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American Mushroom Institute – OSHA Alliance

Learn about OSHA inspections and be prepared with this guide. Covers SST inspections based on injury data and complaint inspections for specific hazards like machine guarding.

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American Mushroom Institute – OSHA Alliance

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  1. American Mushroom Institute – OSHA Alliance OSHA Mock Inspection Are You Ready?

  2. Workplace Inspections • Every establishment covered by the OSH Act is subject to inspection by OSHA compliance safety and health officers (CSHO's). • With some exceptions, inspections are conducted without advance notice.

  3. Inspection Priorities 1. Imminent Danger (any condition where there is a reasonable certainty that a danger exists that can be expected to cause death or serious physical harm immediately, or before the danger can be eliminated through normal enforcement procedures) 2. Fatalities and Catastrophes (resulting in hospitalization of 3 or more employees) 3. Employee Complaints/Referrals 4. Programmed High-Hazard Inspections

  4. Mock Inspection – Scenario #1 • On your mark • Get Set • Go…………

  5. Scenario #1 - SST Inspection • Programmed High-Hazard Inspections • Comprehensive Inspection

  6. OSHA Update SST Inspections • OSHA’s Site-Specific Targeting (SST) program is OSHA’s main programmed inspection plan for non-construction workplaces that have 20 or more employees. The SST plan is based on the data received from the prior year’s OSHA Data Initiative survey. The Data Initiative survey and the SST program help OSHA achieve its goal of reducing the number of injuries and illnesses that occur at individual workplaces by directing enforcement resources to those workplaces where the highest rate of injuries and illness have occurred.

  7. SST Inspection • Review of your injury – illness records • Minimal Review of the Facility’s Safety & Health Programs • LOTO • HAZCOM • Machine Guarding • Emergency Response – BBP • PPE • Electrical Installations • Housekeeping

  8. Inspection Process 1. Display official credentials 2. Opening conference 3. Walkaround inspection 4. Closing conference

  9. Mock Inspection • Who is representing your interest? • Do you have a procedure? • Do you have your programs together • Who will represent your employees? • Who has authority to correct hazards?

  10. Inspection Process Display official credentials Are they who they say they are? Opening conference: Purpose, nature and scope of the inspection Do you require a warrant? They will get one. Preempted Warrant- We will save you the trouble. ARE YOU TAKING NOTES?

  11. Mock Inspection-Walkaround • Generally speaking OSHA’s representative has the authority to look at everything • Will take photos, measurements, and conduct interviews • These are private interviews • Employees have a right to request an employee representative to participate in interview • Are you taking notes/photos/measurements • Are documenting request from CSHO • Are you correcting conditions

  12. Mock Inspection-Walkaround • Employer/Management Interviews • Who is authorized to speak on your behalf • Who can be there during the interviews • Do you have an area set aside • If you don’t know the answer to a question, DON’T answer the question.. Tell the Compliance Officer that you will have the appropriate person follow up with them.

  13. Inspection Process • Closing conference • Note that there can be multiple closing conferences • Usually conducted with employee representative but can be separate • CSHO will discuss findings, standards and abatement • Will explain penalties can be issued • CSHO does not issue Citations only the Area Director or someone acting on their behalf • ARE YOU TAKING NOTES YET

  14. Mock Inspection-Walkaround • Where are your safety and health programs? • Who maintains your training records? • Who maintains your 300 Logs? • Do you have a safety committee? • How can an employee bring forward a safety issue/concern? • How are safety issues resolved • Do you document hazard abatement? • Do you have a progressive disciplinary program? • Do you perform oversight of contractors?

  15. Mock Inspection – Scenario #2 • On your mark • Get Set • Go…………

  16. Complaint Inspection Machine Guarding

  17. Scenario #2- Complaint Inspection • Un-programmed Inspection • Machine Guarding Complaint

  18. Complaint Inspection • The Act gives each employee the right to request an OSHA inspection when the employee believes he or she is in imminent danger from a hazard or when he or she thinks that there is a violation of an OSHA standard that threatens physical harm. OSHA will maintain confidentiality • if requested, OSHA will inform the employee of any action it takes regarding complaints, and, if requested, hold an informal review of any decision not to inspect.

  19. Inspection Process 1. Display official credentials 2. Opening conference – What is different this time – the SCOPE- This is a limited scope inspection. 3. Walkaround inspection- Again, what is different. Does the Compliance Officer have free rein? PLAIN VIEW ITEMS 4. Closing conference

  20. Citations and Penalties • After CSHO reports findings, the area director determines what citations, if any, will be issued, and what penalties, if any, will be proposed • Citations inform employer and employees of the regulations and standards allegedly violated and of the proposed time for abatement • Citations and notices of proposed penalties are sent by certified mail • Employer must post a copy of each citation at or near place where violation occurred, for 3 days or until violation abated, whichever is longer

  21. Types of Violations • Other Than Serious - $? • Serious- $$ • Willful - $$$$ • Repeat - $$$$

  22. Other Than Serious Violation • Violation that has a direct relationship to job safety and health, but probably would not cause death or serious physical harm • Penalty of up to $7,000 is discretionary

  23. Serious Violation • Violation where there is substantial probability that death or serious physical harm could result and that the employer knew, or should have known, of the hazard • Penalty of up to $7,000 is mandatory

  24. Willful Violation • An intentional violation of the Act or plain indifference to its requirements • Penalties of up to $70,000, with a minimum penalty of $7,000 for each violation • If violation results in death of an employee, a fine up to $250,000 for an individual, or $500,000 for a corporation, and/or imprisonment for up to six months may be imposed for a criminal conviction

  25. Repeated Violation • Substantially similar violation found upon re-inspection • Penalties of up to $70,000 for each violation

  26. Additional Violations • Falsifying records, reports or applications can bring a fine of $10,000 or up to 6 months in jail, or both. • Violations of posting requirements can bring a penalty up to $7,000. • Assaulting a compliance officer or interfering with their duties is a criminal offense, subject to fine of not more than $5,000 and imprisonment for not more than 3 years.

  27. Failure to Abate • Failure to abate a prior violation may bring a penalty of up to $7,000 for each day the violation continues beyond the prescribed abatement date.

  28. Following the Inspection • OSHA has six months from the date of the opening conference to issue Citations • The Compliance Officer may follow up with you for additional information (programs, training records, additional interviews, etc.) • The Compliance Officer will review your company OSHA History • The Compliance Officer make RECOMMENDATIONS (only) for Citations • Good Faith Goes a Long Way- NOTE Abatement efforts

  29. Following the Inspection • Employer Options • Informal Conference – Present your case to the Area Director • Expedited Informal Settlement Agreement (EISA) • Pay your penalty- Provide abatement- Move on • Contest – • Out of the Area Office – Now with the Solicitors • Depositions • Litigation • Formal Hearing

  30. Appeals by Employees • If an inspection was initiated by employee complaint, employee or authorized representative may request an informal review of any decision not to issue a citation • Employees may not contest citations, amendments to citations, penalties or lack of penalties • May contest time for abatement • May also contest employer's Petition for Modification of Abatement (PMA), which requests an extension of the abatement period

  31. Appeals by Employers • When issued a citation or notice of proposed penalty, employer may request an informal meeting with OSHA's area director, who is authorized to enter into settlement agreement • Employer may request an extension of abatement period through a PMA • Employers may contest either the citation, abatement period, or proposed penalty within 15 working days of receipt through a written "Notice of Contest"

  32. Are You Ready Now? Questions?

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