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| Standard Number: | 1910.304; 1910.307; 1910.399 |
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March 12, 1996
Mr. Barron L. Stroud, Jr. Dear Mr. Stroud: This is in response to your April 18 letter requesting clarification regarding the grounding requirements of 29 CFR 1910.304 with respect to a battery charger used with rechargeable power tools. Please accept our apology for the delay in responding. Your question and our reply follow. Question: Is an approved battery charger required to be either grounded or double-insulated under the requirement of 29 CFR 1910.304? Reply: Paragraph 1910.304(f)(5)(v) contains requirements for grounding cord- and plug-connected equipment. According to this rule, a cord- and plug-connected battery charger must be grounded or double-insulated: 1. If it is used in a hazardous location, defined under paragraph 1910.307.
2. If it operates at more than 150 volts, or 3. If it is used in damp or wet locations or by employees standing on the ground or on metal floors or working inside of metal tanks or boilers. If a system of double insulation is used, the portable battery charger must be distinctively marked to indicate that it utilizes an approved system of double insulation. (See the paragraph following 29 CFR 1910.304(f)(5)(v)(c)(8)). Please note under paragraph 1910.399 that "approved" is defined as "acceptable" which is defined as "accepted, or certified, or listed, or labeled, or otherwise determined to be safe by a nationally recognized testing laboratory" (NRTL). An employer must follow the conditions of use assigned to approved equipment or installations by the NRTL to be in compliance with Occupational Safety and Health Administration regulations. A listing of NRTL's is enclosed for your use. If we may be of further assistance, please contact the Office of General Industry Compliance Assistance, M. Ronald Davies, telephone (202)219-8031, extension 110.
Sincerely,
Enclosure
Ronald Davies Re: Request For Clarification Dear Mr. Davies: Thank you for your assistance in responding to my recent inquiry. I contacted you to seek clarification regarding the application of certain provisions of the federal labor code with respect to a battery charger used with rechargeable power tools. My specific question was whether a laboratory approved battery charger was required to be either grounded or double-insulated under the portions of the Code of Federal Regulations pertaining to electrical equipment, with particular reference to 29 C.F.R. 1910.304. You advised that the charger, when used in accordance with the conditions of its U.L. approval, satisfied OSHA's regulatory requirements and was not required, in addition, to be grounded or double-insulated. You also indicated that a written request was required for the issuance of a formal opinion by OSHA. Please accept this letter as a formal request for clarification on the question stated above. Once again, thank you for your cooperation and assistance.
Very truly yours,
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