All things HazCom: Answers to what you’re asking
A look through questions our webcast attendees asked in the past quarter revealed some common themes around the Hazard Communication (HazCom) written program and Safety Data Sheets (SDSs). Following are answers to your top questions.
How do we address multi-employer worksites in our written HazCom program?
Where there’s more than one employer operating on a site, and employees may be exposed to the chemicals used by the other employers, your written HazCom program must address:
- How on-site access to SDSs will be provided to the other employer(s). You don’t have to physically give the other employers the SDSs, but you must inform others of where the SDSs are maintained.
- How these employers will be informed of any needed precautionary measures, such as personal protective equipment (PPE).
- How the other employers will be informed of your in-house labeling system, if it’s different than that on shipped containers of hazardous chemicals.
OSHA allows you to decide on the method of information exchange.
Each employer on a multi-employer worksite must make a written HazCom program available to their own employees, whether they generate the hazard, or the hazard is generated by other employers on the site.
How often should written HazCom programs be updated or reviewed?
OSHA doesn’t specify a frequency for this, stating only that you must maintain your written program. It should be revised as appropriate to address changed conditions in the workplace that may impact your HazCom program. Consider such things as new chemicals or new hazards, updated hazards from chemicals currently in use, changes in processes that affect exposures, and required changes to PPE or training.
Can we maintain our chemical inventory electronically? What needs to be included?
Yes, you can maintain it electronically. The inventory must include a product identifier that aligns with the SDS and label.
We have warehouse employees who handle sealed boxes of chemicals but don’t actually open or use them. Does HazCom apply to this situation?
Yes, the requirements are at 1910.1200(b)(4), which says, “In work operations where employees only handle chemicals in sealed containers which are not opened under normal conditions of use (such as are found in marine cargo handling, warehousing, or retail sales), this section [1910.1200] applies to these operations only as follows:
“Employers shall ensure that labels on incoming containers of hazardous chemicals are not removed or defaced;
“Employers shall maintain copies of any safety data sheets that are received with incoming shipments of the sealed containers of hazardous chemicals, shall obtain a safety data sheet as soon as possible for sealed containers of hazardous chemicals received without a safety data sheet if an employee requests the safety data sheet, and shall ensure that the safety data sheets are readily accessible during each work shift to employees when they are in their work area(s); and,
“Employers shall ensure that employees are provided with information and training in accordance with paragraph (h) of this section [1910.1200] (except for the location and availability of the written hazard communication program under paragraph (h)(2)(iii) of this section), to the extent necessary to protect them in the event of a spill or leak of a hazardous chemical from a sealed container.”
Is there a requirement for translation of SDSs?
HazCom only requires that SDSs be maintained in English, but keep in mind employees exposed to hazardous chemicals must be able to understand the information and training given to them. This may mean you need to ask manufacturers for SDSs in other languages or have them translated.
How often do SDSs have to be updated?
If chemical manufacturers, importers, or employers preparing the SDS become aware of any significant information regarding a chemical’s hazards, or ways to protect against the hazards, the new information must be added to the SDS within three months. The manufacturer or importer is responsible for sending the updated SDS with the next shipment of the chemical.
If we receive the same chemical from different manufacturers, do we need to maintain an SDS from each manufacturer?
Yes, the SDS must be specific to the product and manufacturer.
If we store SDSs electronically, do we still have to maintain paper copies?
OSHA says there must be a backup procedure or system in place in case the electronic system isn’t functioning. One option is to maintain paper copies.
Key to remember: HazCom often generates more questions than answers, but our regulatory experts can help make sense of OSHA’s requirements.