OSHA’s responder proposal may pop up by end of January
We may be less than 75 days away from seeing OSHA’s proposed Emergency Response rulemaking. The rule hit the Office of Management and Budget (OMB) on October 30, and that office typically takes 90 to 120 days to review a rulemaking for publication in the Federal Register.
REVISED NEWS UPDATE: The “Emergency Response Standard” proposed rule appeared in the February 5, 2024, Federal Register, on pages 7774 to 8023 of the pdf version. The “Proposed Information Collection Requirements” section of the preamble to the proposal begins on page 7999 in the third column. According to the March 28, 2024, Federal Register, the comment period for the proposed rule is extended, so comments on the proposal must be submitted by June 21, 2024, for Docket No. OSHA-2007-0073. Additionally, OSHA plans to hold a virtual public hearing AFTER the close of the comment period, and the agency will publish a separate notice at a future date to announce the details of the public hearing.
What’s the rule about?
The rule is anticipated to create a standard to address hazards faced by those who respond to emergency incidents/disasters. Examples include fire brigades, workplace emergency response teams, industrial and municipal fire fighters, technical rescuers, and emergency medical service providers.
A secondary focus of the rule would be to protect those workers who may be called upon, from time to time, to respond to emergencies. Examples include skilled support workers, such as heavy equipment and crane operators, heavy wrecker or rotator operators, etc.
While broader than fire brigade requirements, the new standard would replace existing 29 CFR 1910.156, Fire Brigade Standard. The rule may also cover general industry, construction, and maritime workers who respond to emergency incidents as part of their regular duties or who occasionally may be tapped to respond. State and local government employers are not expected to be covered by the rule except in state-plan states or states that otherwise adopt the rule for public employers.
Why the rule?
OSHA currently regulates aspects of emergency response and preparedness under the process safety, HAZWOPER, confined spaces, and other standards. Yet, according to the agency, none of these regulations was designed to:
- Address the full range of hazards currently facing emergency responders and skilled support;
- Reflect changes in performance specifications for personal protective equipment; or
- Keep up with the latest safety and health practices accepted by the emergency response community.
For these reasons, OSHA kicked off this rulemaking in July 2014 with stakeholder meetings.
Draft standard surfaced years ago
The National Advisory Committee on Occupational Safety & Health (NACOSH) reviewed and approved a draft standard in December 2016. In the fall 2021, OSHA posted an Issues Document with a regulatory summary embracing much of the draft standard. At the same time, the agency convened a small business panel to get input on the upcoming standard. Both the draft standard and the regulatory summary are generally divided into two parts:
- For responders — Responders are defined as an employee or member who is, or will be, assigned to perform duties at emergency incidents.
- For skilled support — A skilled support worker is an employee of a skilled support employer who is skilled in certain tasks or disciplines that can support an emergency service organization, such as, but not limited to, operators of heavy-duty wrecker/rotator tow vehicles, mechanized earth moving or digging equipment, crane and hoisting equipment, healthcare professionals, technical experts, etc.
Regulatory elements OSHA had asked small business entities to consider in 2021 included:
- Vulnerability and risk assessment;
- Risk management plan;
- Responder medical and fitness requirements;
- Training and qualifications;
- Facility, equipment, and vehicle preparedness;
- Pre-incident planning and procedure development;
- Emergency incident operations;
- Post-incident analysis; and
- Program evaluation.
The skilled support elements included:
- General requirements,
- Personal protective equipment,
- Training,
- Worker participation, and
- Program evaluation.
Panel not thrilled with draft standard
On December 2, 2021, the small business panel sent OSHA its comments on the agency’s draft standard and summary. In its 370-page report, the panel raised concerns with the cost and time commitments the standard would impose on smaller and volunteer fire departments. Some feared the standard might prompt industrial fire brigades to disband.
While competency and the unified command structure were fertile areas for the standard, the panel said the greatest need was better training on road safety, since vehicle accidents are a cause of death among first responders. The panel decided that the skilled support provisions were unnecessary, but cross training may be helpful. Finally, the panel objected to post-exposure medical evaluations.
Next steps
Despite the panel’s concerns, the completion of the panel report meant that OSHA could move forward with its work on a proposed rule. The proposal had been slated for publication this month, according to the semi-annual agenda. However, as stated earlier, the proposal just reached OMB in late October for review. It is not anticipated that OMB would rush this proposal through, so we could see it approved and published by late January to late February, at the earliest, if the review process does not have any delays.
As a proposal, the rule would be up for public comment once published in the Federal Register. OSHA would then analyze the comments and work toward a final rule.
Key to remember
OSHA’s Emergency Response proposal reached OMB, and it “could” be published by late January.