OSHA is evaluating available information, and expects to take regulatory everything will kill you so choose something fun mountain biking retro poster action to improve the presentation of information on MSDSs at a later date.
everything will kill you so choose something fun mountain biking retro poster
Related to this issue regarding comprehensibility were the comments received objecting to the use of MSDSs under the rule (see, e.g., Exs. 11-74, 11-78, , , ) everything will kill you so choose something fun mountain biking retro poster . Many of these employer comments indicated that employees are not interested in the information on MSDSs, or that it is not useful to them. “The information contained on these sheets is written by chemists and for chemists. They are much too technical for everyday use. The average employee on a home improvement job site already knows not to drink paint and not to apply hot tar to his skin.” Ex. 11-74. The description of the standard is intended to address concerns that small businesses in particular are not aware of the requirements of the rule. OSHA will solicit comment on these suggestions at such
time as the rulemaking is opened to consider changing the MSDS requirements. In addition, strategies for reviewing MSDS accuracy in compliance inspections will be reviewed. Other commenters suggested that the format for the MSDSs should be standardized (Exs. , ). OSHA has provided a non-mandatory format for those chemical manufacturers and importers that choose to use it. As described earlier in this preamble, subsequent to this rulemaking, OSHA published a request for comments and information on ways to improve the information presented on labels and MSDSs. OSHA is also aware that the Chemical Manufacturers Association has prepared guidelines for the preparation of MSDSs (Ex. and Ex. 49), and that an ANSI standard is being developed. International activities regarding harmonization of formats and information are underway as well (Exs. 75 and 71-12), and there is research being conducted regarding MSDS variability, appropriate format, etc.