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Published byLucas Watts Modified over 9 years ago
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OSHA – Brief Overview “WHAT IS OSHA?”
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OSHA: FEDERAL AGENCY Part of the Department of Labor (“DOL”) Enforces Occupational Safety & Health Act of 1970 (29 U.S.C. § 650 et seq.
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NEW ADMINISTRATION Obama Administration intends to make OSHA compliance a top enforcement priority
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Current OSHA enforcement trends: A. Increased budget for OSHA inspectors/programs B. More aggressive penalties C. National emphasis program on injury/illness recordkeeping D. Pending legislation: Protecting America’s Workers Act of 2009
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Protecting America’s Workers Act (pending) 1. Amends OSH Act 2. Increases protections for whistleblowers 3. Increases penalties for certain violations $50,000 per violation – fatalities or serious injuries $250,000 max. penalty (increased from $70,000) 4. Felony sanctions for willful violations causing death or serious injury
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Several states have similar agencies which enforce state safety laws, e.g. California (“Cal OSHA”) STATE OSH AGENCIES
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OSHA issues rules, regulations, safety standards and conducts workplace safety inspections. WHAT OSHA DOES
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HEALTH AND SAFETY STANDARDS Nearly all OSHA health and safety standards are located at 29 C.F.R. Parts 1910 (General Industry)
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“General Duty Clause” Section 5(a)(1) of OSH Act “catch-all” provision prohibits employers from exposing employees to recognized hazards that can cause death or serious physical harm
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OSH ACT CASE LAW “Multi-employer Worksite Doctrine ”
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“WHO ARE THESE GUYS?” OSHA:
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Sect’y of Labor Ass’t Sect’y of Labor Occ. Safety & Health Review Commission Regional Administrators Area Office Directors Compliance Safety & Health Officers Solicitor of Labor (OSHA’s attorney) Administrative Law Judges (“ALJs”) (decide contested cases)
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TYPES OF INSPECTIONS “WHY ARE THEY HERE?”
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Programmed Inspections Targets “high hazard” industries Site-Specific Targets (“SSTs”) (“high-incident” employers) Enhanced Enforcement Program (employers who repeatedly ignore OSHA)
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Non-Programmed Inspections Employee complaint Referral from another agency Report of death or serious injury “Drive-bys”: OSH detects imminent danger or condition
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Other Targeting Programs Alliances (e.g., AESC alliance): industry- wide standards Consultations: small business/on-site compliance help SHARP: recognition program for small- employers Strategic Partnerships: agreements to prevent specific hazards VPP: Voluntary Protection Program
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SCOPE OF INSPECTION “WHAT ARE THEY LOOKING FOR?”
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FIRE RESISTANT CLOTHING (FRC) 29 C.F.R. § 1910.132(a): PPE, including FRCs required when employee exposed to recognized fire hazard (usually welding, grinding, “hot work” in the presence of flammable or combustible liquids/gases)
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FRC STANDARDS See “Recommended Practices and Guidelines” for Oil and Gas Well Drilling, Servicing and Storage (www.osha.gov/SLTC/oilgaswelldrilling/drillingservicing.html)www.osha.gov/SLTC/oilgaswelldrilling/drillingservicing.html Viewed as “industry standards” (not regulations) Denim/cotton clothing recommended
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WORK-SITE INSPECTIONS
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Usually involves six steps: 1. Compliance officer announces presence 2. Opening conference 3. “Walk around” tour of site 4. Employee interviews 5. Officer reviews employer’s records 6. Closing conference
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CITATIONS “De Minimus” “Other Than Serious” “Serious” “Willful” “Failure To Abate” Hazard
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POSTING Citation must be posted near work-site at least 3 days or until violation abated whichever is later - $7,000 fine
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INFORMAL CONFERENCE “Last chance” to settle before litigation Employer must request Must be held before notice of contest deadline (within 15 working days)
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INFORMAL SETTLEMENT AGREEMENT Contains settlement terms reached at informal conference – request “no admission of liability” clause to prevent agreement from being used as an admission in subsequent litigation.
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UNCONTESTED CITATIONS Uncontested citation becomes final order Employer must abate the hazard cited Employer must pay penalty assessed
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FOLLOW-UP INSPECTIONS OSHA may check to verify violation has been corrected
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CONTESTED CITATIONS “Notice of Contest”: Within 15 business days Solicitor of Labor will file complaint Case will be assigned to ALJ
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SIMPLIFIED PROCEEDINGS Lesser citations involved Penalties less than $20,000 Fatality not involved Small employer (less than 40 employees) Not willful or repeat citation
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SETTLEMENT ALJ will encourage settlements Settlement conference required Citations/penalties are negotiable Penalties: Up to $7,000/violation or 10x amount for repeat/willful violations
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TRIAL Conducted by ALJ (non-jury) Similar to civil court trial procedures Employer defenses are case specific
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COMMON DEFENSES Statute of Limitations (6 months) Unpreventable employee misconduct “Greater hazard” (if comply with standard) Cited standard does not apply
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RETALIATION/CRIMINAL CONSIDERATIONS §11: Retaliation prohibited Criminal penalties may apply
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CRIMINAL PENALTIES (§17 OSH ACT) Willful violation resulting in employee’s death Giving advance, unauthorized notice of OSHA inspections Making false statements or false records Assaulting/killing OSHA investigator conducting an inspection
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RESOURCES “Where Can We Find Help?”
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RESOURCES OSHA website: www.osha.govwww.osha.gov DOL website: www.dol.govwww.dol.gov American National Standards Institute: www.ansi.orgwww.ansi.org National Safety Council: www.nsc.orgwww.nsc.org Health and Safety regs.: 29 C.F.R. Part 1910 OSHA “E-Tool” for Oil and Gas Well-Drilling and Servicing: www.osha.gov/SLTC/etools/oilandgas/generalsafety www.osha.gov/SLTC/etools/oilandgas/generalsafety
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CONCLUSION New enforcement emphasis + new laws + stiffer penalties = Greater $$ Risk
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