Transcript Slide 1

OSHA Update
Brad Hammock
March 11, 2009
“New Sheriff in Town”
Labor Secretary Solis pledges to put
more investigators back in the
Occupational Safety and Health
Administration (BNA Daily Labor Report,
40 DLR A-1, March 4, 2009)
Topics
• OSHA’s Field Operations Manual
• What to expect in the Obama
Administration for occupational
safety and health in the health care
industry
• Unions and facility safety and
health issues
OSHA Field Operations Manual
Background
• Replaces OSHA’s Field Inspection
Reference Manual (FIRM)
• “Revision of OSHA’s enforcement
policies and procedures manual that
provides the field offices a reference
document for identifying the
responsibilities associated with the
majority of their inspection duties.”
• Over three hundred pages
Background (cont’d)
• Over two-and-a-half years in the making
• Web based and more user friendly than
FIRM
• Intent is not to make substantive
changes to OSHA enforcement
practices, but to update and compile
existing enforcement guidance
Key Aspects of FOM
• Emphasis on safety and health systems
• Request copy of written certification for
PPE assessment
• At start of each inspection, the CSHO
shall review the recordkeeping logs for
three prior calendar years
Key Aspects of FOM (cont’d)
• General Duty Clause Citations
•
Expansive list of examples of employer and industry
recognition
•
Employer Recognition

Actual employer knowledge by written or oral
statements of managers, company
memorandums, safety work rules, manuals,
SOPs, collective bargaining agreements, near
misses, workers’ compensation reports, previous
citations, employee complaints or grievances,
safety committee reports, an employer’s own
corrective actions
Key Aspects of FOM (cont’d)
•
Industry Recognition

Safety or health experts, evidence of implementation of
abatement by other members of industry, manufacturers’
warnings, literature relevant to the hazard, statistical or
empirical studies (including studies done by employee
representatives, the union, or other employees), government
and insurance studies if the employer or the employer’s
industry is familiar with the studies and recognizes their
validity

State and local laws or regulations that apply in the
jurisdiction and are enforced against the industry (however,
corroborating evidence of recognition recommended)

If industry participated in drafting national consensus
standards, this can constitute industry recognition; otherwise
private standards normally shall be used only as
corroborating evidence of recognition
What to expect . . .
What to expect . . .
•WHERE HAVE WE BEEN?
•WHY ME?
•WHAT SHOULD I EXPECT?
WHERE HAVE WE BEEN?
• OSHA Issued Comprehensive Guidance
on Pandemic Influenza Preparedness
and Response for Healthcare Workers
and Healthcare Employers
• Employers Must Now Perform Annual Fit
Testing of Respirators for Occupational
Exposure to Tuberculosis
• Employers, with Limited Exceptions,
Must Pay for All Personal Protective
Equipment
WHERE HAVE WE BEEN? (cont’d)
• Bloodborne Pathogens Interpretations
•
Q104 needle removal device could be considered as
an alternative to prohibition on bending, recapping,
or removal of a sharp
•
Use of Fluvirin® device with an affixed, unprotected
needle violates 29 CFR 1910.1030(d)(2)(i)
•
Employee cannot waive right to have untested blood
(for HIV) maintained for 90 days
•
Use of restraining mechanisms for sharps containers
not required
•
Bloodborne pathogens trainer does not need to be
“physically” in the classroom
WHERE HAVE WE BEEN? (cont’d)
• Site-Specific Targeting 2008
•
SST inspections for nursing and
personal care facilities to focus
on ergonomics, bloodborne
pathogens, tuberculosis, and
slips, trips, and falls
WHY ME?
• Injury and Illness Incidence Rates in the Health Care
Industry for 2007
•
All of Private Industry – 4.2
•
Hospitals – 7.7
•
Nursing and Residential Care Facilities – 8.8
• Key Issues on Organized Labor’s Agenda will Target the
Health Care Industry
•
Pandemic Flu
•
Safety and Health Management Systems
•
Ergonomics
WHAT SHOULD I EXPECT?
•Pandemic Flu
•Safety and Health
Management Systems
•Ergonomics
Pandemic Flu
• Health Care Industry is Front and
Center
• OSHA Guidance Document Already
Issued
• Congressional Legislation to
Require a Mandatory Standard
Safety and Health Management Systems
•Safety and Health
Management Systems
•OSHA Preparing Revised
Guidance
•Serve as a Basis for Mandatory
Rule?
Ergonomics
• Clinton Administration Rule
Overturned by Congress and
President Bush
• Ergonomics Guidelines for Nursing
Homes
• No. 1 Priority for Organized Labor
• Health Care Industry will be a
Focus of Efforts
Unions and facility safety and health issues
Unions and facility safety and health issues (cont’d)
• Health care industry target of organizing drives
• Unions will use safety and health issues in
organizing efforts
• Employers should proactively address safety
and health by:
•
Involving employees in safety and health
issues
•
Implementing safety and health systems
Questions?
Brad Hammock
Attorney at Law
Jackson Lewis LLP
703-483-8316
[email protected]