standard designated SH-256 was prepared covering the safe removal and handling (In cludes disposal) of asbestos-containing Insulating material during renova tion and demolition. The requirements of this Standard equal or exceed those of current applicable government standards.
OSHA's rule-making efforts relative to asbestos usage In the work place
are mired In controversy. Hearings on the latest EPA proposal which In
cludes the phaseout of all asbestos over a ten-year period are now In prog
ress. The proposal states: "EPA Is considering banning the manufacture,
importation, and processing of asbestos construction products and asbestos
clothing soon after the rule's promulgation with the category of asbestos
friction products banned about five years later, and other asbestos products
banned at a later time." Gaskets and packing that contain asbestos are In
the category of "other asbestos products" that would apparently be banned
after ten years. No peer company that we are aware of has a target date for
removal of existing asbestos-containing Insulation, gaskets, or packing;
however, one major chemical company has recently discontinued the purchase
of asbestos-containing gaskets and packing.
'
A cost analysis of pipe-size gaskets shows that GRAFOIL*. probably the most expensive of the acceptable gasket substitute materials, Is, in fact, cost effective when the cost of mandatory work practices associated with the use of asbestos (e.g., wetting for removal or airborne fiber
^"Asbestos-containing materials" Include but are not limited to Insulation, gaskets, packing, welding blankets, and construction products.
UCC 015830
DRAFT 2- -
9/29/86
exposure monitoring during removal, placing In labeled plastic bags after removal, landfill disposal, and record keeping) Is considered. The same conclusion Is drawn relative to valve packing when the additional considera tions of Improved service life and sealablllty are Included.
Consistent with the aforementioned commitments and the economic use of materials, C&P has concluded that positive actions relative to asbestos-con taining materials^ should be taken.
RECOMMENDED C&P PROGRAM
Except as otherwise provided by applicable law, Chemicals and Plastics Business Group will:
Continue to phase out the use of asbestos-containing materials:
Asbestos-containing Insulation shall be replaced with asbestos-free materials as required to maintain structural and functional Integ rity.
No asbestos-containing materials shall be purchased after January 1, 1989.
C&P Standard Practices shall be employed for the Identification, removal, modification, and/or disposal of asbestos-containing mate rials; and for use of asbestos-substitute materials.
Evaluation of asbestos-substitute materials shall Include considera tion of health effects as well as suitability for Intended service and cost.
A variance approval procedure shall be employed to cover considera tion of uncommon circumstances. Approval must always include en dorsement of C&P HS&EA management.
SCOPE
This Recommended Program applies to all C&P operated/hosted facili ties. Other components of the Corporation will be apprised of Its content.
DELEGATION
The assignment of duties and authority to carry out the Recommended C&P Program defined herein Is delegated as follows:
To Central Engineering Department
Develop and maintain C&P Standard Practices covering:
- Identification of asbestos-containing materials;
UCC 015831
D RAFT
9/29/86
-3
- Removal, modification and/or disposal of asbestos-containing mate rials; and
- Use of asbestos-substitute materials.
To Line Operations Management
Implement C&P Standard Practices for the Identification, removal, modification, and disposal of asbestos-containing materials.
Implement C&P Standard Practices covering asbestos substitute mate rial applications, and communicate the service experience with these materials.
To Manufacturing Services
Monitor use of asbestos-substitute materials and communicate the service experience with these materials.
To C&P HS&EA
Audit compliance with governmental regulations and C&P Standard Practices relating to asbestos-containing materials and, where applicable, their substitutes.
UCC 015832
C. C. Neely 47071
DRAFT 2- -
9/29/86
exposure monitoring during removal, placing In labeled plastic bags after removal, landfill disposal, and record keeping) Is considered. The same conclusion Is drawn relative to valve packing when the additional considera tions of Improved service life and sealablllty are Included.
Consistent with the aforementioned commitments arrd the economic use of materials, C&P has concluded that positive actions relative to asbestos-con taining materials^* should be taken.
RECOMMENDED C&P PROGRAM
Except as otherwise provided by applicable law. Chemicals and Plastics Business Group will:
Continue to phase out the use of asbestos-containing materials:
Asbestos-containing Insulation shall be replaced with asbestos-free materials as required to maintain structural and functional Integ rity.
No asbestos-containing materials shall be purchased after January 1, 1989.
C&P Standard Practices shall be employed for the Identification, removal, modification, and/or disposal of asbestos-containing mate
. rials; and for use of asbestos-substitute materials.
Evaluation of asbestos-substitute materials shall Include considera tion of health effects as well as suitability for Intended service and cost.
A variance approval procedure shall be employed to cover considera tion of uncommon circumstances. Approval must always include en dorsement of C&P HS&EA management.
SCOPE
This Recommended Program applies to all C&P operated/hosted facili ties. Other components of the Corporation will be apprised of Its content.
DELEGATION
The assignment of duties and authority to carry out the Recommended C&P Program defined herein Is delegated as follows:
To Central Engineering Department
Develop and maintain C&P Standard Practices covering:
- Identification of asbestos-containing materials;
UCC 015833
DRAFT
9/29/86
-3
- Removal, modification and/or disposal of asbestos-containing mate rials; and
- Use of asbestos-substitute materials.
To Line Operations Management
Implement C&P Standard Practices for the Identification, removal, modification, and disposal of asbestos-containing materials.
Implement C&P Standard Practices covering asbestos substitute mate rial applications, and communicate the service experience with these materials.
To Manufacturing Services
Monitor use of asbestos-substitute materials and communicate the service experience with these materials.
To C&PHS&EA
Audit compliance with governmental regulations and C&P Standard Practices relating to asbestos-containing materials and, where applicable, their substitutes.
UCC 015834
C. C. Neely 47071
C. C. Neely Loc. 511 2000/3336 Tech Center
UNION CARBIDE CORPpRATIUn
ENGINEERING, MANUFACTURING, AND TECHNOLOGY SERVICES DIVISION
CENTRAL ENGINEERING
P. 0. BOX 8361
SOUTH CHARLESTON, WEST VIRGINIA 25303
-
MEMORANDUM
TO: COPY: FROM: SUBJECT:
BUSINESS CONFIDENTIAL
February 25, 1987
Mr. E. K. Harris- Bldg. 2000 MOC A. J. Montero
Received
mar 2 1987 CClf
Materials of Construction Recommendations ; for IBT (Isobutyraldehyde Trlmer) Production
You are preparing a technology package to make UCAR Fllmer IBT (Isobutyraldehyde trlmer). This product will be made by Haltermann, a custom processor In Houston, Texas. You asked me to provide you with a statement for the technology package regarding the materials of construction for the IBT process.
The materials of construction recommended for producing UCAR Fllmer IBT are:
1. Storage of IBAL (Isobutyraldehyde) - fresh and recycled IBAL should be stored In 304 SS, 316 SS, or aluminum tanks. Steel tanks can be used but they must be lined with a compatible lining such as Plaslte 3066 or Plaslte 9500.
