OSHA’s electronic reporting changes likely in effect by January 1
Many employers will need to electronically submit the 300A, 300 Log, and 301 Forms by March 2, 2024. OSHA sent the electronic reporting rule changes to the Office of Management and Budget (OMB) on April 7, 2023. The OMB review can take two to four months, so a final rule could appear any time from July to September. That would allow the rule to take effect before January 1, 2024, when employers can begin reporting.
Covered establishments must electronically submit injury data by March 2nd each year. Currently, covered locations include establishments with 250 or more employees that must keep a 300 Log, as well as establishments with 20-249 employees in specific industries that OSHA identified and listed in the regulation.
Based on the proposed rule, the coming changes would revise the reporting obligations as follows:
- Establishments with 250 or more employees would no longer be automatically required to submit but may fall under item 3 below.
- Establishments with 20 or more employees in certain industry codes would submit the 300A.
- Establishments with 100 or more employees in certain industry codes would submit the 300A, 300 Log, and 301 forms after removing employee names, addresses, treating physician names, and treating facility addresses.
Note that an “establishment” is a single physical location, so the employee counts are based on each location. For example, furniture stores must report if a location has 20 or more employees. Suppose an employer operates 117 furniture stores around the country, but only two establishments have 20 or more employees. The other 115 establishments have fewer than 20 employees. The employer would only have to report for the two establishments that exceed 20 employees, and would not have to report on the other 115 establishments.
The revisions would also update from the 2012 North American Industry Classification System (NAICS) codes to the 2017 codes. The most current version is 2022, but since the Bureau of Labor Statistics uses the 2017 version, OSHA wants the e-reporting rule to match.
Need more information on NAICS codes? See our news item “Which NAICS code should you use for OSHA?” |
Getting ready
Assuming the final rule mirrors the proposed rule, employers can prepare as follows:
- For establishments with 20 to 99 employees, the reporting obligations won’t change. They submit only the 300A. Based on the proposed rule, the list of covered industries is nearly identical, though updated to the 2017 NAICS codes.
- For establishments with 250 or more employees that previously reported, determine if the 2017 NAICS code is on OSHA’s list. If not, that establishment would not have to report.
- For establishments with 100 or more employees, determine if the 2017 NAICS code is on OSHA’s list. If not, the establishment would not have to report. If listed, however, that establishment would need to submit the 300A, 300 Log, and 301 Incident Reports after removing employee and physician information.
For example, all manufacturing establishments with 20 or more employees must report the 300A, and many establishments with 100 or more employees will need to report the 300A, 300 Log, and 301s. However, if an establishment has 100 or more employees but is not listed in proposed Appendix B, the location will only file the 300A. A sampling of NAICS codes not listed in Appendix B include 322 (paper manufacturing), 323 (printing), 324 (petroleum and coal), and 325 (chemical manufacturing).
The proposed list of NAICS codes for establishments with 100 or more employees appears on the last two pages of the proposed rule at https://www.govinfo.gov/content/pkg/FR-2022-03-30/pdf/2022-06546.pdf.
Key to remember: OSHA’s final rule to revise electronic reporting obligations should come out this year and could impact 2024 reporting, though legal challenges or technical issues might delay the effective date.