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| Standard Number: | 1910.178; 1910.178(k)(1) |
July 25, 1991 Mr. William A. Guyer Marketing Manager Kelly Company, Inc. P.O. Box 09993 Milwaukee, Wisconsin 53209-0993 Dear Mr. Guyer: This is in further response to your letter of April 25, to Assistant Secretary Gerard F. Scannell, concerning clarification of the term "wheel chocks" and whether the employment of one chock would satisfy the requirements of the Occupational Safety and Health Administration. You were correct in your assumption that the word, "chocks," as it appears in the OSHA standard 29 CFR 1910.178(k)(l), is a grammatical construction only and does not mean that OSHA would require the placing of multiple chocks under the conditions you have previously described, should fully satisfy the intent of the safety regulation if it effectively prevents movement of the truck during loading operations involving powered industrial trucks. Because of the above interpretation, your customer's application for a variance would not be necessary. The Occupational Safety and Health Administration (OSHA) has a longstanding policy against approval of any product, and this letter may not be used as evidence of direct or indirect endorsement of your product by OSHA. In addition to the above, we are concerned about apparent hazards in the Kelley System which appear to us to be evident from an examination of the pamphlet describing details of your system. The apparent hazards are listed, as follows:
Sincerely, Patricia K. Clark, Director Directorate of Compliance Programs [Corrected April 1, 2009] |
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