2. Reaction - carbon steel Is the recommended material of construction for this part of the process. Types 304 SS and 316 SS are also acceptable materials of constnictton.
3. IBAL Recovery - carbon steel Is also the material recommended for the recovery column and any equipment and piping associated with this column. Again, 304 SS and 316 SS are, also acceptable materials.
4. Flash System - carbon steel Is also the recommended material for all the equipment and piping In this system. Types 304 SS and 316 SS are also acceptable materials".
5. Refining System.^ carbon- steel Is the recommended material for this system. Type 304 SS and 316 SS are also acceptable materials.
6. Storage of IBT - carbon steel, 304 SS or 316 SS, or aluminum are can be used to store IBT.
UCC 015835
received
MftR 191987
CCN
7. Condensers and Coolers - carbon heat exchangers which use coolln compatible with the process stre. compatible with the cooling watei
8'. Gaskets - compressed asbestos, Te acceptable for handling the raw m
9. 0-rlng and Elastomers - the only i process streams Is EPR (also knowi temperature Is 45C (113F). Abo\
The above recommendations were based on
1. To prevent Iron contamination of the fresh and carbon steel Is not recommended. I
3/) 7
amount of water and organic acid pr
.2 Although there may be some Isobutyrl
acid will not Increase the corrosion
'cut*.
---9 - -
neutralized In the reaction system w
catalyst.
Compressed asbestos gaskets are norm* service when the temperature Is above aldehyde In the stream Is greater tha will not be made all the time, compre for streams containing more that 10% i 100C. Field experience shows that 11 aldehyde to attack the binder In compr asbestos with an EPR binder will give asbestos with other binders.
_____ .
)'
--
If you have any questions or comments concert please feel free to call.
.e aoove recommendations.
AJM/ds 1919H
Index: B, 26, 28, 30, 32, 67, 71, 72, 81, 112, 113, 119, 120, 122, 131, 132, 138, 166, 187, 212, 273, 336
&JL
UCC 015836
received
.
NlftR 191987 - 2 ^
.
CCN
7. Condensers and Coolers - carbon steel tubes may not be acceptable for heat exchangers which use cooling water. As stated, carbon steel Is compatible with the process streams. Whether carbon steel Is or Is not compatible with the cooling water has to be determined by Haltermann.
8. Gaskets - compressed asbestos. Teflon, and grafoll gaskets are
acceptable for handling the raw material and the process streams.
9. Q-rlng and Elastomers - the only elastomer recommended for handling the process streams Is EPR (also known as EPT and EPDM). The maximum temperature Is 45C (113F). Above this temperature, Teflon Is required.
The above recommendations were based on the following:
1. To prevent Iron contamination of the fresh and recycled IBAL, bare carbon steel Is not recommended. Iron contamination Is affected by the amount of water and organic acid present In the aldehyde.
Although there may be some Isobutyrlc acid In the IBAL, the Isobutyrlc
acid will not Increase the corrosion rate of steel because It will be
neutralized In the reaction system with the sodium hydroxide used as a
catalyst.
___
Compressed asbestos gaskets are normally not recommended for aldehyde
service when the temperature Is above 100C and the concentration of the
aldehyde In the stream Is greater than about'10%. However, since IBT
will not be made all the time, compressed asbestos should be acceptable
for streams containing more that 10% aldehyde and at temperatures above
100C. Field experience shows that It takes several years for the
aldehyde to attack the binder In compressed asbestos. Compressed
asbestos with an EPR binder will give better service than compressed
asbestos with other binders.
__________ ___
If you have any questions or comments concerning the above recommendations, please feel free to call.
*
AJM/ds 1919H
Index: B, 26, 28, 30, 32, 67, 71, 72, 81, 112, 113, 119, 120, 122, 131, 132, 138, 166, 187, 212, 273, 336
GJL
UCC 015837
INTERNAL CORRESPONDENCE
received MAR 2 6 l987
UNION CARBIDE CORPORATION t echnical center
CCN
PO BOX B361, SOUTH CHARLESTON, WV ;J!53G
See Distribution List (SHAC)
March 24, 1987
P. R. Kavasmaneck D. C. Macauley C. C. Neely*
Recommended C&P Program Phase-Out of AsbestosContaining Materials In Workplace
I have been Informed that the Manufacturing Council has endorsed the subject program (copy attached for your convenience). It Is the same one you reviewed In September.
What seems to be happening Is that the vendors are moving ahead of us and have made gaskets and packing containing asbestos almost a special-order product. The plan to upgrade valve and piping specs by mld-1988 may have to be accelerated. I hear that the price of GRAFOIl" Products dropped considerably.
A)c 7362D Attachment Letter only*
UCC 015838
TO: SAFETY & HEALTH ADVISORY COMMITTEE DISTRIBUTION
V. D. Dutcher D. A. Gosselln V. H. Johnkoskl C. P. Maxwell 0. P. Mukheja J. D. Nlcol R. D. Ondocsln T. P. Raby G. L. Rivera
Cary, NC. 82/907 82/4 511/701 500/L4 500/P2 500/P2 82/4 . 515
UCC 015839
i
* ** * *
* UNION
*
CARBIDE
* **
INTERNAL CORRESPONDENCE
Engineering, Manufacturing, and Technology Services Post Office Box 8361
Central Engineering
Building 2000
Technical Center
' South Charleston, WV 25303
October 16, 1986
RlClived
OCT 2 0 1988
vW >'VI4-
CCN
TO:____ rsFi -
Mr.,,L..
C.a.lver
Mr. S. W. Clark fj
- Hr 6. BrTTder
Mr. R. W. Engle
s.s. y}v ^r-- i M't
'C
COPY TO: SUBJECT:
Mr. C. C. .Neely J
Cffl II
n /v -vwii Recommended C&P Program - Phase-Out Use of Asbestos-Containing Materials In Workplace
^ii J.
(,
l&/pt?,s ifJU.
^^
Gentlemen:
$ po./iOy.fi c1'~r'K - cx~'
Ci P lo-T-cii ctU<.
Attached Is a copy of your recommendation covering asbestos usage which I transmitted to Bob Perry.
J*
Thanks for your Insights and efforts In pulling this together. I'll keep your team posted as the recommendation proceeds through the system.
