| www.OSHA.gov | |
|
Standard Interpretations
05/12/1997 - Introduction of electrical welding equipment into a non-permit confined space. |
|
|
| Standard Number: | 1910.146; 1910.252; 1910.252(a)(4)(i); 1910.252(b)(4)(i); 1910.252(b)(4)(vii); 1910.252(c)(4); 1910.252(c)(9); 1910.252(c)(10); 1910 Subpart Q |
May 12, 1997 [Name Withheld] Dear [Name Withheld]: Thank you for your letter dated April 11, addressed to the Directorate of Safety Standards, requesting an interpretation of the Occupational Safety and Health Administration (OSHA) Permit-Required Confined Spaces (PRCS) standard, 29 CFR 1910.146. Your letter was referred to this office for response. With regard to your question whether the introduction of electrical welding equipment into a non-permit confined space automatically leads to a reclassification of the space to a PRCS, please be advised that as long as the protective measures of Subpart Q Welding, Cutting and Brazing, prevent a hazard from developing, the use of electrical welding equipment would not cause a confined space to be classified as PRCS. The protective measures of other standards would be applicable to the work in this space, specifically the following paragraphs of Subpart Q. [1910.252(a)(4)(i), 1910.252(b)(4)(i) to 1910.252(b)(4)(vii), 1910.252(c)(4), 1910.252(c)(9), and 1910.252(c)(10)] must be followed. In addition, please be advised that the use of cord and plug electrical equipment in a non-permit confined space does not cause the non-permit space to become a PRCS. We appreciate your interest in occupational safety and health. If we can be of further assistance, please call [(202) 693-1850]. Sincerely, John B. Miles, Jr., Director Directorate of Compliance Programs [Corrected 4/14/2009] |
|
|
| www.osha.gov | www.dol.gov | |
Contact Us | Freedom of Information Act | Customer Survey Privacy and Security Statement | Disclaimers |
||
| Occupational Safety & Health Administration 200 Constitution Avenue, NW Washington, DC 20210 |
||