Document e5E1DV7dGRmRM6LrzbMv6qJBp

SM-3? (REV 5-78) Shell Oil Company Interoffice Memorandum AUGUST 18, 1987 72/. / Return Document to T ~Y~ Record Copy in File 1 Information Copy Record Copy in Copy: Circulate: FROM: SR. INDUSTRIAL HYGIENIST, HEALTH & SAFETY, MFG. & TECH. TO: SEE ATTACHED DISTRIBUTION LIST SUBJECT: FEDERAL OSHA ASBESTOS STANDARD PLAINTIFF'S EXHIBIT SH-610 The attached correspondence is for your information. Attachment cc: K. C. Crawford 0. D. Long J. D. Ransdell A. F. Schmit BT8723003 law 017184 DPMC-10921 INDUSTRIAL HYGIENE REPRESENTATIVES ANACORTES REFINERY F. J. KING GEISMAR PLANT M. T. BARCLAY MARIETTA PLANT M. W. HERSHMAN MARTINEZ MANUFACTURING COMPLEX M. B. KOVACEVICH NORCO MANUFACTURING COMPLEX A. K. MENARD ODESSA REFINERY S. C. HENDRICKSEN TAFT PLANT J. J. DELAUNE WILMINGTON MANUFACTURING COMPLEX S. V. SEVER WOODBURY PLANT R. A. NOCCO WOOD RIVER MANUFACTURING COMPLEX W. M. CUNNINGHAM BT8723003 LAM 017185 DPMC-10922 Shell Oil Company* Shell Chemical Company pjTInteroffice Memorandum ADD KCC JHB PJW MANUFACTURING ^ TECHNICAL AUGUST 14, 1987 AUG'17 1987 BJO ! CU For: Pate: Hie Hoi FROM: A. F. SCHMIT, STAFF INDUSTRIAL HYGIENIST, HEALTH & SAFETY DEER PARK MANUFACTURING COMPLEX TO: P. J. SNYDER, SENIOR INDUSTRIAL HYGIENIST, HEALTH & SAFETY MANUFACTURING & TECHNICAL SUBJECT: "COMPETENT PERSON" UNDER OSHA ASBESTOS STANDARD The attached memo indicates that the "competent person" under the OSHA Asbestos standard must have attended an EPA-approved training course or be State certified in those States with asbestos abatement certification and training programs. This information may be useful to share with Shell location personnel. A. F. Schmit Attachment cc: DPMC T. E. Gillespie B. T. Waggoner AFS Chron ECB Satellite OSP H. L. Kusnetz J. L. Rivard CHBT8722601 LAM 017186 DPMC-10923 v.. U-.S. Department of Labor Occupational Safety and Health Administration Washington, D.C. 20210 Reply to the Attention of: MEMORANDUM FOR: FROM: THROUGH: SUBJECT: GIBERT J. SAULTER Regional Administ CHARLES E. ADKINS /Jt'y Acting Director C Health Standards Programs JOHN B. MILES, JR. Director * Field Operations Asbestos Construction standard a) Competent Person b) OSHA Reference Method 11 This is in response to your memo of July 25 requesting clarification as to the minimum qualifications a "competent person* must possess and for clarification as to what constitutes a method equivalent to the OSHA Reference Method (Appendix A) for asbestos sampling and analysis. A "competent person" must have academic credentials and/or field experience in asbestos abatement. By virtue of his or her back ground, this individual will be capable of identifying existing asbestos hazards in the workplace and will be a person who has the authority to take prompt corrective measures to eliminate them, as specified in 51926.32(f). The "competent person" will be knowledgeable of the contents of the new asbestos standard (29 CFR 1926.58), the identification of asbestos and its removal procedures, and other practices for reducing the hazard. This individual must also have attended an EPA-approved training course or be State certified in those States with asbestos abate ment certification and training programs. (States with certi fication and training programs are Alabama, Alaska, Arkansas, Illinois, Iowa, Kansas, Maryland, New Jersey, Oklahoma,, Ohio, Rhode Island, Tennessee and Washington.) In regard to your second question, methods equivalent to the OSHA Reference Method are the NIOSH 7400 method (Revision #2) and the OSHA ID 160 method developed by the OSHA Salt Lake City Laboratory. Any other method would have to be evaluated on a case-by-case basis by our laboratory. . ^f LAM 017187 ,:B I 6 1987 DPMC-10924