Very truly yours,
JES:he Attachment 4704Y
,, ^ ^ 4 $Bb
ixQ fz)
UCC 015840
* UNION * * CARBIDE *
**
INTERNAL CORRESPONDENCE
*
Engineering, Manufacturingrand Technology Services Post Office Box 8361
Central Engineering
Building 2000
Technical Center
South Charleston, WV 25303
October 14, 1986
TO: Mr. B. G. Perry
COPY TO:
Mr. P. 0. Franson Dr. P. R. Kavasmaneck Mr. W. G. LtlTy, J^. Mr. C. C. Neely ^
Mr. S. W. Turlcchl
SUBJECT: Recommended C&P Program - Phase-Out Use of Asbestos-Containing Materials In Workplace
RECEIVED
OCT 2 0 ?J3o CCN
Bob:
In July of this year, you requested on behalf of the Manufacturing
Council that a Task Group be assembled to evaluate the Implications for
Chemicals and Plastics of continued use of asbestos-containing materials In
the workplace. You should be aware that asbestos-containing Insulation
materials were prohibited for new construction and for replacements
beginning In 1976.
%
The Task Group, headed by Mr. C. C. Neely, Corporate Fellow Engineering Mechanics, was comprised of the following Individuals and areas of expertise.
L. E. Calvert S. W. Clark G. B. Elder R. W. Engle
Maintenance HeaTth/Safety Corrosion-Materials Valve and Piping Technology
The Task Group has surveyed current and projected Industry practices with regard to the use of asbestos-containing materials and has evaluated current government regulations and made judgements with regard to future regulations which could Impact on the use of and cost of use of asbestos-containing materials. Additionally, the Group evaluated the availability and cost effectiveness of substitute materials.
UCC 015841
'
Hr. B. G. Perry Page 2 October 15, 1986
f.
(
Based on available evidence that airborne asbestos In the occupational workplace has proven to be a carcinogen and that cost effective alternative materials are available, or can be developed with relative ease, the Team has recommended that C&P continue to phase out the use of asbestoscontaining materials with-no purchase or Installation of asbestos-containing materials, without a formal ^variance, after January 1, 1989. Asbestoscontaining materials that are In use and retain their structural and
functional Integrity need be replaced -only If this Integrity Is compromised, or when normal maintenance occurs.
Other recommendations are contained In the attached draft of the
C&P Recommended Program.
"
I want to thank the Task Group for their efforts In this study and for their breadth of judgement as reflected In the recommendation.
Please let me know of further work you require, or of any questions you may have.
JES:he Attachment 4701Y
UCC 015842
(
UNION CARBIDE CORPORATION;P. 0. Box 8361 Engineering, Manufacturing, and Technology Services Central Engineering
So. Chas., WV 25303 BUSINESS CONFIDENTIAL
September 30, 1986
TO: Mr. J. E. Sanders
COPY TO:
Mr. L. C. Calvert Mr. S. W. Clark
Mr. G. B. Elder Mr. R. W. Engle
.
FROM:
C. C. Neely
SUBJECT:
Final Draft of Recommended C&P Program Phase-Out Use of Asbestos-Containing Materials In Work Place
Chemicals and Plastic Group
Attached herewith on behalf of the Special Working Group Is a copy of the subject document dated 9/29/86. It Is a slightly fine-tuned version of the 8/28/86 version which was transmitted to you under my transmittal also dated 8/28/86. The changes that have been made are of a clarifying rather than substantive nature.
At this point, we have not made an effort to obtain broad, formal review of the subject program. However, Larry Calvert has discussed It briefly with the Maintenance APM's and Maintenance Managers. In addition, Stan Clark arranged for Its review by the Safety, Health Advisory Committee (SHAC), and your staff has reviewed It. Feedback Indicates these groups to - be supportive of the concept, but some have expressed concern regarding the January 1, 1989 date specified for the discontinuance of the purchase of asbestos-containing materials, believing It to be optimistic. Some of the concern relates to the following:
1. CEO's ability to revise and reissue the V&P Specifications and the Valve Manual In time to support the deadline. The responsible CEO specialists have carefully reviewed this matter and believe that reissuance of these Manuals by July 1, 1988 Is realistic. This date has not been published, however.
UCC 015843
Mr. J. E. Sanders
(-2- September 30, 1986
2. Belief that field testing of new gasket and packing materials will be required. Such testing will not be necessary since the plan at this time Is to accommodate most of the substitutions by broadening the use of materials already In use, materials such as reinforced Teflon and GRAFOIL". This plan has not been broadly disseminated, and we can fully appreciate the reluctance to agree to a purchasing cut-off date for asbestos-containing products without knowing what the substitutes are. We also appreciate that, once this material substitute plan Is known, there will be a natural resistance due to the higher first cost of these substitute materials.
3. Some belief that Installe.rs will need special training to handle the new gasket and packing materials. For reasons cited In (2), we do not believe this requirement will be significant.
4. Perhaps lack of understanding that the January 1, 1989 date Is the cut-off date for the purchase of asbestos-containing materials except as approved by a variance.
5. "Is this really necessary" attitude. The Special Working Group believes that OSHA's recently revised exposure limit of 0.2 fibers per cubic centimeter of air (was previously 2.0 fibers per cubic centimeter) add significant Impetus to Implement the proposed Recommended Program. According to Terry Hanning's September 5, 1986 memorandum (copy attached), labor union representatives do not believe that controlling the exposure limit to this lower level provides adequate protection.
The above concerns notwithstanding, the Special Working Group decided to submit the subject Recommended Program to you with the January 1, 1989 date Included since we believe that, with proper communication with the key plant personnel responsible for Its Implementation, along with management support, this date Is realistic and achievable. We are submitting under separate cover a proposed CEO Technology Program which Includes request for funds to cover the Important communications aspect of j the understanding, acceptance and Implementation process.
Please let me know how we can be of further assistance regarding this matter.
CCN:mr 43191 Attachment
C.
UCC 015844
( 9/29/86
DRAFT
RECOMMENDED, C&P PROGRAM
CHEMICAL AND PLASTICS BUSINESS GROUP (C&P)
GOAL: PHASE-OUT USE OF ASRESTOS^CONIAIMING MATERIALSCPlN THE WORK PLACE
PURPOSE/BACKGROUND
The Corporate Charter (1.1) contains the following commitment to employees:
"To provide working conditions, programs of training and education, and persistent review and appropriate modifi cation of facilities and practices to protect the health and safety of employees."
It also contains a social commitment to conduct business "In accordance with all the applicable national and local laws and regulations."
As a result of available evidence that airborne asbestos In the occupa tional environment had proven to be carcinogenic In man, all C&P Insulation Standards were revised In 1976 to specify only asbestos-free Insulating materials; and new or replacement Installations of these materials have sub sequently been selected accordingly. Additionally, a Safety/Health Standard designated SH-256 was prepared covering the safe removal and handling (In cludes disposal) of asbestos-containing Insulating material during renova tion and demolition. The requirements of this Standard equal or exceed those of current applicable government standards.
