
Why was the standard delayed? What is Table 1?
OSHA issued two silica dust standards — one for general industry and maritime (which goes into enforcement on June 23, 2018) and one for construction. The original enforcement date for construction was June 23 of this year, but it was delayed until September 23, no doubt to the relief of many companies that weren’t prepared to implement new processes right before the busy summer construction season. The delay was in part because of feedback from the industry over the feasibility of meeting the new, much stricter requirements. In particular, Ferri notes that construction companies were concerned about their ability to:- meet the new permissible exposure limit (PEL), which is roughly 20% of what was previously allowed,
- perform measurements and air sampling to the required level, and
- apply the appropriate controls.
What will OSHA inspectors be looking for?
Silica dust has been an OSHA National Emphasis Program for many years, so it has always been a focus of OSHA inspections. But, now, Ferri says, “it will be scrutinized even more.” The challenge is that, without a compliance directive in place, it’s unclear what OSHA compliance officers will zero in on. For example, Ferri notes a recent LinkedIn conversation about using a sweeping compound for drywall and dust. “The standard calls for limiting dry sweeping as much as possible,” she says. “But it doesn’t talk about sweeping compounds specifically. When enforcement begins, it will be interesting to see how this is being looked at. The standard calls for employers to minimize dry sweeping, but how much is minimal? What level of training will the officers be looking for? Is an extended tailgate meeting appropriate?” Another area that Ferri thinks will be interesting is how inspectors handle the multi-employer aspect of it. For example, who’s responsible in an area where one subcontractor is creating dust and there are other contractors around? She has already seen general contractors who are well versed in the standard updating their contract language to require that subcontractors provide their own written silica exposure control plans to protect their workers and others at the job site. These questions will be answered over the next month as inspectors start fanning out to job sites.What can employers do?
Even with some things still up in the air, the best way employers can ensure they’re prepared is by providing worker training. “This is where the citations will come from,” Ferri says. “The inspections will happen and there will be dust. The compliance officer will take this opportunity to interview workers. They’ll ask if they know what’s in the dust and the health hazards of silica. They’ll ask when was the last time they received training. And, if they’re wearing a respirator, they’ll ask how often they have to do the task and about the last time they received training.” Over the next few weeks, satisfactory answers to these questions might be sufficient evidence of “good faith efforts.”What if you haven’t started your compliance journey yet?
Hopefully, you’re already well on your way to compliance. But many employers might not be. Based on conversations with general contractors, Bloomberg BNA speculated last week that while large contractors were ready last year, soon after the rule was released, many smaller contractors are likely waiting until enforcement begins before investing in new tools and equipment. However, Ferri doesn’t expect OSHA will be giving much leeway. “It’s not like we all just learned about this,” she says. “Compliance officers were ready in June.” If you’re just starting out in the industry or you still have a ways to go in your compliance journey, here are Ferri’s recommendations for how to get started:- Spend some time on the OSHA website. There, you’ll find the standard (including Table 1), as well as fact sheets and other free resources.
- Contact industry groups and associations. Groups like Associated General Contractors, the National Association of Homebuilders, and your local building contractors association will be able to provide more information about the standard and how it impacts you.
- Read OSHA’s Small Entity Compliance Guide. Although it was written for small entities, Ferri notes that this document provides good information for companies of all sizes. It was also recently revised, so make sure you’re up to date.
- Identify the tasks your workers do that have the potential for silica dust exposure and compare those tasks to Table 1. Table 1 tells you how to comply. If you can’t comply for some reason, or if you have tasks that aren’t on Table 1, you’ll need to perform air monitoring to determine your risk.
- Develop your silica written exposure control program. Technology to the rescue! CPWR has a Control the Dust planning tool to help you create your own silica program. The upside is that it’s free. The downside is that the pdf it creates isn’t editable. Alternatively, The Ferri Group offers a downloadable template. It’s not free, but it’s much easier to work with.