In fact, in the 6 year period included in the statistics, otter colorful poster only 156 citations were issued for violations of and. (As a point of reference, in 1990 OSHA issued over 5600 citations for violations of the HCS training requirements.
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and incorporated the suggested changes into the text of the rule to most efficiently address the ACCSH comments. As noted in the preamble to the 1987 rule, otter colorful poster a number of the suggestions made by the ACCSH were incorporated into the regulatory text . At subsequent meetings in 1987 (Ex. 4-74) and 1988 (Ex. 4-108), they further reiterated their view that the rule as written be implemented. The participants on the AGC’s panel described chemical training programs in their organization. The two contractor employers were from states with pre-existing right-to-know laws , and had apparently instituted training programs to comply with those rules. Although they referenced training conducted prior to the right-to-know requirements, it appeared to be safety training.
There was no description of chemical hazard training done in compliance with 1926.21. Ex. 44. The AGC claims that its analysis of the enforcement statistics OSHA entered into the record (Ex. 4-199) indicates that 1926.21 is one of the most cited Agency rules (Ex. 84). As described in their post – hearing brief, between fiscal year 1982 and fiscal year 1987, OSHA issued 4,205 citations for violations of 1926.21, “3,814 of which were for 1926.21 governing hazard training.” A review of the subparagraphs included in paragraph raises questions regarding the AGC’s analysis. Subparagraph is a general one which covers all types of hazards, including safety hazards such as trenching, etc. The subparagraphs of primary relevance to chemical hazard training are and. When 90% of the citations that have been issued for paragraph involve subparagraph, there are clearly very few citations issued for subparagraphs and.