The following non-mandatory general criteria may be used
for assistance in developing site-specific training curriculum used to
meet the training requirements of 29 CFR 1910.120(e); 29 CFR
1910.120(p)(7), (p)(8)(iii); and 29 CFR 1910.120(q)(6), (q)(7), and
(q)(8). These are generic guidelines and they are not presented as a
complete training curriculum for any specific employer. Site- specific
training programs must be developed on the basis of a needs assessment of
the hazardous waste site, RCRA/TSDF, or emergency response operation in
accordance with 29 CFR 1910.120.
It is noted that the legal requirements are set forth in
the regulatory text of Sec. 1910.120. The guidance set forth here presents
a highly effective program that in the areas covered would meet or exceed
the regulatory requirements. In addition, other approaches could meet the
regulatory requirements.
Suggested General Criteria
Definitions:
"Competent" means possessing the skills, knowledge,
experience, and judgment to perform assigned tasks or activities
satisfactorily as determined by the employer.
"Demonstration" means the showing by actual use of
equipment or procedures.
"Hands-on
training" means training in a simulated work environment
that permits each student to have experience performing tasks, making
decisions, or using equipment appropriate to the job assignment for which
the training is being conducted.
"Initial training" means training required prior to
beginning work.
"Lecture" means an interactive discourse with a class lead
by an instructor.
"Proficient" means meeting a stated level of
achievement.
"Site-specific" means individual training directed to the
operations of a specific job site.
"Training hours" means the number of hours devoted to
lecture, learning activities, small group work sessions, demonstration,
evaluations, or hands-on experience.
Suggested core criteria:
1. Training facility. The training facility should have
available sufficient resources, equipment, and site locations to perform
didactic and "Hands-on
training" when appropriate. Training facilities should
have sufficient organization, support staff, and services to conduct
training in each of the courses offered.
2. Training Director. Each training program should be
under the direction of a training director who is responsible for the
program. The Training Director should have a minimum of two years of
employee education experience.
3. Instructors. Instructors should be deem competent on
the basis of previous documented experience in their area of instruction,
successful completion of a "train-the-trainer" program specific to the
topics they will teach, and an evaluation of instructional competence by
the Training Director.
Instructors should be required to maintain professional
competency by participating in continuing education or professional
development programs or by completing successfully an annual refresher
course and having an annual review by the Training Director.
The annual review by the Training Director should include
observation of an instructor's delivery, a review of those observations
with the trainer, and an analysis of any instructor or class evaluations
completed by the students during the previous year.
4. Course materials. The Training Director should approve
all course materials to be used by the training provider. Course materials
should be reviewed and updated at least annually. Materials and equipment
should be in good working order and maintained properly.
All written and audio-visual materials in training
curricula should be peer reviewed by technically competent outside
reviewers or by a standing advisory committee.
Reviews should possess expertise in the following
disciplines were applicable: occupational health, industrial hygiene and
safety, chemical/environmental engineering, employee education, or
emergency response. One or more of the peer reviewers should be a employee
experienced in the work activities to which the training is directed.
5. Students. The program for accepting students should
include:
a. Assurance that the student is or will be involved in
work where chemical exposures are likely and that the student possesses
the skills necessary to perform the work.
b. A policy on the necessary medical clearance.
6. Ratios. Student-instructor ratios should not exceed 30
students per instructor. Hands-on activity requiring the use of personal
protective equipment should have the following student- instructor ratios.
For Level C or Level D personal protective equipment the ratio should be
10 students per instructor. For Level A or Level B personal protective
equipment the ratio should be 5 students per instructor.
7. Proficiency assessment. Proficiency should be evaluated
and documented by the use of a written assessment and a skill
demonstration selected and developed by the Training Director and training
staff. The assessment and demonstration should evaluate the knowledge and
individual skills developed in the course of training. The level of
minimum achievement necessary for proficiency shall be specified in
writing by the Training Director.
