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29 CFR 1910.119(j)(2): The employer did not establish and implement written procedures to maintain the on-going mechanical integrity of process equipment: a.BP-Husky Refining, LLC located in Oregon, Ohio: On or about September 2009, the employer's written mechanical integrity procedures did not reflect the recently initiated practice of changing the piping inspection interval from the thickness measurement location (TML) level to the circuit level. In accordance with 29 CFR 1903.19(d), abatement certification is required for this violation (using the CERTIFICATION OF CORRECTIVE ACTION WORKSHEET), and in addition, documentation demonstrating that abatement is complete must be included with your certification. This documentation may include, but is not limited to, evidence of the purchase or repair of the equipment, photographic or video evidence of abatement, or other written records.t,
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