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May 20, 1992
MEMORANDUM FOR: GABRIEL J. GILLOTTI
ASSISTANT REGIONAL ADMINISTRATOR
OFFICE OF TECHNICAL SUPPORT
FROM: PATRICIA K. CLARK, DIRECTOR
DIRECTORATE OF COMPLIANCE PROGRAMS
SUBJECT: Use of LPG Underground
Your January 30 memorandum to Roger A. Clark requesting an interpretation of
underground construction regulations addressing the sue of liquified
petroleum gas (LPG) has been referred to the Office of Construction and
Maritime Compliance Assistance for response. I apologize for the delay in
responding to you.
Paragraph 1926.800(m)(5)(ii) specifically allows the use of LPG underground
only for purposes of welding, cutting or other hot work. This practice was
proposed in the August 8, 1983, NPRM (48 FR 35774) and was discussed in the
preamble to the final rule published on June 2, 1989 (54 FR 23824). In the
final rulemaking, OSHA received comments similar to the professional tunnel
engineer's comment mentioned in your memorandum and found "....the evidence
insufficient to warrant changing the proposal. OSHA believes that the risks
that may be associated with the use of fuel gases will continue to be
effectively controlled by compliance with the paragraphs referred to in the
rule; namely, 29 CFR Part 1926, Subpart J and paragraphs (j), (k), (m) and
(n) of this section."
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