Title: Tim Date, Manager Risk Management Planning Unit
1Risk Management Plan Protecting the Community
Florida Division of Emergency Management
www.floridadisaster.org
State Emergency Response Commission
Florida Accidental Release Prevention and Risk
Management Planning (ARP/RMP) Act
- Tim Date, ManagerRisk Management Planning Unit
2Safety Brief and Introductions
3Risk Management Program Overview
- Purpose of Section 112(r) and the Risk Management
Program Requirements - Facilities Typically Regulated Under Risk
Management Program - Risk Management Program Elements
- Program Level Screening
- Compliance Audits
- Typical Enforcement Audit Findings
- Divisions Audit Selection Criteria and Process
4Federal Actions - Background Information
- 1984
- Releases of methyl isocyanate kills more than
2,000 people in Bhopal, India. - 1985
- As part of its Air Toxics Strategy, EPA initiates
the Chemical Emergency Preparedness Program
(CEPPO).
5Federal Actions - Background Information (contd)
- 1986
- Emergency Planning Community -Right-To-Know
Act (EPCRA),
- Superfund Amendments and Reauthorization
Act of 1986 - Aka
SARA/Title III - States must establish State Emergency Response
Commissions (SERCs) and Local Emergency Planning
Committees (LEPCs) - Covered facilities must provide site information
to SERCs, LEPCs and local fire departments for
emergency planning. - Development of the Toxic Release Inventory (TRI)
to characterize pollutants emitted from covered
facilities. - Emergency notification requirements for
accidental releases of certain hazardous
substances.
6Federal Actions - Background Information (contd)
- The resulting regulations that EPA adopted in
accordance with Section 112(r) are the Chemical
Accident Prevention Provisions (CAPP) found in 40
Code of Federal Regulations, Part 68. CAPP lists
the regulated substances and their thresholds.
The CAPP is commonly referred to as the Risk
Management Program
7Purpose of Section 112(r) and the Risk Management
Program Requirements
- To reduce prevent accidental chemical releases.
- To reduce the severity minimize the
consequences of chemical releases. - To improve coordination communication between
regulated facilities local emergency
preparedness response agencies to improve
emergency response.
8Facilities Typically Regulated Under RMP
- Drinking water treatment plants
- Wastewater treatment plants
- Food and cold storage facilities
- Ammonia retailers
- Chlorine repackaging and distributors
- Chemical manufacturers
- Utilities
- Petrochemical facilities
- Pulp mills
- Fertilizer producers
- Swimming pool service/supply businesses
- Military, energy installations (mostly federal
facilities)
9(No Transcript)
10Overview of Risk Management Program Requirements
- If facilities use, store, manufacture, or process
substances on the Section 112(r) list above
Threshold Quantity (TQ), must develop and
implement a Risk Management Program. - Section 112(r) Listed Chemicals - 77 Toxic
Substances 63 Flammable Substances. - Most Common Risk Management Program Chemicals in
Florida - Ammonia, Chlorine, Sulfur Dioxide,
Hydrochloric Acid, Hydrofluoric Acid, Nitric
Acid. - Requirements Complexity vary based on Program
Level of Process.
11Program Level Screening for Regulated Processes
- Regulated processes assigned to one of three
program levels, based on - Potential for off-site consequences
- Accident history
- OSHA Process Safety Management (PSM)
- Within certain Standard Industrial Classification
(SIC) Codes identified as having significant
accident history. - Program Level 1 - no offsite impacts
- Program Level 2 - streamlined prevention program
(7 components) - Program Level 3 - full RMP program (12
components)
12Submission of Risk Management Plan
- After developing a facilitys Risk Management
Program, a summary of the program must be
submitted to the U. S. Environmental Protection
Agency online through RMPEsubmit - The summary, called a Risk Management Plan,
includes information of all the requirements of
the Risk Management Plan
13Management of Risk
Document when solution was implemented
14What is a compliance audit?
- Self audit of the covered process which triggers
a facilities need to file a Risk Management Plan
with the EPA. - All elements should be reviewed and deficiencies
noted tracked and assigned responsibility for
completing necessary corrections. - U. S. Environmental Protection Agency, and
Division of Emergency Management checklists or
any auditing tool can be used to evaluate the
program requirements. - Required to be completed every three years.
