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Federal;Register./ Vol. 51, No. 119 / Friday. June 20, 1986 / Rules and Regulations. ... . 22661 received from the primary manufacturer Caskets and Packing : Plastics is prepared prior to attachment to the . ] metal brake shoe. This preparation might involve drilling holes or grinding to fit a shoe. The pad is then riveted to the metal shoe. Despite the use of local exhaust, grinding generates high volumes of asbestos dust. Thus, grinding results in problem exposures as it does in primary manufacturing. OSHA's determination of feasibility in this sector is also based on data obtained in response to the RT1 survey. These data, which were obtained from four plants, are summarized in Table 19. As the average exposures shown were well below.0.2 f/cc, OSHA has determined that it is feasible for this sector to comply with the 0.2 f/cc PEL. except for grinding operations, where respirators will be used. The report prepared by Versar. [Exhibit 333) indicated that 95 percent of asbestos gaskets and packings undergo secondary manufacturing. Secondary fabrications cut the gaskets from paper sheets using metal die stamping or pressing machinery. Sawing and drilling are sometimes performed in the finishing of the gaskets. The greatest potential for exposure in the secondary fabrication of packings occurs during slitting and braiding operations. Wet methods are sometimes used in the braiding of asbestos yams. Local exhaust systems are used along with housekeeping practices to minimize exposures- The secondary manufacture of asbestos-reinforced plastics involves theforming and finishing of preform plastics received from primary manufacturers. The process steps are the same as these for primary manufacturing. The preform is received and then remelled. It is then rolled, stamped, pressed, or molded as in primary manufacturing. The product is cured in an enclosed area which is furnished with local ventilation. When curing i9 complete, the product is finished through operations that may include grinding, drilling; or sanding. Hand and portable tools arc equipped with shrouded exhaust/collection, systems. Larger finishing machines use local exhaust systems near the surface being finished. The dry mechanical operations Table 19.--Worker Exposures Curing the Secondary Fabrication Friction Products performed In this industry are similar to the finishing steps of primary Job classilicationfprocess Mean 8-hr TWA exposure (1/ cc) Standard deviation Number of observa tions manufacturing where exposures have been shown to exceed the 0.2 f/cc PEL. There were no comments submitted to the OSHA record, however, that 0.04 0.03 *152 ' Oata obtained from plants designated as "ee." "nh," "mm," and "nn." * Four plants reported average, values. This number presents the employment at the plants in this job category. * Data obtained from plants designated as "hh." "nn." and "qq" in the RTI survey. indicated that a 0.2 f/cc TWA would not be feasible for this sector. Consequently, although the Agency recognizes that some dry finishing operations may cause Source: U.S. Department ol Labor. OSHA, Office ol Regulatory Analysis, as derived from RTI survey. high exposures for short periods of.time, OSHA believes it is technologically . OSHA's feasibility analysis for this sector is based on 70 observations obtained from the OSHA MIS compliance data for the years 1979 exposures below 0.2 f/cc. respirators . may have to achieve the PEL. This determination is consistent with the data provided by Raymark [Appendix B feasible to reach a 0.2 f/cc TWA. This determination is based on.seven OSHA compliance reports which.indicated an average exposure of 0.1 f/cc. through 1984. These observations ranged of the RIA] and with theposition of the from non-detectable to 0.43 f/cc, with a AFL-CIO [Exhibit 335. p. 44) that this is mean value of 0.08 f/cc and a standard a problem sector. OSHA. however, Automotive Brake and Clutch , Remanufacturing deviation of 0.1 f/cc. Based on these data which do not represent the best controlled plants. OSHA has determined that it is feasible for this sector to comply with.the 0.2 f/cc PEL. Textiles Secondary manufacturers produce fire-resistant and heat-resistant materials and electrical insulation from . asbestos cloth'and yarns. Data from . OSHA MIS data arid RTI survey? (See Appendix C of the RIA] indicate that the. cutting of asbestos fibers and the sewing of these materials with asbestos thread result in exposures above 0.2 f/cc PEL. OSHA's feasiblity determination that this sector may have difficulty.meeting the PEL is based on data obtained from two plants in response to ihe RTI survey and from an OSHA inspection report. These data are summarized in Table 20. As it may not be feasible for these operations to be performed with expecls that plants in this sector would utilize controls used by other asbestos processors (e.g.. local exhaust ventilation, vacuums, etc.). These controls are currently available and their implementation should reduce exposures. This type of remanufacturing is a salvage operation that rebuilds worn brakes and clutches. Worn brake pads and clutch facings are stripped from their metal supports and are replaced with new pads and linings. The stripping of the old asbestos pad is a potential Table 20.--Worker Exposures During the Secondary Manufacture of Asbestos Textiles Job classification/ process Mean 8hr TWA expo sures ((/ cc) No. Of observa tions - Source of data source of high exposures. Toremove the . entire used pad. the op'eration.may require abrasive action which causes dust to be generated. Once the metal back of the old pad has been cleaned. ' the process is identical to the assembly procedure described earljer for the Sewing arid cutting ol fabric. Sewing and cutting 0.6 IS-1.8 3 OSHA MIS. *8 RTI Survey.* fabrication of secondary friction products. OSHA based its feasibility determinations on data obtained'from ol fabricOther........................... Other........................... 0.185 1 2 OSHA MIS. 12 RTI Survey.* the OSHA MIS data base and from responses lo the RTI survey. These data are summarized in Table 21. As Ihe 1 NumtXH of samples was not reported. These data repre-. seni the number ol workers represented by (he readings. Plant designated as "ss" (see Appendix C ol the RIA). 9 Plant designated as "n" (see Appendix C ol ihe RIA). Source: U.S. Department ol Labor. OSHA Office ol Regu latory Analysis. mean exposures forThis industry are 0.12 f/cc or below. OSHA has. . determined that it is feasible for this sector to comply with the 0.2 f/cc PEL. GLEASON-000909