If a written test is used, there should be a minimum of 50
questions. If a written test is used in combination with a skills
demonstration, a minimum of 25 questions should be used. If a skills
demonstration is used, the tasks chosen and the means to rate successful
completion should be fully documented by the Training Director.
The content of the written test or of the skill
demonstration shall be relevant to the objectives of the course. The
written test and skill demonstration should be updated as necessary to
reflect changes in the curriculum and any update should be approved by the
Training Director.
The proficiency assessment methods, regardless of the
approach or combination of approaches used, should be justified,
documented and approved by the Training Director.
The proficiency of those taking the additional courses for
supervisors should be evaluated and documented by using proficiency
assessment methods acceptable to the Training Director. These proficiency
assessment methods must reflect the additional responsibilities borne by
supervisory personnel in hazardous waste operations or emergency
response.
8. Course certificate. Written documentation should be
provided to each student who satisfactorily completes the training
course. The documentation should include:
a. Student's name.
b. Course title.
c. Course date.
d. Statement that the student has successfully completed the
course.
e. Name and address of the training provider.
f. An individual identification number for the certificate.
g. List of the levels of personal protective equipment used by the
student to complete the course.
This documentation may include a certificate and an
appropriate wallet-sized laminated card with a photograph of the student
and the above information. When such course certificate cards are used,
the individual identification number for the training certificate should
be shown on the card.
9. Recordkeeping. Training providers should maintain
records listing the dates courses were presented, the names of the
individual course attenders, the names of those students successfully
completing each course, and the number of training certificates issued to
each successful student. These records should be maintained for a minimum
of five years after the date an individual participated in a training
program offered by the training provider. These records should be
available and provided upon the student's request or as mandated by
law.
10. Program quality control. The Training Director should
conduct or direct an annual written audit of the training program. Program
modifications to address deficiencies, if any, should be documented,
approved, and implemented by the training provider. The audit and the
program modification documents should be maintained at the training
facility.
Suggested Program Quality Control Criteria
Factors listed here are suggested criteria for determining
the quality and appropriateness of employee health and safety training for
hazardous waste operations and emergency response.
A. Training Plan.
Adequacy and appropriateness of the training program's
curriculum development, instructor training, distribution of course
materials, and direct student training should be considered,
including:
1. The duration of training, course content, and course
schedules/agendas;
2. The different training requirements of the various
target populations, as specified in the appropriate generic training
curriculum;
3. The process for the development of curriculum, which
includes appropriate technical input, outside review, evaluation, program
pretesting.
4. The adequate and appropriate inclusion of hands-on, demonstration, and
instruction methods;
5. Adequate monitoring of student safety, progress, and
performance during the training.
B. Program management, Training Director, staff, and
consultants.
Adequacy and appropriateness of staff performance and
delivering an effective training program should be considered,
including:
1. Demonstration of the training director's leadership in
assuring quality of health and safety training.
2. Demonstration of the competency of the staff to meet
the demands of delivering high quality hazardous waste employee health and
safety training.
3. Organization charts establishing clear lines of
authority.
4. Clearly defined staff duties including the relationship
of the training staff to the overall program.
5. Evidence that the training organizational structure
suits the needs of the training program.
6. Appropriateness and adequacy of the training methods
used by the instructors.
7. Sufficiency of the time committed by the training
director and staff to the training program.
8. Adequacy of the ratio of training staff to
students.
9. Availability and commitment of the training program of
adequate human and equipment resources in the areas of:
a. Health effects,
b. Safety,
c. Personal protective equipment (PPE),
d. Operational procedures,
e. Employee protection practices/procedures.
10. Appropriateness of management controls.
11. Adequacy of the organization and appropriate resources
assigned to assure appropriate training.
12. In the case of multiple-site training programs,
adequacy of satellite centers management.
C. Training facilities and resources.
Adequacy and appropriateness of the facilities and
resources for supporting the training program should be considered,
including:
1. Space and equipment to conduct the training.
2. Facilities for representative "Hands-on training".
3. In the case of multiple-site programs, equipment and
facilities at the satellite centers.
4. Adequacy and appropriateness of the quality control and
evaluations program to account for instructor performance.
