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OSHA Oil and Gas REP Overview. Megan MeagherCompliance Assistance Specialist(303) 844-5285 x105. What we will cover. Region VIII Oil and Gas REPHistoryStatisticsMost Common ViolationsHow it WorksFocused Inspection DirectiveCooperative Programs. Local Emphasis Program. Initiated in response to previous OSHA Strategic Management Plan which identified oil and gas field servicing operations (SIC 138) as one of 7 high hazard industries.Denver Area Office began Local Emphasis Program (LEP) 140
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3. What we will cover Region VIII Oil and Gas REP
History
Statistics
Most Common Violations
How it Works
Focused Inspection Directive
Cooperative Programs
4. Local Emphasis Program Initiated in response to previous OSHA Strategic Management Plan which identified oil and gas field servicing operations (SIC 138) as one of 7 high hazard industries.
Denver Area Office began Local Emphasis Program (LEP) in spring of 2004.
Program covered only northern Colorado jurisdiction
5. Regional Emphasis Program Targeting program adopted as region-wide enforcement program in FY 2005
Expanded to cover all of Colorado, Montana, North and South Dakota
Includes the following SIC’s:
1381 – Oil and Gas Well Drilling Services
1382 – Exploration
1389 – Field Support Services
6. Why Oil and Gas? Standard Industrial Classification (SIC) Code - 138
2006 BLS Fatality Rate for All Industries = 4.2
2006 BLS Fatality Rate for SIC 138 = 30.1
Oil and Gas industry fatality rate is roughly 7.2 times the national average
7. Statistics – since beginning of LEP/REP
8. Most Common Violations(Region VIII) 5(a)(1)
1910.23(c)(1)
1910.151(c)
1910.212(a)(1)
1910.132(a)
1910.23(a)(8)
1910.132(d)91)
1910.184(e)(1)
1910.133(a)(1)
1910.134(d)(1)(iii)
1910.134(e)(1)
1910.151(b)
1910.184(d)
1910.219(d)(1)
1910.219(e)(3)(i)
1910.303(f)
9. 5(a)(1) – General Duty Clause Consensus Standards
API (RP 54) – Occupational Safety for Oil and Gas Well Drilling and Servicing
API (RP 4G) – Use and Procedures for Inspecting, Maintenance and Repair of Drilling and Well Servicing Structures
AESC
OSHA PUB 8-1.8 Guidelines on the Stability of Well Servicing Derricks
10. Most Common Violations (Colorado) 5(a)(1)
1910.23(c)(1)
1910.151(c)
1910.212(a)(1)
1910.23(a)(8)
1910.132(a)
1910.184(e)(1)
1910.184(e)(3)
1910.219(d)(1)1910.133(a)91)
11. Oil and Gas REP Targeting – Offices using different methods
1381 - DAO use database to target drilling activity in selected county: Garfield, Mesa or Weld (rotate selected county)
Also may stop at any observed work site
1381 & 1389 - EAO focus on zones A (San Miguel, Dolores, Montezuma, La Plata counties), B (Las Animas county), C (Baca Cheyenne, Kiowa and Prowers counties)
May inspect any observed work in targeted zone; rotated periodically
12. Oil and Gas REP 1382 & 1389 – DAO will use database to identify any establishments in these SIC codes
Randomized inspection list created
Opening conference held at office and inspection site selected based on active work locations
Will also be included in any inspection of employer in SIC 1381 if onsite
13. Inspection Focus Limited to employers with more than 10 employees
Comprehensive safety inspection, any observed health hazards also included
14. New CPL 02-00-146 Focused Inspection Directive
Effective Date 3/6/08
NAICS codes 213111/213112 included in directive
15. Focused Inspection Directive Sites can qualify for focused inspection based on having lower DART and DAFWII rates than national average
Records must be readily available for review (3 year review)
16. DART/DAFWII Rates
18. Inspection Focus
19. Cooperative Programs Alliances
Usually association based agreements to work together to make improvements in safety and health for an industry
Local Alliances
OSHA and Mountain States Energy Alliance
Proposed alliance with Western Slope Safety Council
20. Resources Industry Standards
Colorado Newsletter
www.osha.gov
Oil and Gas e-Tool
OSHA Technical Manual Section IV, Chapter 1
OSHA Offices
800-321-OSHA
21. QUESTIONS??
22. Disclaimer This information has been developed by an OSHA Compliance Assistance Specialist and is intended to assist employers, workers, and others as they strive to improve workplace health and safety. While we attempt to thoroughly address specific topics, it is not possible to include discussion of everything necessary to ensure a healthy and safe working environment in a presentation of this nature. Thus, this information must be understood as a tool for addressing workplace hazards, rather than an exhaustive statement of an employer’s legal obligations, which are defined by statute, regulations, and standards. Likewise, to the extent that this information references practices or procedures that may enhance health or safety, but which are not required by a statute, regulation, or standard, it cannot, and does not, create additional legal obligations. Finally, over time, OSHA may modify rules and interpretations in light of new technology, information, or circumstances; to keep apprised of such developments, or to review information on a wide range of occupational safety and health topics, you can visit OSHA’s website at www.osha.gov.