Standard Interpretations - (Archived) Table of Contents|
| Standard Number:||1910.212(a)(1); 1910.212(a)(3)(ii)|
March 19, 1991
S. Melville McCarthy, P.E.
Registered Professional Engineer
417 Audubon Drive
Tallahassee, Florida 32312-1623
Dear Mr. McCarthy:
Thank you for the information in your letter of February 1, in response to Assistant Secretary Gerard F. Scannell's request and your inquiry concerning the action we feel is warranted.
As we related to you in the January 23 letter form Gerard F. Scannell, Assistant Secretary, the point of operation and rotating part hazards related to vertical food mixers in bakeries and restaurants are covered by the Occupational Safety and Health Administration (OSHA) standards at 29 CFR 1910.212(a)(1) and 212(a)(3)(ii). This information is being disseminated to all the OSHA regional offices and has also been entered into the OSHA Computerized Information System (OCIS) to assist field staff in enforcing the guarding of vertical food mixers.
The information in your February 1 letter will be given to OSHA's Directorate of Safety Standards Programs for consideration in any future rule making activities involving vertical food mixers.
Machine guards or equivalent employee protection for vertical food mixer hazards have been required for many years. However, OSHA makes few inspections in establishments where vertical food mixers are used. Industries with high injury rates are targeted for inspection first, and due to OSHA's limited resources, industries such as restaurants with lower injury rates are seldom inspected.
OSHA does inspect employers that allow safety hazards to exist if OSHA is notified of the hazards. A complaint submitted to OSHA from an employee initiates an OSHA inspection, and anybody that knows about specific hazards (name of employer, address, type of hazard, number of employees exposed, etc.) may submit a complaint, and OSHA will contact the employer to obtain abatement of the hazard.
We appreciate your interest in employee safety and health. If we can be of further assistance, please do not hesitate to contact us.
Patricia K. Clark, Director
Directorate of Compliance Programs
|Standard Interpretations - (Archived) Table of Contents|