15Building a Compliance Audit Team
- Facility is required to have one person who is
knowledgeable about the covered process. - Review the employee participation program which
should include who helped develop the Risk
Management Program. - Operators, mechanics, administration,
contractors, and consultants can be included. - Sister facilities and allied facilities may
help bring outside eyes and ideas into the
process. - Local responders
16Other Requirements of a Compliance Audit
- A report must be generated.
- Responses to audit findings must be documented.
- Action of findings must be documented.
- Must keep the past two compliance audits.
- Must certify that the compliance audit evaluated
the program.
17Management System
- A qualified person is assigned the overall
responsibility of Risk Management Program
development, implementation and integration. - Other persons responsible for implementing
individual requirements of the Risk Management
Program are documented through an organizational
chart.
18Hazard Assessment
- Off-Site Consequence Analysis
- Worst-Case Release Scenario
- Description of the vessel or pipeline and vessel
selected - Assumptions and parameters used
- Rational for selection of assumptions
- Alternative Release Scenario
- Description of scenarios identified
- Assumptions and parameters used
- Rational for selection of assumptions
- Method used to determine distance to endpoint
- Use of most recent Census data
19Process Safety Information
- MSDS sheets
- Block flow diagram
- Process chemistry defined
- Maximum intended inventory
- Safe Upper and Lower limits of Temperature,
Pressure, flows, and composition - Consequences of deviations from the stated limits
20Process Hazard Analysis (PHA)
- If initial process hazard analysis was performed
in 1999, was the five year revalidation performed
in 2004 - Has the facility determined and documented the
priority order for conducting the process hazard
analysis - Has the process hazard analysis addressed the
following - Hazards of the process
- Identification of any incident with potential for
catastrophic consequences (This should at least
include the what was identified in the process
safety information) - The facility has established a system to promptly
address the teams findings recommendations,
assures the recommendations are resolved in a
timely manner and documented
21Operating Procedures
- Do the operating procedures include the
following - initial start up, normal operations, temporary
operations, emergency shutdown, emergency
operations, normal shut down, start up following
a turnaround or after an emergency shutdown - Consequences of deviation from operating limits
and steps required to avoid or correct deviations
in operating limits are addressed - Quality control and maximum intended inventory
must be defined. - Safety systems and their functions must be
identified. - Annual certification that the operating
procedures are current and accurate and
procedures have been reviewed as often as
necessary
22Training
- Employees involved in operating a process are
provided with initial training - Initial training includes emphasis on safety and
health hazards, emergency operations and safe
work practices - Refresher training is provided at least every 3
years - The facility ascertained and documented in a
record that each employee involved in operating a
process has received and understood the required
training - Training records identify the employee, date of
the training, and means used to verify that the
employee understands the training
23Mechanical Integrity
- Written procedures to maintain the on-going
mechanical integrity of process equipment are
established and implemented - The facility has followed recognized and
generally accepted good engineering practices for
inspections and testing procedures - Each inspection and test is documented
- Equipment deficiencies found outside acceptable
limits defined by the process safety information
are corrected before further use or completed in
a safe and timely manner
24Management of Change
- Written procedure to manage changes to process
chemicals, technology, equipment, and stationary
sources that affect a covered process are
established and implemented. - Operation, maintenance and/or contract employees
whose job would be affected by the change are
informed of, trained in, the change prior to
start-up of the process. - If the change resulted in a change in operating
procedures or practices, the procedures had been
updated accordingly. - Completed management of change should be used for
revalidating and updating associated program
elements such as the process hazard analysis.
