Search

OSHA Memos Clarify PSM Enforcement Policies

Posted on 6/11/2015 by Roger Marks

On June 8, OSHA issued two memos for regional administrators and State plan designees that address enforcement of the Process Safety Management standards. (Read more about what’s required under OSHA’s PSM rules here.)

Memo 1: RAGAGEP and PSM

The first memo addresses the use of Recognized and General Accepted Good Engineering Practices (RAGAGEP).

While RAGAGEP is not defined in OSHA’s PSM requirements, the term refers to “generally approved ways to perform specific engineering, inspection, or mechanical integrity activities, such as fabricating a vessel, inspecting a storage tank, or servicing a relief valve.”

Under OSHA PSM rules, RAGAGEP applies to equipment design, installation, operation and maintenance, as well as inspection and test practices and frequency. The memo details how OSHA bases its RAGAGEP standards on published codes, industry consensus standards including NFPA Codes, ASME/NASI/ISO standards, and other safety documents from recognized expert sources.

New OSHA enforcement policy for PSM chemical concentration

“Shall” vs. “Should”

Among other things, the memo clarifies the differences between the use of the words “shall” and “should” within the OSHA PSM rules. In general, “shall” reflects a mandatory minimum requirement, whereas “should” reflects an acceptable or preferred approach. The memo provides important guidance and should be viewed by those interested in PSM requirements. Read the full memo here: RAGAGEP in Process Safety Management Enforcement.

Memo 2: New OSHA Enforcement Policy for High-hazardous Chemicals (HHCs)

Because the previous enforcement method used by OSHA for highly hazardous chemicals and Appendix A chemicals were ambiguous with respect to the concentration of a given chemical meets the threshold for these requirements, OSHA has revised its enforcement policy.

The memo lays out a history of the previous enforcement policy, including issues raised by an unclear policy toward chemical concentration. It also lays out a number of formulas industry can use to calculate whether the concentration of a given chemical will meet the threshold for PSM.

OSHA’s New Enforcement Policy: the One Percent Test

To make it more clear which concentrations of which chemicals fall under the scope of these rules, OSHA had dropped “maximum commercial grade” and “ commercial grade” as measures of chemical concentration with respect to PSM enforcement. Now, OSHA states:
“In determining whether a process involves a chemical (whether pure or in a mixture) at or above the specified threshold quantities listed in Appendix A, the employer shall calculate:
  1. (a) the total weight of any chemical in the process at a concentration that meets or exceeds the concentration listed for that chemical in Appendix A, and
  2. (b) with respect to chemicals for which no concentration is specified in Appendix A, the total weight of the chemical in the process at a concentration of one percent or greater. However, the employer need not include the weight of such chemicals in any portion of the process in which the partial pressure of the chemical in the vapor space under handling or storage conditions is less than 10 millimeters of mercury (mm Hg). The employer shall document this partial pressure determination.”
Read the full memo here: PSM of High-hazardous Chemicals and Covered Concentrations of Listed Appendix A Chemicals.

Protect Your Team with Expert Training

When your company commits resources to employee training, you expect results. Interactive, engaging training at Lion.com is a convenient, effective way to train employees on a number of OSHA safety standards. View a demo of Lion's online training to see how we can help you keep your team safe on the job every day.

Tags: osha, process safety management

Find a Post

Compliance Archives

Lion - Quotes

The instructor was great, explaining complex topics in terms that were easily understandable and answering questions clearly and thoroughly.

Brittany Holm

Lab Supervisor

I have over 26 years of environmental compliance experience, and it has been some time since I have attended an environmental regulations workshop. I attended this course as preparation for EHS Audits for my six plants, and it was exactly what I was looking for.

Frank Sizemore

Director of Regulatory Affairs

This is a very informative training compared to others. It covers everything I expect to learn and even a lot of new things.

Quatama Jackson

Waste Management Professional

Excellent. I learned more in two days with Lion than at a 5-day program I took with another provider.

Francisco Gallardo

HES Technician

Excellent course. Very interactive. Explanations are great whether you get the questions wrong or right.

Gregory Thompson

Environmental, Health & Safety Regional Manager

These are the best commercial course references I have seen (10+ years). Great job!

Ed Grzybowski

EHS & Facility Engineer

The course was very well structured and covered the material in a clear, concise manner.

Ian Martinez

Hazmat Shipping Professional

The instructor did an excellent job presenting a very dry subject; keeping everyone interested and making it enjoyable.

Marc Bugg

Hazardous Waste Professional

This was the 1st instructor that has made the topic actually enjoyable and easy to follow and understand. Far better than the "other" training providers our company has attended!

Lori Hardy

Process & Resource Administrator

Lion courses are the standard to which all other workshops should strive for!

Brody Saleen

Registered Environmental Health Specialist

Download Our Latest Whitepaper

Four key considerations to help you maximize the convenience and quality of your experience with online training.

Latest Whitepaper

By submitting your phone number, you agree to receive recurring marketing and training text messages. Consent to receive text messages is not required for any purchases. Text STOP at any time to cancel. Message and data rates may apply. View our Terms & Conditions and Privacy Policy.