|
|
| Standard Number: | 1910.119 |
|
September 16, 1992
Mr. R.E. Trinkl Dear Mr. Trinkl: This is in response to your letter of August 4, addressed to Regional Administrator Michael Connors, in which you asked if the Occupational Safety and Health Administration (OSHA) agrees with your interpretation that gasoline, used as a fuel to test run inboard and outboard engines at your facility, does not fall within the scope of 29 CFR 1910.119, Process Safety Management of Highly Hazardous Chemicals. This standard was published as a Final Rule in the February 24, 1992, Federal Register. We agree with your interpretation that gasoline used in the manner you described in your letter does not fall within the scope of 1910.119, because it is used as a fuel in the situation you described and thus meets the exception at .119(a)(1)(ii)(A). However, other OSHA standards, such as 1910.106, Flammable and combustible liquids, would apply. If you have any additional questions, please feel free to contact James C. Dillard, of my staff, at (202) 523-8041.
Sincerely,
|
|
|

Newsletter
RSS Feeds
Print This Page
Text Size
