August 27, 1992
Dr. Douglas Brugge
Massachusetts Coalition for
Occupational Safety and Health
555 Amory Street
Jamaica Plain, Massachusetts 02130
Dear Dr. Brugge:
This is in response to your inquiry of July
9, concerning the Occupational Safety and
Health Administration's (OSHA) Hazardous
Waste Operations and Emergency Response final
rule (HAZWOPER), 29 CFR 1910.120.
Thank you for enclosing the brochure
on HAZMAT courses and for expressing concern
about compliance with the training requirements
in 29 CFR 1910.120.
As you know, 24 hours of training for
HAZMAT technicians is a minimum. 29 CFR 1910.120(q)(6)
requires hazardous materials technicians
o receive 24 hours of first responder operations
level training and have competency in the
areas listed. Therefore, depending on an
employee's competencies, more than 24 hours
will more than likely be required.
Employers are responsible for ensuring
employees are provided with training to perform
their job duties safely. OSHA compliance
officers will inspect facilities' Emergency
Response Plans and interview employees on
the training they have received. Employers
who have not provided training or have not
ensured that employees have mastered the
competencies listed in the HAZWOPER training
requirements may be cited by OSHA. In fact,
statistics on OSHA citations for HAZWOPER
indicate that employers are most often penalized
for their deficiencies in Emergency Response
Plans and training.
The proposed rule, "Training Accreditation
for Hazardous Waste Operations," intends
to require accreditation by OSHA for some
or all of the training programs required
by HAZWOPER. Currently, the proposed rule
does not include training programs required
in 29 CFR 1910.120(q); however, OSHA is reviewing
comments that have been entered into the
docket on this issue. (Please find a copy
of the proposed rule enclosed.)
Again, thank you for expressing your
concern. We hope this information is helpful.
If you have any questions please contact
the Office of Health Compliance Assistance
at (202)523-8036.
Sincerely,
Patricia Clark, Director
Directorate of Compliance Programs
|