OSHA's rule-making efforts relative to asbestos usage in the work place are mired In controversy. Hearings on the latest EPA proposal which In cludes the phaseout of all asbestos over a ten-year period are now In prog ress. The proposal states: "EPA Is considering banning the manufacture. Importation, and proc^4ing ^f^aibestas-.can^tructixiQ products .and asbestos clothing soon after the rule's promulgation with the category of asbestos friction products banned about five years later, and other asbestos products banned at a later time." Gaskets and packing that contain asbestos are In the category of "other asbestos products" that would apparently be banned after ten years. No peer company that we are aware of has a target date for removal of existing asbestos-containing Insulation, gaskets, or packing; however, one major chemical company has recently discontinued the purchase of asbestos-containing gaskets and packing.
A cost analysis of pipe-size gaskets shows that GRAFOIL, probably the most expensive of the acceptable gasket substitute materials. Is, In fact, cost effective when the cost of mandatory work practices associated with the use of asbestos (e.g. wetting for removal or airborne fiber
(1)"Asbestos-containing materials" Include but are not limited to Insulation, gaskets, packing, weldVng blankets, and construction products.
UCC 015845
DRAFT 2- -
9/29/86
exposure monitoring during removal, placing In labeled plastic bags after removal, landfill disposal, and record keeping) Is considered. The same conclusion Is drawn relative to valve packing when the additional considerations of Improved service life and sealablllty are Included.
Consistent with the aforementioned commitments and the economic use of materials, C&P has concluded that positive actions relative to asbestos-con taining materials^1) should be taken.
RECOMMENDED C&P PROGRAM
*
Except as otherwise provided by applicable law, Chemicals and Plastics Business Group will:
Continue to phase out the use of asbestos-containing materials:
Asbestos-containing Insulation shall be replaced with asbestos-free materials as required to maintain structural and functional Integ rity.
No asbestos-containing materials shall be purchased after January 1, 1989.
C&P Standard Practices shall be employed for the Identification, removal, modification, and/or disposal of asbestos-containing mate rials; and for use of asbestos-substitute materials.
Evaluation of asbestos-substitute materials shall Include considera tion of health effects as well as suitability for Intended service
and cost.
A variance approval procedure shall be employed to cover cons1dejar tlon of uncommon circumstances. Approval must always Include en dorsement of C&P HS&EA management.
SCOPE
This Recommended Program applies to all C&P operated/hosted facilities. Other components of the Corporation will be apprised of Its content.
DELEGATION
The assignment of duties and authority to carry out the Recommended C&P Program defined herein Is delegated as follows:
To Central Engineering Department
Develop and maintain C&P Standard Practices covering:
- Identification of asbestos-containing materials;
UCC 015846
DRAFT
9/29/86
-3
- Removal, modification and/or disposal of asbestos-containing mate rials; and
- Use of asbestos-substitute materials.
To Line Operations Management
Implement C&P Standard Practices for the Identification, removal, modification, and disposal of asbestos-containing materials.
Implement C&P Standard Practices covering asbestos substitute material applications, and communicate the service experience with these materials.
To Manufacturing Services
Monitor use of asbestos-substitute materials and communicate the service experience with these materials.
To C&P HS&EA
Audit compliance with governmental regulations and C&P Standard Practices relating to asbestos-containing materials and, where applicable, their substitutes.
UCC 015847
C. C. Neely 2073W
UNION CARBIDE CORPORATION ENGINEERING, MANUFACTURING, AND TECHNOLOGY SERVICES
Central Engineering South Charleston, West Virginia
UCC BUSINESS CONFIDENTIAL
March 26, 1987
TO: S. W. Clark G. B. Elder R. W. Engle
COPY TO: W. K. Norton, Jr. J. E. Sanders
FROM:
Neely
SUBJECT: EON - C&P Asbestos Usage Phaseout Program Implementation
The EON for the subject activity is 15063. You will recognize this to be the same EON which we used last year to cover the program development costs.
CCN:at 45591/14
Joe, I told WKN that the costs collected In this account would be charged to Departmental overhead unless we (meaning JES) could find a sponsor (a'la Gerry Viera).
UCC 015848
UNION CARBIDE CORPORATION
ENGINEERING, MANUFACTURING AND TECHNOLOGY SERVICES DEPARTMENT HEALTH, SAFETY AND ENVIRONMENTAL TECHNOLOGY
SOUTH CHARLESTON, WEST VIRGINIA
MEMORANDUM
March 4, 1987
RECEIVED
MAR 6 1987
TO: J. E. Neff
CCN
CC: P. R. Kavasmaneck C. C. Neely ^
H. W. Wegert
RE: C&P Asbestos Policy Proposed Technology Program
The ad hoc asbestos team, chaired by C. C. Neely, has received word that the C&P Manufacturing Council has approved the policy we recommended last fall (copy attached).
Now we need to address the work that CEO needs to do to support this policy (see Delegation Section of Policy and CCN's proposed program for 1987, which Is also attached).
Clyde would like to meet on the morning of March 17 to review this program. Specifically, we need you to tell us about the Industrial Hygiene Group Involvement.
SWC:jwc 51180 Attachments
S. W. Clark
UCC 015849
UNION CARBIDE CORPOF J3N'
'
Engineering, Manufacturing, & Technology Services
. Box 8361 South Charleston, WV 25303
- UCC BUSINESS CONFIDENTIAL (TO BE OPENED BY ADDRESSEE ONLY)
February 19, 1987
TO: Mr. R. R. Bannister
Mr. R. A. Conway
Mr. P. D. Franson
Mr. D. L. Garrison
Mr. G. M. Keller . Mr. C. C. Neely*/
Mr. J. E. Sanders
Mr. L. L. Simpson
Mr. W. J. Simmons
'
COPY TO: Mr. B. G. Perry Mr. W. G. Lilly, Jr. Mr. D. L. Runyon
FROM:
P. R. Kavasmaneck
SUBJECT: J. E. Sanders Staff Meeting Minutes February 19. 1987
RECEIVED FEB 2 01987
CCH
1. Safety - January was a good month from the viewpoint of LHC and recordables and weather-related Incidents. We had two OTJ random events. We also had one recordable Illness, an allergy possibly related to the office environment.
2. SRA - SRA checks have been received; feedback needs to be completed by Tuesday, February 24. JES will participate In some. No announcements are planned. The event-related SRA program Is still In place. Getting the event-related SRA does not automatically eliminate an individual from consideration for the annual award.
3. Salary - The exempt budget -is^comiog "real ,-sooo" per jG. M. Keller; thre * Increase In range is 31 and budget Is 5X.
Non-exempt salary budget - sentiment of the Tech Center Site Advisory
Council Is that we need to be more competitive In terms of wages; we seem
to be on the high side In the Valley, especially at the entry level.
Total budget Is 4X; average range movement Is 2X (none at entry level);
1-1/2X for Grade 7 and IX for Grade 8.
-
Progression money and performance money will be available In the budget. Packages will be mailed on 2/19.
4. Asbestos - Clyde Neely's team recommended a phase-out by January 1989, and discontinue purchase. Manufacturers are actively seeking and suggesting alternatives. Bob Perry presented the recommendation to the Manufacturing Council, which accepted them, and we are to proceed with changing Engineering Standards to Incorporate this recommendation.
