Standards Interpretation and Compliance Letters Training And Certification Procedures Of HAZWOPER |
|
|
|
|
|
May 13, 1991 Ms. Karen L. Artz Training Coordinator BP Oil Company 4850 East 49th Street Cleveland, Ohio 44125-1079 Dear Ms. Artz: This is in response to your inquiry of February
22, concerning the training and certification
procedures in the Occupational Safety and
Health Administration's (OSHA) Hazardous
Waste Operations and Emergency Response final
rule (29 CFR 1910.120) HAZWOPER. Please accept
my apology for the delay in this reply.
The exact language of the regulation concerning trainers can be found in 1910.120(q)(7). The final rule states:
Pertaining to BP's desire to certify the training subjects as "trained," Section 1910.120(q) does not delineate specific procedures, however, OSHA interprets the language of section 1910.120(q); "the employer shall so certify", to imply that the employer shall provide written certification to all personnel that have successfully completed the training for each and all of the various responder levels identified in Section 1910.120(q)(6). Certification of the yearly refresher training is also required in Section 1910.120(q). The pertinent section of the final rule states:
This guidance pertains to a current interpretation
of the HAZWOPER final rule (1910.120). |
|
[Corrected 1/20/2005. On August 15, 2002 the proposed 1910.121 "Accreditation of Training Programs for Hazardous Waste Operations" proposed rule was withdrawn from the Unified Regulatory Agenda (see Federal Register 67:74749-74785 dated December 9, 2002).] |
|
|
|
February 22, 1991 Ms. Patricia K. Clark Director Designate, Directorate of Compliance Programs U.S. Department of Labor Occupational Safety & Health Administration Washington, D.C. 20210 RE: 29 CFR 1910.120 Hazardous Waste Operations & Emergency Response I am the training coordinator for the terminals
and distribution department of BP Oil and,
in this capacity, I am responsible for ascertaining
that we have sufficient training for our
staff under the subject regulation. The Section
of 1910.120 which applies to us is Section
(q), emergency response to hazardous substance
releases. |
|
|
|
More information on "Letters of Interpretations" can be found on OSHA's Website at www.osha.gov |