| OSHA requirements are set by statute,
standards and regulations. Our interpretation letters explain
these requirements and how they apply to particular
circumstances, but they cannot create additional employer
obligations. This letter constitutes OSHA's interpretation of
the requirements discussed. Note that our enforcement guidance
may be affected by changes to OSHA rules. Also, from time to time
we update our guidance in response to new information. To keep
apprised of such developments, you can consult OSHA's website
at http://www.osha.gov. |
January 6, 2000
| MEMORANDUM FOR: |
RICHARD SOLTAN ACTING REGIONAL ADMINISTRATOR
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| FROM: |
RUSSELL B. SWANSON, DIRECTOR DIRECTORATE OF CONSTRUCTION
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| SUBJECT: |
Change in Policy Regarding Fall Protection While Riding in an Aerial Lift; Rescission of part of a January 9, 1975 interpretation letter |
This is in response to Region III's
memorandum, dated March 1, 1999, in which Region III suggests
that we change a policy announced in a January 9, 1975
interpretation letter by Barry J. White, then Associate Assistant
Secretary for Regional Programs. That letter stated that the
aerial lift standard (originally §1926.556, now 1926.453)
did not require workers to be tied-off while being transported in
the bucket of an aerial lift to another work location. You
requested that the interpretation be rescinded and that we
interpret the term "working" to include being in the
bucket while being transported. You indicated that the intent of
the standard is to require fall protection at all times while an
employee is in the aerial lift and that it is unlikely that the
drafters of the source standard (ANSI A92.2-1969) meant to allow
employees to be transported without fall protection.
Several sections of the aerial lift standard set requirements
that apply when "working" in an aerial lift. With
respect to fall protection, §1926.453(b)(2)(v) requires that
fall protection be used "when working." It is well
established that employees are considered to be working any time
they are performing work or work-related activities. Moving from
one work location to another is considered a work-related
activity.1 Employees in the bucket must wear fall
protection at all times, including when in transit from one work
location to another. This memorandum rescinds and supersedes the
January 9, 1975 interpretation on this issue.
[Corrected 6/2/2005]
1 The Occupational
Safety and Health Review Commission has ruled that 'work'
includes the necessary activity of gaining access to the work
station...." North Berry Concrete Corp. 13 BNA OSHC
2055 (No. 86-163, 1989), quoting Gelco Builders, Inc., 6
BNA OSHC 1104 (No. 14505, 1977). [ back to text ]
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