rulemaking is more appropriately limited to chemical hazards, fishing a fishermans prayer i pray that i may live to fish poster although we do not discourage employers from including coverage of such agents in their hazard communication programs.
fishing a fishermans prayer i pray that i may live to fish poster
As will be discussed under labeling requirements, OSHA is incorporating this long-standing interpretive distinction into the requirements of the rule. fishing a fishermans prayer i pray that i may live to fish poster Based on our implementation experiences, we believe that target organ information can be made readily accessible to workers in-plant through all three components of the program. On shipped containers, however, it must be addressed on the label since the label will be standing alone in some situations, and workers may not have the training to understand every different type of labeling system they may encounter in these situations. For products that are being shipped, the label is at certain points the only information available to people handling the container. Therefore, complete information must be available, and accessible in a fashion that does not require special training to use.
Whether it’s on a loading dock, or in a warehouse where only sealed containers are handled, it is necessary to have the complete hazard information for employees who may not have access to an MSDS. There was also a suggestion that the rule specifically exempt kitchen cabinets (Exs. and 11-54). OSHA has made no explicit determination regarding kitchen cabinets in terms of coverage. If employees are exposed to hazardous chemicals during installation of such cabinets, they would be covered. It is the responsibility of the manufacturer of the products to do a proper hazard determination to decide whether or not they are covered under the rule. Several commenters supported the clarification regarding these types of hazards (Exs. 11-21, 11-48, and 11-50). Others suggested that biohazards should be included (Exs. ; 37), and that the Centers for Disease Control could be responsible for generating MSDSs for such hazards (Ex. ). OSHA believes that this particular