5. Adequacy and appropriateness of the quality control and
evaluation program to ensure appropriate course evaluation, feedback,
updating, and corrective action.
6. Adequacy and appropriateness of disciplines and
expertise being used within the quality control and evaluation
program.
7. Adequacy and appropriateness of the role of student
evaluations to provide feedback for training program improvement.
D. Quality control and evaluation.
Adequacy and appropriateness of quality control and
evaluation plans for training programs should be considered,
including:
1. A balanced advisory committee and/or competent outside
reviewers to give overall policy guidance;
2. Clear and adequate definition of the composition and
active programmatic role of the advisory committee or outside
reviewers.
3. Adequacy of the minutes or reports of the advisory
committee or outside reviewers' meetings or written communication.
4. Adequacy and appropriateness of the quality control and
evaluations program to account for instructor performance.
5. Adequacy and appropriateness of the quality control and
evaluation program to ensure appropriate course evaluation, feedback,
updating, and corrective action.
6. Adequacy and appropriateness of disciplines and
expertise being used within the quality control and evaluation
program.
7. Adequacy and appropriateness of the role of student
evaluations to provide feedback for training program improvement.
E. Students
Adequacy and appropriateness of the program for accepting
students should be considered, including:
1. Assurance that the student already possess the
necessary skills for their job, including necessary documentation.
2. Appropriateness of methods the program uses to ensure
that recruits are capable of satisfactorily completing training.
3. Review and compliance with any medical clearance
policy.
F. Institutional Environment and Administrative
Support
The adequacy and appropriateness of the institutional
environment and administrative support system for the training program
should be considered, including:
1. Adequacy of the institutional commitment to the
employee training program.
2. Adequacy and appropriateness of the administrative
structure and administrative support.
G. Summary of Evaluation Questions
Key questions for evaluating the quality and
appropriateness of an overall training program should include the
following:
1. Are the program objectives clearly stated?
2. Is the program accomplishing its objectives?
3. Are appropriate facilities and staff available?
4. Is there an appropriate mix of classroom,
demonstration, and "Hands-on
training"?
5. Is the program providing quality employee health and
safety training that fully meets the intent of regulatory
requirements?
6. What are the program's main strengths?
7. What are the program's main weaknesses?
8. What is recommended to improve the program?
9. Are instructors instructing according to their training
outlines?
10. Is the evaluation tool current and appropriate for the
program content?
11. Is the course material current and relevant to the
target group?
Suggested Training Curriculum Guidelines
The following training curriculum guidelines are for those
operations specifically identified in 29 CFR 1910.120 as requiring
training. Issues such as qualifications of instructors, training
certification, and similar criteria appropriate to all categories of
operations addressed in 1910.120 have been covered in the preceding
section and are not re-addressed in each of the generic guidelines. Basic
core requirements for training programs that are addressed include:
1. General Hazardous Waste Operations
2. RCRA operations--Treatment, storage, and disposal
facilities.
3. Emergency Response.
A. General Hazardous Waste Operations and Site-specific
Training
1. Off-site training.Training course content for hazardous
waste operations, required by 29 CFR 1910.120(e), should include the
following topics or procedures:
a. Regulatory knowledge.
(1) An review of 29 CFR 1910.120 and the core elements of
an occupational safety and health program.
(2) The content of a medical surveillance program as
outlined in 29 CFR 1910.120(f).
(3) The content of an effective site safety and health
plan consistent with the requirements of 29 CFR 1910.120(b)(4)(ii).
(4) Emergency response plan and procedures as outlined in
29 CFR 1910.38 and 29 CFR 1910.120(l).
(5) Adequate illumination.
(6) Sanitation recommendation and equipment.
(7) Review and explanation of OSHA's hazard-communication
standard (29 CFR 1910.1200) and lock-out-tag-out standard (29 CFR
1910.147).
(8) Review of other applicable standards including but not
limited to those in the construction standards (29 CFR Part 1926).
