A safety professional’s ‘to do’ and ‘to watch’ list for 2023
OSHA has been busy in 2023, revising or launching three National Emphasis Programs (NEPs), as well as preparing five regulations for publication. The following summarizes this activity to help safety professionals create a “to do” list and a “things to watch” list.
Emphasis program targets
OSHA revised the NEP on combustible dust, launched an NEP on fall protection in General Industry, then launched another NEP on warehousing and retail. This should prompt safety professionals to consider the following “to do” items:
- If combustible dust is a concern, review that directive (CPL 03-00-008). OSHA removed several industries from the targeted list, but added several others. The changes can help you determine if OSHA might come knocking.
- The directive on fall protection (CPL 03-00-025) focuses on industries such as rooftop maintenance, tree trimming, or gutter cleaning. Still, it warns that OSHA may start an investigation if employees are observed working at heights. Make sure anyone working at heights (especially on roofs or other publicly visible areas) use proper fall protection.
- The most recent NEP (CPL 03-00-026) focuses on warehousing and distribution with specific NACIS codes starting 491, 492, or 493. In addition, it will focus on retail operations with high injury rates in specific NAICS codes starting 4441, 4451, and 4523. Employers in the targeted codes should prepare for possible inspections.
For related information, see the article OSHA unleashed to do wall-to-wall inspections of warehouses. |
Coming regulatory changes
OSHA expects to publish five final rules in 2023. Two of them update the agency’s internal procedures for issuing subpoenas and responding to whistleblower retaliation. Those items shouldn’t impact your “to do” lists. The others, however, are worth reviewing. They include:
- Updates to the Hazard Communication Standard. OSHA published the proposed rule in February 2021 and expected to have the final rule out by now, but had not yet sent the final rule to the Office of Management and Budget (OMB) for review as of August 2. Since the OMB review can take several months, this item goes on the “to watch” list, but will likely appear soon.
- Electronic reporting of injury data (called “Improve Tracking of Workplace Injuries and Illnesses”). This will revise the requirements for electronically submitting injury data, with some employers submitting the 300 Log and 301 forms. OSHA published the final rule on July 21, 2023. It takes effect January 1, 2024.
- Exposure to COVID-19 in Healthcare Settings. OSHA sent this rule to OMB in December of 2022, where it remains after more than six months. Since the federal government ended the COVID emergency months ago, this might have a lower priority.
One other item on the “to watch” list is the coming incorporation of the 2018 ANSI standard for powered industrial trucks. OSHA published that proposed rule in February 2022, but hasn’t yet listed an anticipated date for publishing the final rule.
Finally, many employers want to stop recording work-related cases of COVID-19 on the OSHA 300 Log. At some point, OSHA may exclude COVID just like the common cold and flu (which are not recordable). OSHA has yet to make an announcement, but it’s something to watch. The agency might not want to change the recording criteria in the middle of a calendar year, but will hopefully issue a change to take effect for 2024.
Key to remember: Keeping up with regulatory and enforcement changes is always a challenge. Creating a list of what needs to be done soon and what issues are coming can help prioritize.