Title: Compliance with OSHAs Final CrVI Standard
1Compliance with OSHAs Final Cr(VI) Standard
- By Joelie Zak CEF-4
- Scientific Control Laboratories, Inc.
- www.sclweb.com
- joeliezak_at_sclweb.com
NELAP A2LA Accredited
2New OSHA Cr6 PEL
- Compliance Dates
- gt20 employees
- November 27, 2006 (except engineering controls)
- lt20 employees
- May 30, 2007 (except engineering controls)
- Engineering Controls
- May 31, 2010
3Industry ImpactsMetal Finishing Operations
Affected
- Hard Chrome Plating
- Decorative Chrome Plating
- Chromic Acid Anodizing
- Chromate Conversion Coatings (e.g., Zn, Cd Al)
- Plating on Plastics
- Passivation
- Welding and Fabricating
- Polishing and Grinding
- Chemical Mixing Blending
4What Does My Company Have to Do?
- Evaluate exposures for ALL potential job tasks
involving Cr(VI) - Operators, Supervisors
- Lab Techs
- Maintenance Staff
- Special Tasks
- Wastewater Treatment Operators
5Initial Exposure Determination
- Air Monitoring Results
- lt Action Level (AL) No further monitoring
required - Second test must be conducted at least 7 days
later is also below AL - At or AL Monitor every 6 months
- gtPEL Every 3 months
6 Accuracy of measurement
- Where air monitoring is performed to comply with
the requirements of this section, the employer
shall use a method of monitoring and analysis
that can measure chromium (VI) to within an
accuracy of plus or minus 25 percent (/- 25)
and can produce accurate measurements to within a
statistical confidence level of 95 percent for
airborne concentrations at or above the action
level.
7OSHA Method ID-215
- A fully validated OSHA analytical method that can
analyze Cr(VI) well below the PEL within the
accuracy of measure - Ion Chromatography equipped with a UV-vis
detector and a postcolumn reagent delivery module
- Method qualitative detection limit was 0.001 µg
as Cr(VI) when using a 10-mL solution volume.
This corresponds to 1.0 10-3 µg/m3 as Cr(VI)
for a 960-L air volume
Ion Chromatography Unit
8Historical monitoring data
- Means data from chromium (VI) monitoring
conducted prior to May 30, 2006 - Obtained during work operations conducted under
workplace conditions closely resembling the
processes, types of material, control methods,
work practices, and environmental conditions in
the employer's current operations - (A) The (historical) data were collected using
methods that meet the accuracy requirements of
paragraph (d)(5) of this section
9Problems with Historical Monitoring Data
- Older Sampling Methods may not be valid
- Total Chromium (via AA)
- CrO3 via colorimetry vs. Cr6 ion
- Neither are sufficiently sensitive to quantitate
at the proposed levels - Hygienists have found several discrepancies
between older results (gt2 yrs ago) and current
sampling -
10Air Monitoring for Cr(VI)
- Facilities can do their own air sampling
- OSHA will verify compliance with their own
testing when they audit - Sample under highest possible exposure conditions
11Why AREA Sampling is NOT Acceptable
- For several job titles with a significant point
source of contamination, the area sampling
methods significantly underestimated personal
exposure estimates and were adjusted by the
ratio of the two (from FR CrVI Standard
Preamble pg 10116 Ex . 312211, p. 118).
12Air Monitoring
- Explain to employee what the monitoring is for
- Instruct operator to avoid touching the filter
badge and pump - Wear monitor all day (7 out of 8 hrs., minimum)
- Do not remove or turn off for breaks, lunch, etc.
- Have operator note about production, chemical
adds, or any other important details
13Information to Collect During Monitoring
- Type of Process
- Type of Parts Handling (Hoist/Manual)
- Type of Parts Processed
- Job Tasks
- Ventilation System
- Weather (doors open/closed)
- Other
14Discontinuing Monitoring 1910.1026(d)(v)
- If periodic monitoring indicates that employee
exposures are below the action level, and the
result is confirmed by the result of another
monitoring taken at least seven days later, the
employer may discontinue the monitoring for those
employees whose exposures are represented by such
monitoring. - The employer shall not rotate employees to
different jobs to achieve compliance with the
PEL (Page 281 of 287 of Fed Register).