(9) Rights and responsibilities of employers and employees
under applicable OSHA and EPA laws.
b. Technical knowledge.
(1) Type of potential exposures to chemical, biological,
and radiological hazards; types of human responses to these hazards and
recognition of those responses; principles of toxicology and information
about acute and chronic hazards; health and safety considerations of new
technology.
(2) Fundamentals of chemical hazards including but not
limited to vapor pressure, boiling points, flash points, ph, other
physical and chemical properties.
(3) Fire and explosion hazards of chemicals.
(4) General safety hazards such as but not limited to
electrical hazards, powered equipment hazards, motor vehicle hazards,
walking- working surface hazards, excavation hazards, and hazards
associated with working in hot and cold temperature extremes.
(5) Review and knowledge of confined space entry
procedures in 29 CFR 1910.146.
(6) Work practices to minimize employee risk from site
hazards.
(7) Safe use of engineering controls, equipment, and any
new relevant safety technology or safety procedures.
(8) Review and demonstration of competency with air
sampling and monitoring equipment that may be used in a site monitoring
program.
(9) Container sampling procedures and safeguarding;
general drum and container handling procedures including special
requirement for laboratory waste packs, shock-sensitive wastes, and
radioactive wastes.
(10) The elements of a spill control program.
(11) Proper use and limitations of material handling
equipment.
(12) Procedures for safe and healthful preparation of
containers for shipping and transport.
(13) Methods of communication including those used while
wearing respiratory protection.
c. Technical skills.
(1) Selection, use maintenance, and limitations of
personal protective equipment including the components and procedures for
carrying out a respirator program to comply with 29 CFR 1910.134.
(2) Instruction in decontamination programs including
personnel, equipment, and hardware; "Hands-on training" including level A, B, and C
ensembles and appropriate decontamination lines; field activities
including the donning and doffing of protective equipment to a level
commensurate with the employee's anticipated job function and
responsibility and to the degree required by potential hazards.
(3) Sources for additional hazard information; exercises
using relevant manuals and hazard coding systems.
d. Additional suggested items.
(1) A laminated, dated card or certificate with photo,
denoting limitations and level of protection for which the employee is
trained should be issued to those students successfully completing a
course.
(2) Attendance should be required at all training modules,
with successful completion of exercises and a final written or oral
examination with at least 50 questions.
(3) A minimum of
one-third of the program should be devoted to
hands-on exercises.
(4) A curriculum should be established for the 8-hour
refresher training required by 29 CFR 1910.120(e)(8), with delivery of
such courses directed toward those areas of previous training that need
improvement or reemphasis.
(5) A curriculum should be established for the required
8-hour training for supervisors. Demonstrated competency in the skills and
knowledge provided in a 40-hour course should be a prerequisite for
supervisor training.
2. Refresher training.
The 8-hour annual refresher training required in 29 CFR
1910.120(e)(8) should be conducted by qualified training providers.
Refresher training should include at a minimum the following topics and
procedures:
(a) Review of and retraining on relevant topics covered in
the 40-hour program, as appropriate, using reports by the students on
their work experiences.
(b) Update on developments with respect to material
covered in the 40-hour course.
(c) Review of changes to pertinent provisions of EPA or
OSHA standards or laws.
(d) Introduction of additional subject areas as
appropriate.
(e) Hands-on review of new or altered PPE or
decontamination equipment or procedures. Review of new developments in
personal protective equipment.
(f) Review of newly developed air and contaminant
monitoring equipment.
3. On-site training.
a. The employer should provide employees engaged in
hazardous waste site activities with information and training prior to
initial assignment into their work area, as follows:
(1) The requirements of the hazard communication program
including the location and availability of the written program, required
lists of hazardous chemicals, and material safety data sheets.
(2) Activities and locations in their work area where
hazardous substance may be present.
(3) Methods and observations that may be used to detect
the present or release of a hazardous chemical in the work area (such as
monitoring conducted by the employer, continuous monitoring devices,
visual appearances, or other evidence (sight, sound or smell) of hazardous
chemicals being released, and applicable alarms from monitoring devices
that record chemical releases.
