Our interpretation letters explain these requirements and how they apply to particular circumstances, but they cannot create additional employer obligations. OSHA requirements are set by statute, standards, and regulations. We hope you find this information helpful. Thank you for your interest in occupational safety and health. For further information on Maryland's standards, enforcement, and compliance assistance, we suggest that you contact: J. Maryland's Permit-required Confined Space standard is identical to the Federal. Under this plan, the Maryland Division of Labor and Industry promulgates and enforces occupational safety and health standards under authority of State law. Please be advised that the procedures to protect workers from atmospheric hazards within these tanks would be required by other OSHA standards, such as Subpart Z of Part 1910 General Industry Standards.Īs you may know, the State of Maryland administers its own occupational safety and health program under a plan approved and monitored by Federal OSHA. An employee may still be injured or killed as a result of some atmospheric hazard within such a tank however, the permit-required confined spaces standard is not intended to address all locations that pose atmospheric hazards. On the other hand, if an employee cannot enter the tanks with his or her entire body due to the size of the tanks' diameters, then the tanks would not be considered confined spaces. Reply: If it is possible for the employee to fit his or her entire body within the tanks, then they would be confined spaces under §1910.146. Question: Would these tanks be considered confined spaces 1 as defined by OSHA's Permit-required confined spaces standard. The aircraft fuel tank will be drained of its contents, purged of vapor, and monitored for gases and vapors. Workers remain outside the tank but have their upper extremities and, on occasion, their head extending into the tank to perform the required tasks. Scenario: The access to aircraft fuel cells (tanks) are approximately 12 inches wide but many feet in length. Your scenario and question has been restated below for clarity. Your letter has been referred to OSHA's Directorate of Enforcement Program's (DEP) Office of General Industry Enforcement. Thank you for your July 17 letter to the Occupational Safety and Health Administration (OSHA).
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