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July 11, 1991
MEMORANDUM FOR: LINDA ANKU
REGIONAL ADMINISTRATOR, III
FROM: PATRICIA K. CLARK, DIRECTOR
DIRECTORATE OF COMPLIANCE PROGRAMS
SUBJECT: Manufacturer Supplying Halon 1301 Systems for Fire and
Explosion Suppression
This memorandum is in response to your May 23 memorandum with enclosures on
employer use of Halon 1301 for explosion and fire suppression in the
workplace. Specifically, the following guidance is provided with respect to
questions posed in the May 8 memorandum to you from the Pittsburgh Area
Office.
The only OSHA standard which addresses explosion suppression systems is 29
CFR 1910.272(p)(8)(i) on grain handling facilities. However, use of Halon as
an explosion suppression agent is not addressed by any OSHA standards. Fire
suppression systems are covered by 29 CFR 1910.162. Apparently, the 1301
Halon system described in the internal Penn Champ Inc. memorandum of October
22, 1987, is installed to suppress explosions in conjunction with the use of
pressure and radiant energy detectors, and to suppress fires in conjunction
with the use of thermal detectors. Therefore, 29 CFR 1910.162, which covers
fire suppression systems, is applicable to the latter combination. Workplace
safety and health hazards associated with Halon 1301 systems used exclusively
for explosion suppression are citable under section 5(a)(1) the OSH Act. For
your information, the 1986 edition of NFPA 69 standard addresses "Explosive
Prevention Systems".
Halon 1301 itself and associated products of combustion provide a potential
hazard to employees. These hazards are addressed in A-1-6.1 of Appendix A of
the NFPA 12A standard on Halon 1301 Fire Extinguishing Systems. The employer
can meet OSHA standards for storage and handling of flammable and combustible
liquids by means exclusive of explosion prevention systems, including the
explosion suppression method employing Halon 1301.
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