(4) The physical and health hazards of substances known or
potentially present in the work area.
(5) The measures employees can take to help protect
themselves from work-site hazards, including specific procedures the
employer has implemented.
(6) An explanation of the labeling system and material
safety data sheets and how employees can obtain and use appropriate hazard
information.
(7) The elements of the confined space program including
special PPE, permits, monitoring requirements, communication procedures,
emergency response, and applicable lock-out procedures.
b. The employer should provide hazardous waste employees
information and training and should provide a review and access to the
site safety and plan as follows:
(1) Names of personnel and alternate responsible for site
safety and health.
(2) Safety and health hazards present on the site.
(3) Selection, use, maintenance, and limitations of
personal protective equipment specific to the site.
(4) Work practices by which the employee can minimize
risks from hazards.
(5) Safe use of engineering controls and equipment
available on site.
(6) Safe decontamination procedures established to
minimize employee contact with hazardous substances, including:
(A) Employee decontamination,
(B) Clothing decontamination, and
(C) Equipment decontamination.
(7) Elements of the site emergency response plan,
including:
(A) Pre-emergency planning.
(B) Personnel roles and lines of authority and
communication.
(C) Emergency recognition and prevention.
(D) Safe distances and places of refuge.
(E) Site security and control.
(F) Evacuation routes and procedures.
(G) Decontamination procedures not covered by the site
safety and health plan.
(H) Emergency medical treatment and first aid.
(I) Emergency equipment and procedures for handling
emergency incidents.
c. The employer should provide hazardous waste employees
information and training on personal protective equipment used at the
site, such as the following:
(1) PPE to be used based upon known or anticipated site
hazards.
(2) PPE limitations of materials and construction;
limitations during temperature extremes, heat stress, and other
appropriate medical considerations; use and limitations of respirator
equipment as well as documentation procedures as outlined in 29 CFR
1910.134.
(3) PPE inspection procedures prior to, during, and after
use.
(4) PPE donning and doffing procedures.
(5) PPE decontamination and disposal procedures.
(6) PPE maintenance and storage.
(7) Task duration as related to PPE limitations.
d. The employer should instruct the employee about the
site medical surveillance program relative to the particular site,
including:
(1) Specific medical surveillance programs that have been
adapted for the site.
(2) Specific signs and symptoms related to exposure to
hazardous materials on the site.
(3) The frequency and extent of periodic medical
examinations that will be used on the site.
(4) Maintenance and availability of records.
(5) Personnel to be contacted and procedures to be
followed when signs and symptoms of exposures are recognized.
e. The employees will review and discuss the site safety
plan as part of the training program. The location of the site safety plan
and all written programs should be discussed with employees including a
discussion of the mechanisms for access, review, and references
described.
B. RCRA Operations Training for Treatment, Storage and
Disposal Facilities.
1. As a minimum, the training course required in 29 CFR
1910.120 (p) should include the following topics:
(a) Review of the applicable paragraphs of 29 CFR 1910.120
and the elements of the employer's occupational safety and health
plan.
(b) Review of relevant hazards such as, but not limited
to, chemical, biological, and radiological exposures; fire and explosion
hazards; thermal extremes; and physical hazards.
(c) General safety hazards including those associated with
electrical hazards, powered equipment hazards, lock-out-tag-out
procedures, motor vehicle hazards and walking-working surface hazards.
(d) Confined-space hazards and procedures.
(e) Work practices to minimize employee risk from
workplace hazards.
(f) Emergency response plan and procedures including first
aid meeting the requirements of paragraph (p)(8).
(g) A review of procedures to minimize exposure to
hazardous waste and various type of waste streams, including the materials
handling program and spill containment program.
(h) A review of hazard communication programs meeting the
requirements of 29 CFR 1910.1200.
(i) A review of medical surveillance programs meeting the
requirements of 29 CFR 1910.120(p)(3) including the recognition of signs
and symptoms of overexposure to hazardous substance including known
synergistic interactions.