25Pre-Start Up Review
- For new and/or modified stationary sources is
performed when change or modification in a
process was significant enough to require a
change in process safety information - For new stationary sources, process hazard
analysis has been performed and recommendations
have been resolved - Modified stationary sources meet the requirements
contained in the management of change
26Incident Investigation
- Each incident which resulted in, or could
reasonably have resulted in, a catastrophic
release of a regulated substance has been
investigated - Each incident investigation is initiated not
later than 48 hours following the incident - At the conclusion of investigation, a report is
prepared - A system to address recommendations from the
report findings has been established and
implemented
27Employee Participation
- Written plan of action regarding the
implementation of employee participation is
developed - Employees and their representatives are consulted
on the conduct and development of process hazard
analyses and other elements of process safety
management - Employees and their representatives are provided
access to process hazard analyses and to all
other information required to be developed by 40
Code of Federal Regulations, Part 68
28Hot Work Permit
- Hot Work permits are issued for each hot work
operation conducted on or near a covered process - Hot work permits document that fire protection
and prevention requirments in 29 CFR 1910.252(a)
have been implemented prior to beginning hot work
operations - Example of work performed with out a Hot Work
Permit-Bethune point Water Plant explosion 2
fatalities
29Contractors
- When selecting a contractor, information
regarding contractor safety performance and
programs is obtained and evaluated. - Contractor is informed of all known potential
fire, explosion or toxic release hazards related
to the contractor's work and the process. - Contractor performance is periodically evaluated
in fulfilling the obligations. - You can use Occupational Safety and Health
Administration data and other insurance
information. - May times, a companys procurement policies
already meet these requirements.
30Emergency Response for Non-Responding Facilities
- Toxic substances held above TQ are included in
the Local Emergency Planning Committees
community emergency response plan and flammable
substances above threshold quantity have response
plans coordinated with the local fire department. - Appropriate mechanisms are in place to notify
emergency responders. - Call down lists include the State Warning Point
and the U. S. Environmental Protection Agencys
National Response Center within 15 minutes of a
release.
31Emergency Response Program Requirements for
Responding Facilities
- Written emergency response program is developed
maintained onsite. - Procedures/actions to be taken in event of
chemical release. - Procedures for notifying the public local
responders for releases. - Information on first aid medical treatment.
- Procedures for use of emergency response
equipment inspection, testing maintenance. - Emergency response program coordination with
local responders. - Training for employees.
32Releases subject to Section 304
- Section 304 requires certain releases of
chemicals to be reported by the facility owner or
operator. There are two types of chemicals that
require reporting under this section - Extremely Hazardous Substances (EHSs)
- Comprehensive Environmental Response,
Compensation and Liability Act (CERCLA) hazardous
substances - If an amount equal to, or greater than, the
reportable quantity is released or spilled from
a fixed facility, notification must be made
immediately (within 15 minutes) to - State Warning Point at (850) 413-9911
- National Response Center at (800) 424-8802
- Within 7 days after a release it is required the
O/O of the facility must provide one or more
written follow-up emergency notices. - The notice(s) must be submitted to the SERC and
the appropriate Emergency coordinator for the LEPC
33General On-Site Audit Findings
- WTPs WWTPs
- Ammonia refrigeration
- Chlorine Other Chemical Repackagers
- Inadequate documentation, development, and/or
implementation of 1 or more prevention program
components. - Bookshelf Generic Programs. Good program,
but not implemented. - Many facilities complying with technical aspects
of program, but documentation incomplete.
34Specific On-Site Audit Findings
- Hazard Assessments - Not available onsite
Incorrect modeling parameters, no rational for
selection of release scenarios - Incorrect program level status
- Program Level 1 - Public receptors were
identified within endpoint distances. - Program Level 2 - Refrigeration facilities
subject to OSHAs PSM. - Most deficiencies to date pertained to
- Mechanical Integrity
- Operating Procedures
- Training Program
- PHA
35Specific On-Site Audit Findings
- Mechanical Integrity - PM protocols not developed
or implemented. Inspection and testing not
performed. Minimal record keeping. - Operating Procedures - Operating phases, limits
not addressed. Mostly emergency shutdown
assignments. Not Certified - Training Program - Operator Maintenance
training / tracking incomplete. Documentation
of how employees understood training. - Process Hazard Analysis - incomplete hazard ID
(such as hurricanes, over pressurization,
equipment failure, human error, etc.) no
follow-up on action items
36Specific On-Site Audit Findings
- Management of Change Pre-Startup Safety reviews
and Employee Participation not performed. - Contractor Safety Program - Non-existent. Not
implemented - Compliance audit has not been completed or action
items have not been implemented - Emergency Response Program - Not coordinated with
local responders. Procedures for ER equipment
use inspections not documented. Inadequate
training.
