Wednesday, August 5, 2009

OSHA's "Enhanced Enforcement" in Texas

When I arrived at work this morning, I found an article torn from a newspaper or newspaper-type publication on my desk. I have no idea who provided the piece, nor the name of the publication (other than the fact that it appeared on page 9 of that publication). The article was entitled "OSHA's enhanced enforcement effort in Texas" and was written by Joann Natarajan, compliance assistance specialist OSHA in Austin, Texas.

I found it interesting how the district office people soften the "SWAT Team" language fomented by Hilda Solis, but whatever it's called, those of us in Texas can expect some of that so-called "enhanced enforcement." This is no surprise. If you follow this blog, or even read any safety publications, announcements, etc., you already know that part of the article.

The article states that "more workers die in Texas than in any other state." Remember how they said the same thing about Florida last year? Since Florida isn't doing much work right now, nobody would think that they might remain at the top of the list. What's more interesting is that the author notes a 125% increase in Hispanic fatalities between 1992 and 2005 in southeastern states. Duh!! If you've visited any construction sites since 1992, you'll find that the vast majority of the construction workforce is Hispanic. Isn't it interesting how we can make statistics say what we want? Remember the old saying? "There are liars, damn liars, and statistics? More appropriate data should compare the percentage of Hispanic fatalities based upon the number of Hispanic workers or Hispanic "manhours" vs. the same percentage among the non-Hispanic workforce.

But, the above is not the most interesting part of the article. At the end of Ms. Natarajan's article, she lists "The top twenty construction violations OSHA is looking for," presumably when they conduct their "enhanced enforcement" in Texas. The title of the list implies not that the list is an historical perspective, but that the list represents what we should expect as an inspection focus when a compliance officer visits a construction site in Texas.

Here is the list as presented by Ms. Natarjan:

1. General Safety requirements for scaffolds - 1926.451
2. General Duty to provide fall protection - 1926.501
3. Ladders - 1926.1053
4. Worker Training on Fall Protection - 1926.502
5. Hazard Communication - 1910.1200
6. Aerial Lifts - 1926.453
7. Written safety and health programs - 1926.20
8. Specific requirements for excavations - 1926.651
9. Providing and ensuring workers wear hard hats - 1926.100
10. Worker training on scaffold hazards - 1926.454
11. Electrical wiring design and protection - 1926.404
12. Electrical Wiring methods, components, and equipment for general use, including extension cords - 1926.405
13. Protection for employees in excavations - 1926.652
14. General worker training requirements on workplace hazards - 1926.21
15. Requiring and using eye and face protection - 1926.102
16. Fall protection systems criteria and practices - 1926.502
17. Stairways - 1926.1052
18. Additional requirements applicable to specific types of scaffolds - 1926.452
19. Respiratory protection - 1926.134
20. General electrical requirements - 1926.403

Isn't it interesting that three of the top 20 include training requirements. My own experience indicates that if contractors properly trained their workers, many of the safety violations on the jobsites would disappear. And, one would assume that it would have a similar effect on the number of injuries and fatalities.

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