Chemical Safety Board Seeks Better Process Safety Management Requirements
Within the US, most chemical safety requirements are imposed by OSHA and the EPA. For example, OSHA (or delegated state agencies) administers a Process Safety Management (PSM) Standard, while EPA (or delegated state agencies) administers the Accidental Release Prevention (ARP) regulation. In addition to these sets of regulators, however, Congress has created a national agency to conduct independent investigations of major chemical accidents, and to issue accident-specific findings and specific or general recommendations for improved chemical handling and regulation. This agency’s formal name is the Chemical Safety and Hazard Investigation Board—which usually refers to itself as the Chemical Safety Board or CSB.
Since the 1990s, CSB has offered repeated recommendations for changes to PSM and ARP, seeking clearer regulatory requirements that facility operators enhance their hazard evaluation and management efforts. Neither OSHA nor EPA have adopted many of these recommendations, although both agencies are now reviewing their regulations in response to an Executive Order (I’ve written about EPA’s efforts here, and about OSHA’s efforts here). CSB has now weighed in again, compiling recommendations for PSM and ARP “modernization.”
What Enhancements to PSM Does CSB Recommend?
CSB recommends that OSHA adopt the following revisions to the PSM Standard:
- Expand attention to reactive hazards, including:
- Criteria such as industry sector (e.g., as indicated by the North American Industry Classification System (NAICS)), a reactive hazard classification system (e.g., based on heat of reaction or toxic gas evolution), incident history, or catastrophic potential.
- More extensive reviews of technical literature, reports and guidance by facilities.
- Explicit review of reactive hazards, such as rates of heat or gas generation, thermal stability of reactants, and incident progressions (e.g., runaway reactions).
- Management of change (MOC) review for organizational changes that may impact process safety.
- Comprehensive process hazard analysis written by the facility that includes:
- Systematic analysis and documentation of all major hazards and safeguards, using the hierarchy of controls to reduce those risks to as low as reasonably practicable (ALARP).
- Documented use of recognized methodologies, rationales and conclusions to support claims that safeguards intended to control hazards will be effective.
- Documented damage mechanism hazard review conducted by a diverse team of qualified personnel.
- Documented use of inherently safer systems analysis and the hierarchy of controls to the greatest extent feasible in establishing safeguards for identified process hazards, to drive the risk of major accidents to As Low As Reasonably Practicable (ALARP).
- Assurance that the regulator (OSHA or state) is technically competent with adequate resources, conducts ongoing monitoring of regulated facilities and industries (including leading and lagging indicators of safety risks) to support continuous improvement in PSM activities, and conducts appropriate audits and inspections.
- Establish a “model where the regulator, the company, and workers and their representatives play an equal and essential role in the direction of preventing major accidents.”
- Require reporting of information to the public to the “greatest extent feasible.”
What Enhancements to ARP Does CSB Recommend?
CSB recommends that EPA adopt the following revisions to the ARP regulation:
- Add explicit coverage of catastrophic reactive hazards (i.e., in addition to toxic and flammable hazards).
- Require inherently safer systems analysis and a hierarchy of controls when facilities establish safeguards for identified process hazards.
What Coordination Between Occupational Safety and Environmental Protection Regulators Does CSB Recommend?
CSB has recommended that EPA and OSHA, and their state counterparts, coordinate PSM and ARP regulatory activities to maximize the benefits of both. Readers should note that President Obama’s Executive Order and subsequent federal activities include these efforts. I’ve written about the Executive Order here, and about a report by an interagency task force coordinating these responses here.
- Do any of my organization’s facilities manage chemicals subject to PSM or ARP?
- Does any facility manage reactive chemicals that pose analogous accident hazards?
- If so, does any facility comply with:
- One of those programs?
- Both of those programs?
- Has the organization developed organizational-level and/or facility-level programs for chemical risk assessment and handling consistent with requirements of PSM and/or ARP requirements?
- Is the organization participating in review and reform activities being undertaken by the implementing agency (or at least tracking them)?
Where Can I Go For More Information?
Jon Elliott is President of Touchstone Environmental and has been a major contributor to STP’s product range for over 25 years. He was involved in developing 16 existing products, including Environmental Compliance: A Simplified National Guide and The Complete Guide to Environmental Law. This article was republished with permission from Specialty Technical Publishers, which provides a variety of single-law and multi-law services, intended to facilitate clients’ understanding of and compliance with requirements. These include: Federal Toxics Program Commentary; Environmental Compliance: A Simplified National Guide; A range of Air Quality MACT Standards Guides; Environmental Auditing: Federal Compliance Guide; The Complete Guide to Hazardous Materials Enforcement and Liability: California.
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