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| Standard Number: | 1910.1020; 1908.6 |
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January 21, l981
Mr. Charles L. Daniels Dear Mr. Daniels: Regional Administrator Gilbert J. Saulter asked me to respond to your inquiry concerning the application of 29 CFR 1910.1020 (Access to Employee Exposure and Medical Records) to 7(c)(1) consultation activity. Please accept my apology for the delay in this reply. In order to be as concise as possible, I have summarized your questions and our answers below. Question #1: Does 29 CFR 1910.1020 apply to employee exposure records created by 7(c)(1) consultation activity? Answer: Yes Question #2: If 1910.1020 does apply, which standard governs OSHA compliance officers' access to the records, 1910.1020 or 1908.6? Answer: 1908.6. Question #3: If 1910.1020 does apply, do employees have the right of access to consultation reports regarding employee exposure to toxic substances or harmful physical agents? Answer: Employees have the right of access to any information in the consultation report which is considered an "employee exposure record" pursuant to 29 CFR 1910.1020(c)(5), and where such information is relevant to the employee. See 29 CFR 1910.1020(e)(2)(i)(A)-(D). If further clarification is desired, please feel free to contact me.
Sincerely,
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