UCC 015850
2- -
JES suggested Involvement of CED (materials of construction, piping); L. E. Calvert, Maintenance Group; and Purchasing. Clyde was requested to lead a team to undertake this Implementation and propose resources and schedule.
5. Promotions - No DMT meeting was held yesterday, 2/18/87; however, promotions through Grade 11 are conceptually approved. (We need to revisit Janeshek and Delaney at a later date.) For promotions to Grades 12 and 14, JES will take up with DMT next month, but we should make plans to Include them In the 1987 salary budget.
6. Greenwich Meeting - Mr. Kennedy had three key Items to leave meeting with:
1) Know strategic Intention of Corporation.
2) Have a knowledge of key businesses.
3) Be committed to the values of the Corporation. The mission and values are Important and we need to buy Into them.
Mr. Kennedy stressed the Importance of the long term while meeting short-term objectives. Also, we need to get more value for assets; operate and produce, not liquidate. The role of the Corporation Is to provide arena to be the best. Five values that need to be put In MOP'S, strategic plans, etc., are: safety; customer focus; people excellence technology; simplicity.
Mr. Kennedy predicted businesses are going to be stronger, bigger In the next few years. During this time, our values will be Identified with us and we with them; we will measure everything against the best.
7. Minutes of Last Meeting - GMK has asked the Kanawha Valley Non-Exempt Job Evaluation Committee to look at secretarial job posting descriptions to Include Wang and shorthand capabilities.
8. Position Terms - PDF raised questions regarding use of titles on
^
Technical Ladder, e.g.. Engineering Consultant and Specialtst. Vicky" *
Hutchison will poll JES and WGL staff to see feeling of group.
9. Rhone-Poulenc Contract - DLG brought concern to the group regarding requests for source coding for IPES, UCPC, pressure vessel programs and title to CED computer programs. DLG recommended we not share this without fee. JES also asked us to review distribution lists for reports
going to Rhone-Poulenc. CCN surfaced liability Issuesregarding Engineering advice provided to R-P resulting from Incomplete control over final execution. GMK said all movement of non-exempt personnel between R-P and UCC ceased after the December 19 signing of the sales agreement.
10. India Trip - The Chemicals Unit at Trombay, India, has been phased down since last year. Utilities are functioning, but not much else. They are now getting ready to restart and DLG reviewed expansion for operating characteristics for several units he had familiarity with.
UCC 015851
UNION CARBIOE CORPORATION
Jr.
ENGINEERING, MANUFACTURING, AND TECHNOLOGY SERVICES DIVISIONTM3
CENTRAL ENGINEERING P. 0. BOX 8361
/
SOUTH CHARLESTON, WEST VIRGINIA 25303
MEMORANDUM
,,_
C C>
TO: COPY: FROM: SUBJECT:
Mr. Mr. G. Asb
BUSINESS CONFIDENTIAL
February 9, 1987
RECEIVED
FEB 2 01987
CCN
Attached Is a materials . I' Sanders and his letter stating that It was transmitted to Bob Perry. Bob should be able to tell you where It has gone after It left his hands.
We would appreciate feed-back of any Information you obtain on the current status of the proposed program.
GBE/ds 1910H
At //a&j
n/ */// A& &e>6
J>i d A. jQJpzc
Ay
/V)C
try^c/iy
yC^*t
/?/?cruk*/
Ac'/Uf Ookns.
AaA
UCC 015852
O'/ ,, ^nd?
UNION CARBIDE CORPORATION ENGINEERING, MANUFACTURING, AND TECHNOLOGY SERVICES OIVISION
CENTRAL ENGINEERING P. 0. BOX 8361
SOUTH CHARLESTON, WEST VIRGINIA 25303
MEMORANDUM
BUSINESS CONFIDENTIAL
February 9, 1987
TO: COPY: FROM: SUBJECT:
Mr. J. P. Hamilton - Danbury K-3 Mr. C. C. Neely G. B. Elder Asbestos-Containing Materials In the Work Place
RBCfiVED
FEB UJ1987
CCN
Attached Is a copy of the proposed program to phase out asbestos-containing materials. I've also attached a copy of Clyde Neely's transmittal to Joe Sanders and his letter stating that It was transmitted to Bob Perry. Bob should be able to tell you where It has gone after It left his hands.
We would appreciate feed-back of any Information you obtain on the current status of the proposed program.
GBE/ds 191 OH
/
)is>OA&e\ ivul OE'S
'ifySIks ilo^ *1
UCC 015853
(Uil
Q
...
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....... __.
-tfTVO^ Xfl^--
-_
UCC 015854
UCC 015855
.111 /' '
>c
/ diAUCy (rc\r,ve Aiy<
M. v // s ? 4i',k
(2 ' v777 7-
17 //; '7' A i-/
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UftmiiJL
/^ TP LyfM
7 7 /
<r
L /'/'/;/v'.'?2 ) X/ /' X '//> AA'.\t'jv
' \'
4l7
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,y
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DETAIL SKETCH ENGINEERING DEPARTMENT UNION CARBIDE CORPORATION
LOCATION
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2ND NO,
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-.. ......xr
DATE
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BY CKD
#36*150-007 (Rev. 3-66)
UCC 015857
DETAIL SKETCH
ENGINEERING DEPARTMENT
UNION CARBIDE CORPORATION
LOCATION
INDEX N SITE
iR SUBJECT
' JOB NUMBER
ZONE
DESCRIPTION
DRAWN BY
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2ND NO.
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ISSUED FOR
UCC 015858
DATE
REVISION
BY CKD
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UCC 015859
* UNION * * CARBIDE *
**
INTERNAL CORRESPONDENCE
Engineering, Manufacturing, and Technology Services Post Office Box 8361
Central Engineering
Building 2000
Technical Center
South Charleston, WV 25303
Febuary 19, 1987
TO: Mr. B. 6. Perry
COPY TO:
Mr. P. D. Franson Mr. W. G. Lilly, ,Jr. Mr. C. C. Neely /
Mr. S. W. Turlcchl
SUBJECT: Asbestos Usage
REC8VED
FES 2 31987
CCH
Bob:
We are proceeding to establish plans to Implement the phase-out of asbestos-containing materials from C&P facilities. I have asked Clyde Neely to lead this effort which will require resources and Input from Maintenance groups. Purchasing, Safety and Health as well as Engineering Technology skill centers. Clyde will. In the next couple of weeks, develop a plan out lining the general steps required for this program between now and January 1989. We'll keep you posted on progress.
.Very truly yours.
