Mr. Edwin M. Gately
Environmental/Safety Compliance Supervisor
Tri County Asphalt Corporation
R.D. 3 Box 561
Lake Hopatcong, New Jersey 07849
Dear Mr. Gately:
This is in response to your letters of May 1 and June 13, regarding Occupational Safety and Health Administration's (OSHA) Standard
29 CFR 1926.602(9)(ii).
I have had the matter of the use of a strobe light in lieu of an audible backup alarm reviewed by the Office of Construction and Maritime Compliance Assistance in this Directorate and the Office of Variance Determination in the Directorate of Technical Support.
The use of a strobe light in lieu of an audible backup alarm does not satisfy the requirements of
29 CFR 1926.602(9) and would be a violation of that standard.
With respect to the alternative set forth in
29 CFR 1926(9)(ii), you have stated that the use of an employee to signal the front end loader operator, if the audible alarm is not used, would put that person in danger, not only from the loader but the traffic, as well. Yet you also stated that you were limiting the truck traffic in the stock pile area to one truck at a time, with all other traffic being held at the bottom of the hill. This would appear to eliminate the truck hazard, at least. Perhaps you could position the employee in question to avoid any danger from the loader.
With respect to a request for a variance, we are forwarding your letters and a copy of this letter to:
Mr. James Concannon
Directorate of Technical Support
Office of Variance Determination
Room N3653
200 Constitution Avenue, N.W.
Washington, D.C. 20210 (202) 523-7193
He has advised that, in order to obtain a variance from an OSHA standard, the requester must submit the appropriate evidence to support their contention that their alternative method, system, procedure, etc., is as safe and healthful as the requirements of the standard from which a variance is sought. For your convenience, I am enclosing a copy of
29 CFR 1905, Rules of Practice For Variances.
If you have any questions, you can contact Mr. Concannon directly.
Sincerely,
Patricia K. Clark Director
Designate Directorate of Compliance Programs