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29 CFR 1910.119(m)(3): The incident investigation team did not consist of at least one person knowledgeable in the process involved, including a contract employee if the incident involved work of the contractor, and other persons with appropriate knowledge and experience to thoroughly investigate and analyze the incident: a.BP-Husky Refining, LLC located in Oregon, Ohio: On or about November 16, 2009, the employer had not established or identified the team members for Incident Report 2003-IR-561854 which involved a flare line leak in the Alky 1 unit on or about July 7, 2003. b.BP-Husky Refining, LLC located in Oregon, Ohio: On or about November 16, 2009, the employer had not established or identified the team members for Incident Report 2006-IR-1810345 which involved a leak in the East flare line near the Alky 2 unit on or about April 26, 2006. c.BP-Husky Refining, LLC located in Oregon, Ohio: On or about November 16, 2009, the employer had not established or identified the team members for Incident Report 2009-IR-3208733 which involved a leak on the main fare header in the Alky 1 unit on or about August 30, 2009. d.BP-Husky Refining, LLC located in Oregon, Ohio: On or about November 16, 2009, the employer had not established or identified the team members for Incident Report 2009-IR-3237085 which involved the acid degasser being routed to the flare and not the blowdown drum in the Alky 1 unit on or about September 21, 2009. 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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