JES:he 4898Y(4)
J. E. Sanders
UCC 015860
*
**
*
**
* UNION *
*
CARBIDE
*
**
** *
INTERNAL CORRESPONDENCE
Engineering, Manufacturing, and Technology Services -Post Office Box 8361
Central Engineering
Building 2000
Technical Center
South Charleston, WV 25303
October 16, 1986
TO: Mr. L. E. Calvert Mr. S. W. Clark Mr. G. B. Elder Mr. R. W. Engle
COPY TO: Mr. C. C. Neely
SUBJECT: Recommended C&P Program - Phase-Out Use of Asbestos-Containing Materials In Workplace
Gentlemen:
Attached Is a copy of your recommendation covering asbestos usage which I transmitted to Bob Perry.
Thanks for your Insights and efforts 4n pulling this together. I'll keep your team posted as the recommendation proceeds through the system.
Very truly yours.
OESrhe Attachment 4704Y
UCC 015861
* UNION *
*
*
CARBIDE
*
*
INTERNAL CORRESPONDENCE
Engineering, Manufacturing, and Technology Services Post Office Box 8361
Central Engineering
Building 2000
Technical Center
South Charleston, WV 25303
October 14, 1986
TO: Mr. B. G. Perry
COPY TO:
Mr. P. D. Franson Dr. P. R. Kavasmaneck
Mr. W. G. Lilly, Jp^. Mr. C. C. Neely ^
Mr. S. W. Turlcchl
SUBJECT: Recommended C&P Program - Phase-Out Use of Asbestos-Containing Materials In Workplace
tcLIVED OCT 2 0
CCN
Bob:
In July of this year, you requested on behalf of the Manufacturing Council that a Task Group be assembled to evaluate the Implications for Chemicals and Plastics of continued use of asbestos-containing materials In the workplace. You should be aware that asbestos-containing Insulation materials were prohibited for new construction and for replacements beginning In 1976.
The Task Group, headed by Mr. C. C. Neely, Corporate Fellow Engineering Mechanics, was comprised of the following Individuals and areas of expertise.
L. E. Calvert S. W. Clark G. B. Elder R. W. Engle
Maintenance Health/Safety Corrosion-Materials Valve and Piping Technology
The Task Group has surveyed current and projected Industry practices with regard to the use of asbestos-containing materials and has evaluated current government regulations and made Judgements with regard to future regulations which could Impact on the use of and cost of use of asbestos-containing materials. Additionally, the Group evaluated the availability and cost effectiveness of substitute materials.
UCC 015862
wav) *4.
Mr. B. G. Perry
Page 2 October 15, 1986
Based on available evidence that airborne asbestos In the occupational workplace has proven to be a carcinogen and that cost effective alternative materials are available, or can be developed with relative ease, the Team has recommended that C&P continue to phase out the use of asbestoscontaining materials with no purchase or Installation of asbestos-containing materials, without a formal variance, after .January 1, 1989. Asbestoscontaining materials that are In use and retain their structural and
functional Integrity need be replaced only If this Integrity Is compromised, or when normal maintenance occurs.
Other recommendations are contained In the attached draft of the
C&P Recommended Program.
'
I want to thank the Task Group for their efforts In this study and for their breadth of Judgement as reflected In the recommendation.
Please let me know of further work you require, or of any questions you may have.
JESrhe Attachment 4701Y
UCC 015863
UNION CARBIDE CORPORATION;P. 0. Box 8361 Engineering, Manufacturing, and Technology Services Central Engineering
So. Chas., WV 25303 BUSINESS CONFIDENTIAL
September 30, 1986
TO: Mr. J. E. Sanders
COPY TO:
Mr. L. C. Calvert Mr. S. W. Clark
Mr. G. B. Elder Mr. R. W. Engle
FROM:
C. C. Neely
SUBJECT:
Final Draft of Recommended C&P Program Phase-Out Use of Asbestos-Containing Materials In Work Place Chemicals and Plastic Group
Attached herewith on behalf of the Special Working Group Is a copy of the subject document dated 9/29/86. It Is a slightly fine-tuned version of the 8/28/86 version which was transmitted to you under my transmittal also dated 8/28/86. The changes that have been made are of a clarifying rather than substantive nature.
At this point, we have not made an effort to obtain broad, formal review of the subject program. However, Larry Calvert has discussed It briefly with the Maintenance APM's and Maintenance Managers. In addition, Stan Clark arranged for Its review by the Safety, Health Advisory Committee (SHAC), and your staff has reviewed It. Feedback Indicates these groups to be supportive of the concept, but some have expressed concern regarding the January 1, 1989 date specified for the discontinuance of the purchase of asbestos-containing materials, believing It to be optimistic. Some of the concern relates to the following:
1. CED's ability to revise and reissue the V&P Specifications and the Valve Manual In time to support the deadline. The responsible CED specialists have carefully reviewed this matter and believe that reissuance of these Manuals by July 1, 1988 Is realistic. This date has not been published, however.
UCC 015864
Mr. J. E. Sanders
-2- September 30, 1986
2. Belief that field testing of new gasket and packing materials will be required. Such testing will not be necessary since the plan at this time Is to accommodate most of the substitutions by broadening the use of materials already In use, materials such as reinforced Teflon and GRAFOILTM. This plan has not been broadly disseminated, and we can fully appreciate the reluctance to agree to a purchasing cut-off date for asbestos-containing products without knowing what the substitutes are. We also appreciate that, once this material substitute plan Is known, there will be a natural resistance due to the higher first cost of these substitute materials.
3. Some belief that Installers will need special training to handle the new gasket and packing materials. For reasons cited In (2), we do not believe this requirement will be significant.
4. Perhaps lack of understanding that the January 1, 1989 date Is the cut-off date for the purchase of asbestos-containing materials except as approved by a variance.
5. "Is this really necessary" attitude. The Special Working Group believes that OSHA's recently revised exposure limit of 0.2 fibers per cubic centimeter of air (was previously 2.0 fibers per cubic centimeter) add significant Impetus to Implement the proposed Recommended Program. According to Terry Hanning's September 5, 1986 memorandum (copy attached), labor union representatives do not believe that controlling the exposure limit to this lower level provides adequate protection.
The above concerns notwithstanding, the Special Working Group decided to submit the subject Recommended Program to you with the January 1, 1989 date Included since we believe that, with proper communication with the key plant personnel responsible for Its implementation, along with management support, this date Is realistic and achievable. We are submitting under separate cover a proposed CED Technology Program which Includes request for funds to cover the Important communications aspect of the understanding, acceptance and Implementation process.
Please let me know how we can be of further assistance regarding this matter.
CCN:mr 43191 Attachment
C.
UCC 015865
9/29/86
DRAFT
RECOMMENDED C&P PROGRAM
CHEMICAL AND PLASTICS BUSINESS GROUP (C&P)
GOAL: PHASE-OUT USE OF ASBESTOS-CONTAINING MATERIALS^)IN THE WORK PLACE
PURPOSE/BACKGROUND
The Corporate Charter (1.1) contains the following commitment to employees:
"To provide working conditions, programs of training and education, and persistent review and appropriate modifi cation of facilities and practices to protect the health and safety of employees."
