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When permit-required confined space isolation is infeasible, such as a sewer system, and entrants do not conduct pre-entry air monitoring, is individual air monitoring required for each entrant or can an area monitor be used?
Are the results of the air sampling and exposure monitoring considered “employee exposure records” for purposes of 29 CFR 1910.1020(c)(5)?
Is there any guidance (or standard) relating the maximum air temperature/heat index an employee can work inside of a confined space?