OSHA Heat rule: 5 core elements win consensus with advisory committee [UPDATED]
OSHA’s getting pelted from many directions to quickly issue a rulemaking on worker heat protections. The latest news comes out of its own advisory committee, which recommends the agency include five core elements in any rule on heat illness prevention. This 11-page, five-element framework, found within Docket Number OSHA-2023-0003, will guide OSHA as it develops a rule.
NEWS UPDATE: OSHA scheduled a small business panel to convene on or about August 21, 2023, which is the next step for the Heat rulemaking. See "OSHA Seeks Industry Input on Heat Standard" (6/28/2023). Also, learn more about OSHA's Heat rule and enforcement by clicking these two links: "Heat Rulemaking Is Up for Comment" and "Deep-dive into OSHA's Heat Exposure NEP." |
However, the framework document is not meant to be a comprehensive list of elements for a potential rule. Rather, it's a list of core elements that provide “consensus” from a work group within the National Advisory Committee on Occupational Safety & Health (NACOSH).
The core elements took 15 months for the work group to find agreement. The framework dated April 27th was then approved by the full NACOSH committee on May 31st. NACOSH is established by law to advise OSHA on worker safety and health programs and policies.
What are the core elements?
The elements in the approved framework include:
- A written exposure control plan,
- Employee and supervisor training,
- Environmental monitoring,
- Engineering and work practice controls, and
- Employee acclimatization.
Embedded within the five elements, you’ll also find suggested mandates for:
- Hazard assessment,
- Heat emergency reporting and response,
- Employee participation, and
- Anti-retaliation.
At first glance, the list of elements and mandates seems robust. Yet, it’s missing some things that typically wind up in an OSHA rule. These include an action threshold(s), employee notification, signage, medical evaluation, inspection, incident investigation, and recordkeeping. The omitted items may have posed division among the work group members. These items may still appear in an OSHA rulemaking. They just don’t have work group consensus behind them.
Sources of the core elements
The framework document provides source links, and the work group referred to the following source types when creating the document:
- Existing standards, laws, and other frameworks;
- Proposed standards and legislation;
- Peer-reviewed research;
- Organizational and industry programs and consensus standards; and
- Comments and evidence from OSHA’s Heat Illness Prevention in Outdoor and Indoor Work Settings pre-rule.
NACOSH also sent a spreadsheet (located in the docket) to OSHA that compares existing heat standards from the National Institute for Occupational Safety & Health (NIOSH), the American Conference of Governmental Industrial Hygienists (ACGIH), nine states (California, Colorado, Florida, Maryland, Minnesota, Nevada, Oregon, Virginia, and Washington), the U.S. Army and Navy, and British Columbia.
NACOSH member concerns
During the May 31st meeting, some NACOSH members wanted to restructure the framework. The hope was to raise some of the embedded mandates to the element level. However, in its haste to present the framework to OSHA, the committee voted in favor of sending it “as-is,” with one exception. The committee added the recommendation for OSHA to include a sample written plan in the rule.
Andrew Levinson, Director of the OSHA Directorate of Standards and Guidance, assured NACOSH members that his agency has the flexibility to restructure the content of a rulemaking. Comments from any proposal may also prompt OSHA to restructure a final standard.
Other requests for an OSHA rulemaking
The NACOSH action comes on the heels of a report from Public Citizen. Hot Take: The Demand for Immediate Worker Protections Increases as Dangerous Temperatures Rise urges Congress to pass legislation to force OSHA to issue a rule quickly.
We anticipate that members of the House and Senate may reintroduce a bill(s) to require OSHA to issue a federal heat standard.
AFL-CIO’s April 2023 Death on the Job report also calls on OSHA to issue a Heat Illness and Injury Prevention rule.
Similarly, NIOSH has long recommended that OSHA promulgate a heat rule. Its last push came with Publication Number 2016-106, NIOSH Criteria for a Recommended Standard: Occupational Exposure to Heat and Hot Environments.
Status of OSHA’s Heat rulemaking
OSHA published a pre-rule in the Federal Register on October 27, 2021. Currently, we’re awaiting an announcement from the agency about the initiation of a small business panel for the Heat Illness Prevention in Outdoor and Indoor Work Settings rulemaking. This could happen any day.
Once the panel convenes, OSHA may release a copy of a draft standard or outline. The panel will hold meetings with small entities regarding the released materials. It will then issue a report to OSHA that summarizes overall recommendations from small business. From there, OSHA is free to propose a rule.
NEWS UPDATE: On June 22, 2023, OSHA announced the initiation of the small business panel. The panel is scheduled to convene on or about August 21, 2023, to consider OSHA’s “options” for regulatory elements to prevent or reduce heat injury and illness in outdoor and indoor settings. The agency says the panel will consider options that include:
For details, see our article, "OSHA Seeks Industry Input on Heat Standard" (6/28/2023). Also visit OSHA’s Heat Injury and Illness SBREFA webpage. |
Keys to remember
NACOSH found consensus over five elements related to heat illness and injury prevention. These elements make up an 11-page framework document that was recently sent to OSHA as the agency develops a rulemaking. OSHA’s next step is to initiate a small business panel. We may see a draft rule at that time, possibly as early as this summer.