It also contains a social commitment to conduct business "In accordance with all the applicable national and local laws and regulations."
As a result of available evidence that airborne asbestos In the occupa tional environment had proven to be carcinogenic In man, all C&P Insulation Standards were revised In 1976 to specify only asbestos-free Insulating materials; and new or replacement Installations of these materials have sub sequently been selected accordingly. Additionally, a Safety/Health Standard designated SH-256 was prepared covering the safe removal and handling (In cludes disposal) of asbestos-containing Insulating material during renova tion and demolition. The requirements of this Standard equal or exceed those of current applicable government standards.
OSHA's rule-making efforts relative to asbestos usage In the work place are mired In controversy. Hearings on the latest EPA proposal which In cludes the phaseout of all asbestos over a ten-year period are now In prog ress. The proposal states: "EPA Is considering banning the manufacture. Importation, and processing of asbestos construction products and asbestos clothing soon after the rule's promulgation with the category of asbestos friction products banned about five years later, and other asbestos products banned at a later time." Gaskets and packing that contain asbestos are In the category of "other asbestos products" that would apparently be banned after ten years. No peer company that we are aware of has a target date for removal of existing asbestos-containing Insulation, gaskets, or packing; however, one major chemical company has recently discontinued the purchase of asbestos-containing gaskets and packing.
A cost analysis of pipe-size gaskets shows that GRAFOIL, probably the most expensive of the acceptable gasket substitute materials, Is, In fact, cost effective when the cost of mandatory work practices associated with the use of asbestos (e.g. wetting for removal or airborne fiber
(I)"Asbestos-containing materials" Include but are not limited to Insulation, gaskets, packing, welding blankets, and construction products.
UCC 015866
DRAFT 2- -
9/29/86
exposure monitoring during removal, placing In labeled plastic bags after removal, landfill disposal, and record keeping) Is considered. The same conclusion Is drawn relative to valve packing when the additional considerations of Improved service life and sealablllty are Included.
Consistent with the aforementioned commitments and the economic use of materials, C&P has concluded that positive actions relative to asbestos-con taining materials^1) should be taken.
RECOMMENDED C&P PROGRAM
'
Except as otherwise provided by applicable law, Chemicals and Plastics Business Group will:
Continue to phase out the use of asbestos-containing materials:
Asbestos-containing Insulation shall be replaced with asbestos-free
materials as required to maintain structural and functional Integ
rity.
-
No asbestos-containing materials shall be purchased after January 1, 1989.
C&P Standard Practices shall be employed for the Identification, removal, modification, and/or disposal of asbestos-containing mate rials; and for use of asbestos-substitute materials.
Evaluation of asbestos-substitute materials shall Include conslderatlon of health effects as well as suitability for Intended service and cost.
A variance approval procedure shall be employed to cover considera tion of uncommon circumstances. Approval must always Include en
dorsement of C&P HS&EA management.
SCOPE
This Recommended Program applies to all C&P operated/hosted facilities. Other components of the Corporation will be apprised of Its content.
DELEGATION
The assignment of duties and authority to carry out the Recommended C&P Program defined herein Is delegated as follows:
To Central Engineering Department
Develop and maintain C&P Standard Practices covering:
- Identification of asbestos-containing materials;
UCC 015867
DRAFT
9/29/86
-3
- Removal, modification and/or disposal of asbestos-containing mate rials; and
- Use of asbestos-substitute materials.
To Line Operations Management
Implement C&P Standard Practices for the Identification, removal, modification, and disposal of asbestos-containing materials.
Implement C&P Standard Practices covering asbestos substitute material applications, and communicate the service experience with these materials.
To Manufacturing Services
Monitor use of asbestos-substitute materials and communicate the service experience with these materials.
To C&P HS&EA
Audit compliance with governmental regulations and C&P Standard Practices relating to asbestos-containing materials and, where applicable, their substitutes.
UCC 015868
C. C. Neely 2073W
RECtlVLu or P 1 o '1986
UNION CARBIDE CORPORATION
r. k/WASMANECK
ENGINEERING, MANUFACTURING AND TECHNOLOGY SERVICES DEPARTMEN7 HEALTH, SAFETY AND ENVIRONMENTAL TECHNOLOGY
SOUTH CHARLESTON, WEST VIRGINIA
MEMORANDUM
September 5, 1986
TO: Mr. S.W. Clark
Mr. D.A. Gosselln
.
Mr. V.H. Johnkoskl
Dr. P.R. Kavasmanecki^"
Mr. J.A. Leonard
Mr. J.B. Leverton
FROM:
T.E. Hanning
SUBJECT: Asbestos Update For Your Information
Mr. C.P. Maxwell Mr. J.E. Neff Mr. M.A. Patel Mr. T.P. Raby Mr. H.W. Wegert
SEP 2 9 1986 CCSI
Labor union representatives are currently endorsing a pro posed asbestos ban' by the Environmental Protection Agency. The unions contend that OSHA's permissible exposure limit of 0.2 fibers per cubic centimeter of air, effective July 21, provides Insuf ficient worker protection.
The proposed EPA rule would ban completely, five asbestos products that have effective substitutes. These products are: roof ing felts, flooring felts, vinyl-asbestos floor tile, asbestos clothing, and asbestos/cement pipe and fittings. Other asbestos uses would be phased out over 10 years.
TEH/db 6209D
Terry E. /Manning Extension 5903
UCC 015869
* *
* *
* **
UNION CARBIDE
** *
* *
* *
*
INTERNAL CORRESPONDENCE
Engineering, Manufacturing, and Technology Services Post Office Box 8361
Central Engineering
Building 2000
Technical Center
South Charleston, WV 25303
October 16, 1986 74
Received
OCT 2 0
ecu
TO: 3
COPY TO: SUBJECT:
Mr. L. E. Calvert
Mr. S. W. Clark (I Mr. G. B7 ET(Ter~
Mr. R. W. Engle
r . jy - . ~ ( m 'i > > S.S. V]
JMr. C. C. Neely
(jn II (ry>
n M > y-U \
Recommended C&P Program - Phase-Out Use of
<L
Asbestos-Containing Materials In Workplace
Helpers
C
Gentlemen:
}y Cit
f f' "
C4 P i(JT OT
'
Attached Is a copy of your recommendation covering asbestos usage which I transmitted to Bob Perry.
Thanks for your Insights and efforts In pulling this together. I'll keep your team posted as the recommendation proceeds through the system.
Very truly yours.
,
JES:he Attachment 4704Y
UCC 015870
I UNION CARBIDE CORPORATION
1300 HERCULES AVENUE. S'JIT DOT HOUSTON. TEXAS 77058
26 May 1987
RECEIVED
JUN 1 1987 CCN
TO: Attached List CC: Attached List
SUBJECT:
FINAL DRAFT OF RECOMMENDED C&P PROGRAM PHASE-OUT USE OF ASBESTOS-CONTAINING MATERIALS IN WORK PLACE - CHEMICALS AND PLASTICS GROUP
In the package I sent out April 28, 1987, I made two mistakes. Please note the corrections as follows.