(j) A review of decontamination programs and procedures
meeting the requirements of 29 CFR 1910.120(p)(4).
(k) A review of an employer's requirements to implement a
training program and its elements.
(l) A review of the criteria and programs for proper
selection and use of personal protective equipment, including
respirators.
(m) A review of the applicable appendices to 29 CFR
1910.120.
(n) Principles of toxicology and biological monitoring as
they pertain to occupational health.
(o) Rights and responsibilities of employees and employers
under applicable OSHA and EPA laws.
(p) Hands-on
exercises and demonstrations of competency with equipment
to illustrate the basic equipment principles that may be used during the
performance of work duties, including the donning and doffing of PPE.
(q) Sources of reference, efficient use of relevant
manuals, and knowledge of hazard coding systems to include information
contained in hazardous waste manifests.
(r) At least 8 hours of "Hands-on training".
(s) Training in the job skills required for an employee's
job function and responsibility before they are permitted to participate
in or supervise field activities.
2. The individual employer should provide hazardous waste
employees with information and training prior to an employee's initial
assignment into a work area. The training and information should cover the
following topics:
(a) The Emergency response plan and procedures including
first aid.
(b) A review of the employer's hazardous waste handling
procedures including the materials handling program and elements of the
spill containment program, location of spill response kits or equipment,
and the names of those trained to respond to releases.
(c) The hazardous communication program meeting the
requirements of 29 CFR 1910.1200.
(d) A review of the employer's medical surveillance
program including the recognition of signs and symptoms of exposure to
relevant hazardous substance including known synergistic interactions.
(e) A review of the employer's decontamination program and
procedures.
(f) An review of the employer's training program and the
parties responsible for that program.
(g) A review of the employer's personal protective
equipment program including the proper selection and use of PPE based upon
specific site hazards.
(h) All relevant site-specific procedures addressing
potential safety and health hazards. This may include, as appropriate,
biological and radiological exposures, fire and explosion hazards, thermal
hazards, and physical hazards such as electrical hazards, powered
equipment hazards, lock-out-tag-out hazards, motor vehicle hazards, and
walking-working surface hazards.
(i) Safe use engineering controls and equipment on
site.
(j) Names of personnel and alternates responsible for
safety and health.
C. Emergency response training.
Federal OSHA standards in 29 CFR 1910.120(q) are directed
toward private sector emergency responders. Therefore, the guidelines
provided in this portion of the appendix are directed toward that employee
population. However, they also impact indirectly through State OSHA or
USEPA regulations some public sector emergency responders. Therefore, the
guidelines provided in this portion of the appendix may be applied to both
employee populations.
States with OSHA state plans must cover their employees
with regulations at least as effective as the Federal OSHA standards.
Public employees in states without approved state OSHA programs covering
hazardous waste operations and emergency response are covered by the U.S.
EPA under 40 CFR 311, a regulation virtually identical to Sec.
1910.120.
Since this is a non-mandatory appendix and therefore not
an enforceable standard, OSHA recommends that those employers, employees
or volunteers in public sector emergency response organizations outside
Federal OSHA jurisdiction consider the following criteria in developing
their own training programs. A unified approach to training at the
community level between emergency response organizations covered by
Federal OSHA and those not covered directly by Federal OSHA can help
ensure an effective community response to the release or potential release
of hazardous substances in the community.
a. General considerations.
Emergency response organizations are required to consider
the topics listed in Sec. 1910.120(q)(6). Emergency response organizations
may use some or all of the following topics to supplement those mandatory
topics when developing their response training programs. Many of the
topics would require an interaction between the response provider and the
individuals responsible for the site where the response would be
expected.
(1) Hazard recognition, including:
(A) Nature of hazardous substances present,
(B) Practical applications of hazard recognition,
including presentations on biology, chemistry, and physics.
(2) Principles of toxicology, biological monitoring, and
risk assessment.
(3) Safe work practices and general site safety.
(4) Engineering controls and hazardous waste
operations.
(5) Site safety plans and standard operating
procedures.
