chemicals to which employees may be exposed, once upon a time there was a girl who really wanted to join the navy retro poster regardless of any judgments by the chemical manufacturer or importer about possible levels of risk.
once upon a time there was a girl who really wanted to join the navy retro poster
and the feasibility of the requirements. OSHA has not found the arguments regarding infeasibility to be persuasive, nor is there any justification for lessening the protections afforded employees in the industries in question. Coverage of all industries. As OSHA described in the preamble to the revised final rule (52 FR ), once upon a time there was a girl who really wanted to join the navy retro poster expansion of the protections afforded by the HCS to all nonmanufacturing industries is supported by the rulemaking record. Evidence collected by OSHA indicates that there is chemical exposure occurring in every type of industry covered , and that employees exposed to hazardous chemicals without knowledge of their identities, hazards, and appropriate protective measures are at a significant risk of experiencing adverse effects from such exposures. Furthermore, it is the Agency’s position that all such employees are entitled to information regarding the chemical
hazards they are exposed to in the workplace (i.e., that they have a fundamental right to know this information), and that a uniform Federal hazard communication standard is the best method to ensure that it is provided. OSHA’s regulatory requirements in this regard are consistent with the mandate of the Act , as well as with the Court’s decisions upon review of the rule. As for arguments that OSHA should only apply the HCS where chemical exposures pose known significant risks (e.g., Ex. 85), the Agency concludes that neither the record evidence nor policy considerations support such an approach. The record shows that although chemical manufacturers or importers may know, in principle, the use to which their product will be put, they generally do not know enough about downstream operations to make reliable predictions about downstream exposure levels. Therefore, information must be provided for all hazardous