- Paragraph two, last sentence should be 1989 not 1987. Although, as pointed out, it may not be pertinent that 1989 is the approved date.
- The recommended C&P Program attached was supposed to be the revised 9/29/86 draft, not the 8/28/86 draft. I have attached the 9/29/86 document. The key change is that the 9/29/86 document is defined as a program not a policy.
My apologies for the errors.
LEC:ka Attachment 7212K
Larry E. Calvert
UCC 015871
c .r
DRAFT RECOMMENDED C&P PROGRAM CHEMICAL AND PLASTICS' BUSINESS GROUP (C&P)
9/29/86
GOAL: PHASEOUT USE OF ASBESTOS-CONTAINING MATERIALS0>IN THE WORK PLACE
PURPOSE/BACKGROUND
The Corporate Charter (1.1) contains the following commitment to em ployees:
"To provide working conditions, programs of training and education, and persistent review and appropriate modifi cation of facilities and practices to protect the health and safety of employees."
It also contains a social commitment to conduct business "in accordance with all the applicable national and local laws and regulations."
As a result of available evidence that airborne asbestos in the occupa tional environment had proven to be carcinogenic in man, all C&P Insulation Standards were revised in 1976 to specify only asbestos-free Insulating materials; and new or replacement installations of these materials have sub sequently been selected accordingly. Additionally, a Safety/Health Standard designated SH-256 was prepared covering the safe removal and handling (in cludes disposal) of asbestos-containing insulating material during renova tion and demolition. The requirements of this Standard equal or exceed those of current applicable government standards.
OSHA's rule-making efforts relative to asbestos usage in the work place are mired in controversy. Hearings on the latest EPA proposal which In cludes the phaseout of all asbestos over a ten-year period are now in prog ress. The proposal states: "EPA is considering banning the manufacture, importation, and processing of asbestos construction products and asbestos clothing soon after the rule's promulgation with the category of asbestos friction products banned about five years later, and other asbestos products banned at a later time." Gaskets and packing that contain asbestos are in the category of "other asbestos products" that would apparently be banned after ten years. No peer company that we are aware of has a target date for removal of existing asbestos-containing Insulation, gaskets, or packing; however, one major chemical company has recently discontinued the purchase of asbestos-containing gaskets and packing.
A cost analysis of pipe-size gaskets shows that GRAFOIL, probably the most expensive of the acceptable gasket substitute materials. Is, In fact, cost effective when the cost of mandatory work practices associated with the use of asbestos (e.g., wetting for removal or airborne fiber
(^"Asbestos-containing materials" Include but are not limited to Insulation,
gaskets, packing, welding blankets, and construction products.
-
UCC 015872
rr
DRAFT 2- -
9/29/86
exposure monitoring during removal, placing In labeled plastic bags after removal, landfill disposal, and record keeping) Is considered. The same conclusion Is drawn relative to valve packing when the additional considera tions of Improved service life and sealablllty are Included.
Consistent with the aforementioned commitments and the economic use of materials, C&P has concluded that positive actions relative to asbestos-con taining materials^) should be taken.
RECOMMENDED C&P PROGRAM
.
Except as otherwise provided by applicable law. Chemicals and Plastics Business Group will:
Continue to phase out the use of asbestos-containing materials:
Asbestos-containing insulation shall be replaced with asbestos-free materials as required to maintain structural and functional integ rity.
No asbestos-containing materials shall be purchased after January 1, 1989.
C&P Standard Practices shall be employed for the Identification, removal, modification, and/or disposal of asbestos-containing mate rials; and for use of asbestos-substitute materials.
Evaluation of asbestos-substitute materials shall include considera tion of health effects as well as suitability for intended service and cost.
A variance approval procedure shall be employed to cover considera tion of uncommon circumstances. Approval must always include en dorsement of C&P HS&EA management.
SCOPE
This Recommended Program applies to all C&P operated/hosted facili ties. Other components of the Corporation will be apprised of its content/
DELEGATION
The assignment of duties and authority to carry out the Recommended C&P Program defined herein is delegated as follows:
To Central Engineering Department
Develop and maintain C&P Standard Practices covering:
_
- Identification of asbestos-containing materials;
UCC 015873
cr
DRAFT
9/29/86
-3
- Removal, modification and/or disposal of asbestos-containing mate rials; and
- Use of asbestos-substitute materials.
To Line Operations Management
Implement C&P Standard Practices for the Identification, removal, modification, and disposal of asbestos-containing materials.
Implement C&P Standard Practices covering asbestos substitute mate rial applications, and communicate the service experience with these materials.
To Manufacturing Services
Monitor use of asbestos-substitute materials and communicate the service experience with these materials.
To C&PHS&EA
Audit compliance with governmental regulations and C&P Standard
Practices relating to asbestos-containing materials and, where
applicable, their substitutes.
UCC 015874
C. C. Neely 47071
DISTRIBUTION LIST
Eric Baumann
Jim Dement J. M. McBride
Robert Gauvin Roger Hampson Doug Pridgen Tony Amatangelo R. T. Jackson R. R. Rankin C. Smith J. B. Evans J. Sidlovsky T. L. Rogstad
Victor Vega Burl Mallory
Bound Brook South Charleston Seadrift
Montreal Bound Brook
Mobile Cary, N.C. Danbury P2606 Danbury P2601 Danbury J3406 Danbury K4445 Danbury P3603 Danbury A1127 Texas City Bldg.l Star
d: Andy Allen Ashton Barefoot George Elder Bart Gliatta Tom Liles C. C. Neely B. G. Perry Alec Robertson R. W. Scouler Bill Summers R. T. Worrell
Woodbine Clear Lake South Charleston South Charleston. Seadrift
S. Charleston Danbury M4530 Prentiss Tech Ctr.
Sisterville Clear Lake
Zulma Boroughs Broward Gable George Wulfert Duke Gossage George LeBlanche John Turner H. Torrellas R. E. Bollinger D. C. McCauley R. E. Graebert W. F. Gorham J. P. Grade T. L. Collins Stan Illikainen
Taft Woodbine Sisterville Tech. Ctr. Moses Lake,WA
Prentiss Seadrift Danbury P2595 Danbury P4 Danbury M3531 Bound Brook Toronto,Canada S. Charleston
Institute
Frank Bobbie S. W. Clark R. W. Engle John Wittliff S. S. Murphree W. F. Merritt Jim Polomsky)
) Ben Robinson Syl Turicchi
R. 0. Spencer
Bound Brook S. Charleston S. Charleston
Taft Texas City Clear Lake Box 94637 Cleveland,OH Bound Brook Danbury M-4529 S. Charleston
7212K/2
UCC 015875