(6) Decontamination procedures and practices.
(7) Emergency procedures, first aid, and self-rescue.
(8) Safe use of field equipment.
(9) Storage, handling, use and transportation of hazardous
substances.
(10) Use, care, and limitations of personal protective
equipment.
(11) Safe sampling techniques.
(12) Rights and responsibilities of employees under OSHA
and other related laws concerning right-to-know, safety and health,
compensations and liability.
(13) Medical monitoring requirements.
(14) Community relations.
b. Suggested criteria for specific courses.
(1) First responder awareness level.
(A) Review of and demonstration of competency in
performing the applicable skills of 29 CFR 1910.120(q).
(B) Hands-on experience with the U.S. Department of
Transportation's Emergency Response Guidebook (ERG) and familiarization
with OSHA standard 29 CFR 1910.1201.
(C) Review of the principles and practices for analyzing
an incident to determine both the hazardous substances present and the
basic hazard and response information for each hazardous substance
present.
(D) Review of procedures for implementing actions
consistent with the local emergency response plan, the organization's
standard operating procedures, and the current edition of DOT's ERG
including emergency notification procedures and follow-up
communications.
(E) Review of the expected hazards including fire and
explosions hazards, confined space hazards, electrical hazards, powered
equipment hazards, motor vehicle hazards, and walking-working surface
hazards.
(F) Awareness and knowledge of the competencies for the
First Responder at the Awareness Level covered in the National Fire
Protection Association's Standard No. 472, Professional Competence of
Responders to Hazardous Materials Incidents.
(2) First responder operations level.
(A) Review of and demonstration of competency in
performing the applicable skills of 29 CFR 1910.120(q).
(B) Hands-on experience with the U.S. Department of
Transportation's Emergency Response Guidebook (ERG), manufacturer material
safety data sheets, CHEMTREC/CANUTEC, shipper or manufacturer contacts,
and other relevant sources of information addressing hazardous substance
releases. Familiarization with OSHA standard 29 CFR 1910.1201.
(C) Review of the principles and practices for analyzing
an incident to determine the hazardous substances present, the likely
behavior of the hazardous substance and its container, the types of
hazardous substance transportation containers and vehicles, the types and
selection of the appropriate defensive strategy for containing the
release.
(D) Review of procedures for implementing continuing
response actions consistent with the local emergency response plan, the
organization's standard operating procedures, and the current edition of
DOT's ERG including extended emergency notification procedures and
follow-up communications.
(E) Review of the principles and practice for proper
selection and use of personal protective equipment.
(F) Review of the principles and practice of personnel and
equipment decontamination.
(G) Review of the expected hazards including fire and
explosions hazards, confined space hazards, electrical hazards, powered
equipment hazards, motor vehicle hazards, and walking-working surface
hazards.
(H) Awareness and knowledge of the competencies for the
First Responder at the Operations Level covered in the National Fire
Protection Association's Standard No. 472, Professional Competence of
Responders to Hazardous Materials Incidents.
(3) Hazardous materials technician.
(A) Review of and demonstration of competency in
performing the applicable skills of 29 CFR 1910.120(q).
(B) Hands-on experience with written and electronic
information relative to response decision making including but not limited
to the U.S. Department of Transportation's Emergency Response Guidebook
(ERG), manufacturer material safety data sheets, CHEMTREC/CANUTEC, shipper
or manufacturer contacts, computer data bases and response models, and
other relevant sources of information addressing hazardous substance
releases. Familiarization with OSHA standard 29 CFR 1910.1201.
(C) Review of the principles and practices for analyzing
an incident to determine the hazardous substances present, their physical
and chemical properties, the likely behavior of the hazardous substance
and its container, the types of hazardous substance transportation
containers and vehicles involved in the release, the appropriate strategy
for approaching release sites and containing the release.
(D) Review of procedures for implementing continuing
response actions consistent with the local emergency response plan, the
organization's standard operating procedures, and the current edition of
DOT's ERG including extended emergency notification procedures and
follow-up communications.
