Letters of Interpretation

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. Each 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.

These letters of interpretation and the standards they address may not apply to OSHA State Plans. State Plans are required to have standards and enforcement programs that are at least as effective as OSHA's and may have different or additional requirements. Please see OSHA-approved State Plans for more information.

Filters


Date Title Standard Number
Response to the American Academy of Pediatrics regarding the Needlestick Safety and Prevention Act. 1910.1030(d)(2)(i), 1910.1030(c)(1)(iv)
Process hazard analysis facilitator's training requirements. 1910.119(e)(4)
Qualifications for resetting circuits or replacing fuses; electrical enclosures must be approved. 1910.334(b)(2), 1910.333(c)(2)
Recording of cases in which a health care professional issues a prescription, whether that prescription is filled or not. 1904 - Table of Contents, 1904.7(b)(5)(ii)(A)
OSHA does not certify oven inspectors;must be representative of the oven manufacturer. 1910.263(l)(9)(ii)
Criteria for trade secret status 1910.1200(i)
Clarification of minimum face velocity requirements for spray booths 1910.107(b)(5), 1910.94(c)(6)(i), 1910.1000
Acceptable methods to reduce heat stress hazards in the workplace.
OSHA has no authority over merchant/customer relationships. 1975.3
History and background of the Steel Erection Final Rule. 1926.750, 1926.751, 1926.752, 1926.753, 1926.754, 1926.755, 1926.756, 1926.757, 1926.758, 1926.759, 1926.760, 1926.761
Application of Asbestos Standards to repair and maintenance operations. 1926.1101, 1910.1001, 1910.12(b)
Differentiation between the 80 dBA threshold for hearing conservation and the 90 dBA PEL. 1910.95
Applicable standards to protect employees, not engaged in electrical work, operating an aerial lift within 10 feet of overhead electrical lines. 1926.400, 1926.400(b), 1926.402, 1926.408, 1926.416(a)(1), 1926.416, 1926.417, 1926.431, 1926.432, 1926.441, 1926.449, 1926.453(a)
Clarification of utility "owner" as used in the Safety and Health Standards for Excavations, Underground Installations. 1926.651(b)(2), 1926.651(b), 1926.650, 1926.651, 1926.652
Requirements of using cranes to hoist personnel. 1926.550, 1926.550(a), 1926.550(a)(1), 1926.550(g)
Fall protection requirements of various construction (1926) standards. 1926.502, 1926.751, 1926.752(d), 1926.753(c)(1)(i), 1926.753(c)(2), 1926.753(d), 1926.757(a)(9), 1926.759(b), 1926.760(a)(2), 1926.760(b)(3), 1926.760(c), 1926.760(c)(3), 1926.760(d)(3), 1926.760(e)
Full compliance with NFPA 33-2000 may be considered a de minimus violation. 1910.107(d)(9)
Fall protection requirements for both residential and commercial HVAC systems; clarification of confined spaces 1926.501(b), 1926.501(b)(1), 1926.502(f)(2), 1910.132(a), 1926.21(b)(6), 1926.21(b)(6)(ii), 1910.146
Plasma derivatives are covered by the Bloodborne Pathogens Standard. 1910.1030, 1910.1030(b)
Above-ground 500-gallon polyethylene tank is unacceptable for storage of flammable and combustible liquids 1910.106(b)(1)(i), 1910.106(a)(18)(ii)(b)