Document NN2mb49d72g63aE5vXR5761Gw
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OSHA EMERGENCY REPORTING REQUIREMENTS VINYL CHLORIDE STANDARD
REPORTING GUIDELINES
Standard Requirements
29 CFR Section 1910.1017(n)(2) requires the following:
Emergencies, and the facts obtainable at that time, shall be
reported within 24 hours to the OSHA Area Director. Upon request of
the Area Director, the employer shall submit additional information
in writing relevant to the nature and extent of employee exposures
and measures taken to prevent future emergencies of similar nature.
Background
The standard defines an emergency as ...nany occurrence such as,
but not limited to, equipment failure or operation of a relief
device which is likely to, or does, result in massive release of
vinyl chloride." OSHA does not define the terms massive release in
the regulation. The only guidance from the agency comes from
various letters written by OSHA in response to questions regarding
what constitutes a reportable emergency. To summarize the responses
of record ...Man emergency situation under the standard is one in
which an employee is exposed to a massive release of vinyl chloride
... and ..."In the absence of exposure, a release of vinyl chloride
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need not be reported to OSHA." (Emphasis added).
Reportable Situations
Based on the above and the perceived intent of the standard the
following two things must occur together to trigger the 24-hour
emergency reporting requirement.
VAB.0001002895
.1 An unforeseeable massive release of vinyl chloride.
2. Actual exposure to employees. OSHA revaluates exposures without regard to the use of respiratory protection.
The determination of what constitutes a massive release is
necessarily a case-by-case determination. The following should be
considered.
1. Physical area of release: outside process area, laboratory,
pilot plant, etc.
2. Source and cause of release
flange, broken pipe
loading/unloading rack spill, etc.
3. Amount released.
The limited OSHA guidance available would indicate that a flange
leak is not massive but a seal failure or pipe break is. A cvlinder
or sample bomb released in the process area is not massive but the
same container in a laboratory may be massive due to the exposure
conditions created. In all cases, exposure to employees must also
occur.
OSHA evaluates exposures regardless of respiratory protection
If personnel involved in the release area are properly protected
this would be conveyed to OSHA when discussing "the nature and
extent of employee exposures"
It is important to consider that there are other reporting
requirements (i.e. Superfund) for VCM releases. If a release occurs
these should all be considered at the same time as there are
statuory time frames for reporting.
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VAB.0001002896