37Audit Selection Criteria
- Previous and current accident history of
facility - Overall accident history of other facilities in
same industry - Facility location proximity to population
centers - Chemical quantities of Program-regulated
chemicals on-site - Compliance with or inspection by allied agency
programs - High Risk and Results of compliance audits
- Neutral, random oversight
- Other factors deemed necessary to protect public
safety health.
38Overview of the Divisions RMP Audit Process
- Basic Desk Audit Focuses on the data contained
in EPA data base (also complied with
prior to on-site audit) - Prior to On-Site Audit Document Audit this is
a review of facility hard copy plan. - On-Site Compliance Audit is a complete look at
the facility and the hard copy plan.
39RMP Audit Process (cont...)
Prior to site audits Send audit notification
letter requesting Risk Management Plan supporting
documentation. Request for process hazard
analysis, training records, incident
investigation reports, emergency response plan,
compliance audit reports. Use Documentation
Review / On-Site Audit Checklist. Review of
supporting documentation. This approach reduces
time on-site. Helps determine focus of audit
visit. Schedule date(s) for on-site audit.
Send notification of on-site audit.
40RMP Audit Process (cont...)
- On-site audit activities - Focus on overall Risk
Management Program - Plant Tour of facilitys process chemicals
operations. - Interview facility representatives.
- Review of facility operations, procedures,
supporting Risk Management Plan documentation,
etc. - Adequacy completeness of Risk Management
Program documentation. - Development implementation of required Risk
Management Program elements. - Emergency Response - Coordination with local
response agencies. - Document findings - On-Site Audit Checklist.
41What to Expect During an On-Site Audit?
Risk Management Program Audit Team - Usually 2
persons Local Emergency Planning Committee
Staff Contact invited to accompany team. Audit
agenda assignments faxed prior to visit date.
Opening meeting (audit purpose/objectives,
agenda, safety issues, etc.) Tour of facilitys
regulated chemicals and processes. Review Risk
Management Program supporting documentation.
Interview facility representatives. Exit
briefing (findings, identified deficiencies,
recommendations, schedule for audit report,
schedule for corrections, copy of audit
checklist).
42What to Expect After an On-Site Audit?
- The Division issues Preliminary Determination
Report - Includes audit teams observations, findings,
recommendations. - Identifies deficiencies to be corrected.
- Identifies necessary revisions to Risk
Management Plan. - Includes timetable(s) for correcting
deficiencies and/or revisingRisk Management
Plan.
43What to Expect After an On-Site Audit? (cont...)
- Facility Response to Audit Report
- Must be received within approved timetable(s).
- Usually allow 60 - 90 days for corrections
revisions. - Written request for extension prior to deadline
date, if needed. - Upon receipt review of requested information,
the Division issues - Final Determination Report - If information
correct complete. - Interim Audit Report - If additional information
is necessary.
44How to Prepare for an RMP Audit?
Review the Divisions Audit Checklists.
Obtain organize RMP supporting documentation
prior to scheduled audit date. Include Standard
Operating Procedures, hazard assessments, process
hazard analysis process safety information,
training records, maintenance logs, management of
change forms, emergency response procedures,
etc. Determine appropriate facility personnel
to include in audit.
45Role of the Local Emergency Planning Committees
(LEPCs)
- LEPCs support the Emergency Planning and
Community Right to Know Act (EPCRA) by using the
data collected on Tier IIs to develop hazardous
materials emergency plans used for responding to
and recovering from releases or spills of
hazardous or toxic substances - They also conduct Hazard Analysis for facilities
within their districts
46Department of Homeland Security Site Security for
Chemical Facilities
- http//www.dhs.gov/xprevprot/laws/gc_1166796969417
.shtm
47Questions?
48Available Technical Assistance and Resources
- Contact the Divisions Risk Management Planning
Program staff at - (850) 413-9970
- (800) 635-7179 (Florida only)
- Floridas RMP Program web page for state
federal requirements, audit checklists,
step-by-step guidelines. - http//www.floridadisaster.org/cps/arprmp/start.h
tm - Guidance documents, model RMP plans, other RMP
resources also available from EPAhttp//www.epa.g
ov/emergencies/index.htm - E-mail tim.date_at_em.myflorida.com