(E) Review of the principles and practice for proper
selection and use of personal protective equipment.
(F) Review of the principles and practices of establishing
exposure zones, proper decontamination and medical surveillance stations
and procedures.
(G) Review of the expected hazards including fire and
explosions hazards, confined space hazards, electrical hazards, powered
equipment hazards, motor vehicle hazards, and walking-working surface
hazards.
(H) Awareness and knowledge of the competencies for the
Hazardous Materials Technician covered in the National Fire Protection
Association's Standard No. 472, Professional Competence of Responders to
Hazardous Materials Incidents.
(4) Hazardous materials specialist.
(A) Review of and demonstration of competency in
performing the applicable skills of 29 CFR 1910.120(q).
(B) Hands-on experience with retrieval and use of
written and electronic information relative to response decision making
including but not limited to the U.S. Department of Transportation's
Emergency Response Guidebook (ERG), manufacturer material safety data
sheets, CHEMTREC/CANUTEC, shipper or manufacturer contacts, computer data
bases and response models, and other relevant sources of information
addressing hazardous substance releases. Familiarization with OSHA
standard 29 CFR 1910.1201.
(C) Review of the principles and practices for analyzing
an incident to determine the hazardous substances present, their physical
and chemical properties, and the likely behavior of the hazardous
substance and its container, vessel, or vehicle.
(D) Review of the principles and practices for
identification of the types of hazardous substance transportation
containers, vessels and vehicles involved in the release; selecting and
using the various types of equipment available for plugging or patching
transportation containers, vessels or vehicles; organizing and directing
the use of multiple teams of hazardous material technicians and selecting
the appropriate strategy for approaching release sites and containing or
stopping the release.
(E) Review of procedures for implementing continuing
response actions consistent with the local emergency response plan, the
organization's standard operating procedures, including knowledge of the
available public and private response resources, establishment of an
incident command post, direction of hazardous material technician teams,
and extended emergency notification procedures and follow-up
communications.
(F) Review of the principles and practice for proper
selection and use of personal protective equipment.
(G) Review of the principles and practices of establishing
exposure zones and proper decontamination, monitoring and medical
surveillance stations and procedures.
(H) Review of the expected hazards including fire and
explosions hazards, confined space hazards, electrical hazards, powered
equipment hazards, motor vehicle hazards, and walking-working surface
hazards.
(I) Awareness and knowledge of the competencies for the
Off-site Specialist Employee covered in the National Fire Protection
Association's Standard No. 472, Professional Competence of Responders to
Hazardous Materials Incidents.
(5) Incident commander.
The incident commander is the individual who, at any one
time, is responsible for and in control of the response effort. This
individual is the person responsible for the direction and coordination of
the response effort. An incident commander's position should be occupied
by the most senior, appropriately trained individual present at the
response site. Yet, as necessary and appropriate by the level of response
provided, the position may be occupied by many individuals during a
particular response as the need for greater authority, responsibility, or
training increases. It is possible for the first responder at the
awareness level to assume the duties of incident commander until a more
senior and appropriately trained individual arrives at the response
site.
Therefore, any emergency responder expected to perform as
an incident commander should be trained to fulfill the obligations of the
position at the level of response they will be providing including the
following:
(A) Ability to analyze a hazardous substance incident to
determine the magnitude of the response problem.
(B) Ability to plan and implement an appropriate response
plan within the capabilities of available personnel and equipment.
(C) Ability to implement a response to favorably change
the outcome of the incident in a manner consistent with the local
emergency response plan and the organization's standard operating
procedures.
(D) Ability to evaluate the progress of the emergency
response to ensure that the response objectives are being met safely,
effectively, and efficiently.
(E) Ability to adjust the response plan to the conditions
of the response and to notify higher levels of response when required by
the changes to the response plan.
[54 FR 9317, Mar. 6, 1898, as amended at 55 FR 14073, Apr.
13, 1990; 56 FR 15832, Apr. 18, 1991; 59 FR 43268, Aug. 22, 1994; 61 FR
9227, March 7, 1996]

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