15Additional Air Monitoring
- Required when there are any changes in
- Production process
- Raw materials
- Equipment
- Personnel
- Work practices
- Control methods
- Any other reason employer suspects changes
(increases) in exposure to Cr6 - Recommended at least annually
16Some Industry Data
- OSHA Method 215 Used
- Hard Chrome Plating Shop (March 2006)
- Manual Tank Operator 11 µg/m3
- Manual Line Supervisor 2.535 µg/m3
- Auto Line Supervisor 2.4 µg/m3
- Maintenance 2.3 µg/m3
- Decorative Chrome Plating (2005-2006 data)
- Ranges 0.03 - 11 µg/m3
- Hexavalent Conversion Coating (05-06 data)
- Barrel, 0.45 µg/m3 - 1.45 µg/m3
- Manual Rack, 4.8 - 15 µg/m3
- Stainless Steel Welding
- 0.27 µg/m3 7.0 µg/m3
-
17Employee Notification
- Employee Notification Required If Cr6gtPEL
- Within 15 days of data receipt
- Must include corrective action description
- Results can be posted on company bulletin board
or delivered to each operator tested - Employees have right to witness exposure
monitoring
18Methods of Compliance
- Engineering Controls
- Local Exhaust Ventilation/Emission Elimination
Devices - Enclosed Tanks
- Merlin Hoods
- Fume Suppressants/Foam Blankets
- Replacement of Air Agitation
- Process substitutes
19Work Practices
- Minimizing splashing entrainment from rinsing
of parts - Minimizing exposures during chemical additions
- Minimizing exposures from drying parts with
compressed air - Letting tank cool
- Housekeeping
- Wet cleaning methods
20Respiratory Protection Options
- Respiratory Protection must be used if exposures
are greater than PEL - ½ Mask Air- Purifying
- Full Face Air Purifying
- Supplied Air
- Air monitoring is never done inside respiratory
protection for PEL compliance
½ Mask Air-Purifying Respirator
21Air-Purifying Respirators
- Annual Fit Test Training Requirement
- Site Specific Written Policy Required
- Medical Exams can be done simultaneously with
CrVI exams
22Regulated areas
- Establishment The employer shall establish a
regulated area wherever an employee's exposure to
airborne concentrations of chromium (VI) is, or
can reasonably be expected to be, in excess of
the PEL. - Demarcation The employer shall ensure that
regulated areas are demarcated from the rest of
the workplace in a manner that adequately
establishes and alerts employees of the
boundaries of the regulated area. - -Tape on the floor posting signage is
acceptable
23Access to Regulated Areas
- The employer shall limit access to regulated
areas to - (i) Persons authorized by the employer and
required by work duties to be present in the
regulated area(ii) Any person entering such an
area as a designated representative of employees
for the purpose of exercising the right to
observe monitoring procedures under paragraph (d)
of this section or(iii) Any person authorized
by the Occupational Safety and Health Act or
regulations issued under it to be in a regulated
area.
24Protective Work Clothing
- Employers provide protective all employees (i.e.
uniforms, PPE) exposed to greater than 0.5 mg/m3 - Clarification from the Agency is being requested
- Protective clothing must not be taken off-site
- Employer is responsible for cleaning/laundering
(or contract for off-site cleaning) - Washing facilities and changing room must be
provided for exposed employees
25Change Rooms/Washing Facilities
- Employees can not enter areas where food is
served if clothing is contaminated - Employees can not eat, drink, smoke, chew gum,
chew tobacco, or apply cosmetics in areas where
skin or eye contact with Cr6 can happen (or even
carry these products on their person or store
them in these areas)
26Medical Surveillance
- Provided by licensed health care professional
paid for by employer - For affected employees at or above AL more than
30 days per year - Or any employee experiencing symptoms
- Doctor or PLHCP will interview employees about
health history, do a physical exam, look for
signs of chromic acid exposure (skin nasal exam)
27Medical Exam
- For those employees exposed gt than the AL
- Within 30 days of hire Annually thereafter
- Within 30 days of an emergency involving Cr6
- Upon termination (unless last exam was within 6
months of termination) - Detailed requirements of what the exam must
include are in the regulation - Medical opinion must be received by employees
within 30 days of exam - Detailed requirements of what must be in the
report and what stays confidential - Employee gets a copy of report within 2 weeks of
receipt by employer
28Employee Training Hazard Communication
- Communication is same as current 1910.1200
- Training on specifics of Cr(VI) hazards
carcinogenicity - Employer must demonstrate employee has knowledge
of the purpose and description of medical
surveillance program - Detailed recordkeeping requirements
- Documented Training Logsheet(s)
- Employer must demonstrate employee has knowledge
of this regulation - Recommended A written site-specific CrVI
Compliance Plan - Air Monitoring Results
- Changes to Engineering Controls
- A copy of the CrVI standard
29SFIC Washington Forum
- May 23-25, 2006
- LEnfant Plaza
- Washington, D.C.
- Tabletop Exhibits
- Technical Speakers
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- Regulatory Compliance
- Policy Speakers
- DOD, EPA, Dept. of Energy
- Legislative Hill Visits