The Globally Harmonized System and OSHA Hazard Communication Revision



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Transcription:

The Globally Harmonized System and OSHA Hazard Communication Revision Presented by: Denese A. Deeds, CIH Industrial Health & Safety Consultants, Inc. Shelton, CT 1

Overview Where are we with implementation of the OSHA Standard (Hazcom 2012)? Specific Issues for Aerosols. What are the compliance dates? What happens if I am not finished on time? OSHA vs Consumer Labeling Canada WHMIS 2015 2

OSHA HCS 2012 Effective Dates The final rule was effective 60 days following publication in the Federal Register (May 25, 2012) Employers had to train employees of the new labels and SDS format by December 1, 2013 Manufacturers/Importers/Distributor and Employers must comply by June 1, 2015 Distributors cannot ship containers without compliant labels after December 1, 2015 Employers must update hazcom program and provide additional training for new hazards by June 1, 2016 3

Implementation OSHA has issued a few interpretive letters for guidance Combustible dust Petroleum Streams classification HNOCs Employer updating MSDS to SDS OSHA has issued guidance to enforcement on combustible dust The classifier must consider not only the hazards of the chemical in the form it is shipped, but also consider the hazards that arise under normal conditions of use and foreseeable emergencies. 4

Other Guidance OSHA has a guidance documents for industry Small entity guidebook Pending Hazard Classification Guidance Compliance directive for Hazard Communication 5

Aerosol Classification OSHA Adopted Rev 3 of the GHS OSHA Standard states Flammable aerosols do not fall additionally within the scope of flammable gases, flammable liquids, or flammable solids Rev 4 of the GHS adds gases under pressure. Aerosols must be additionally classified as compressed gases if the meet the criteria (200 kpa/29psi pressure) under the OSHA Standard 6

What About Canada Canada has taken the same approach as the US Exclusion for Flammable Gas, Flammable Liquid and Flammable Solids (Subparts 2, 6 and 7) Any product that is classified in a category of the hazard class Flammable Aerosol need not be classified in any category of this hazard class. Subpart 5: Gas Under Pressure has no exclusions Therefore, aerosols that meet the pressure criteria of Gas Under Pressure must have that additional classification 7

OSHA / Canada GHS Classification Physical Hazards Flammable Aerosol Category 1 Extremely Flammable Category 2 - Flammable Gas Under Pressure Compressed Gas Other physical hazards (oxidizing, etc) Health Hazards All that apply 8

GHS Revision 4 /EU CLP Classification Physical Hazards Aerosols Category 1 Extremely Flammable Category 2 - Flammable Category 3 (non-flammable aerosol) Other physical hazards (oxidizing, etc) Health Hazards All that apply 9

US/Canada GHS Aerosol Labeling Extremely Flammable Product DANGER Extremely Flammable Aerosol. Contains gas under pressure; may explode if heated. Keep away from heat, sparks, open flames, and hot surfaces. No smoking. Do not spray on an open flame or other ignition source. Pressurized container. Do not pierce or burn, even after use. Protect from sunlight. Do not expose to temperatures exceeding 50 C/122 F. Store in a well-ventilated place 10

US/ Canada GHS Aerosol Labeling Non-Flammable Product WARNING Contains gas under pressure; may explode if heated. Protect from sunlight. Store in a well-ventilated place Optionally you can add any aerosol P phrases you want. 11

Aerosol Testing Issues Classification of aerosols is based on Percent Flammable Components Heat of combustion Ignition Distance Test Enclosed Space Ignition Test Foam Aerosols Flame Height and Duration OSHA has a slight difference is classification based on this data

OSHA Classification 13

Canadian Classification 14

GHS/UN Classification 15

Why Is This Important? You can classify an aerosol with HOC >=20 kj/g as non-flammable if it passes the tests under the OSHA Standard An aerosol with HOC >=20 kg/g is Category 2 elsewhere Practically it may not matter but you may save some testing cost knowing this 16

Consumer Labeling What is a consumer product? OSHA Any consumer product or hazardous substance, as those terms are defined in the Consumer Product Safety Act (15 U.S.C. 2051 et seq.) and Federal Hazardous Substances Act (15 U.S.C. 1261 et seq.) respectively, CPSC A product brought into or around a dwelling and related buildings (Garages, sheds, etc.). Does not include industrial supplies labeled as and marketed solely for industrial use. Includes products designed primarily for professional use but available to consumers in retail stores for non-professional use. 17

Who Governs Consumer Product Labeling? OSHA exempts consumer products from labeling under OSHA (b)(5) This section does not require labeling of the following chemicals: (v) Any consumer product or hazardous substance as those terms are defined in the Consumer Product Safety Act (15 U.S.C. 2051 et seq.) and Federal Hazardous Substances Act (15 U.S.C. 1261 et seq.) respectively, when subject to a consumer product safety standard or labeling requirement of those Acts, or regulations issued under those Acts by the Consumer Product Safety Commission; and, 18

Who Governs Consumer Product Labeling? CPSC mandates labeling for all hazardous substances that are consumer products If your products are sold retail and available for use around the home label per CPSC Dual labeling may be difficult/conflicting Remember OSHA DOES require a SDS 19

Why Not GHS? Hazard definitions are not the same Testing methods may vary Consumers will not be trained on the new labels CPSC permits risk assessments for chronic health hazards 16CFR 1500.135 provide guidance on risk determination. Potential exposure and bioavailability are considered to evaluate risk. Acceptable risk for carcinogens is 1 in one million excess risk. Safety factors are applied to NOEL/LOEL data for others. 20

What if I Cannot Meet June 1 OSHA has issued an enforcement memo updated 5/29 Compliance officers will not enforce for mixtures if Information from upstream RM supplier is not available Mfg. has exercised reasonable diligence and good faith in attempting to obtain needed classification information Must update labels within 6 months of 2012 SDS IF COMPLIANT WITH HAZCOM 1994 21

Supplier Obligations Upstream suppliers must send Hazcom 2012 SDS to customers when available With next shipment Immediately on request Failure to do so will be referred for enforcement 22

Reasonable Diligence / Good Faith Manufacturer must show substantial efforts to Obtain classification/sds from supplier Find information themselves Classify themselves based on data Documentation (a) Develop and document process used to gather information from upstream suppliers and the status of such efforts; (b) Develop and document efforts to find hazard information from alternative sources (c) Provide written account of efforts (dates, copies etc.) (d) Provide written account of continued dialogue with its distributors informing them why it has been unable to comply with HCS 2012; and, (e) Develop the course of action it will follow to make the necessary changes to SDSs and labels. 23

Compliance Extension Manufacturer/Importer must update SDS as soon as possible and labels within 6 months of receiving the needed information Repackagers are chemical manufacturers under Hazcom Citations may be issued after that time Distributors must also document their efforts to obtain compliant SDS and label and on a cases-by-case basis may ship 1994 labeled product until December 1, 2017 (SDS send immediately after receipt) Policy will not extend more than 2 years 24

What about packaged stock? Manufacturers: Existing stock packages for shipment before 6/1/15 No requirement to re-label Must send 2012 labels for each container with the shipment Distributors: Existing stock packages for shipment before 12/1/15 No requirement to re-label Must send 2012 labels for each container with the shipment Distributor must send 2012 SDS as soon as they receive them The HCS Directive will cancel both memos 25

FAQ from OSHA Can you use GHS criteria from newer versions of GHS? For OSHA Hazard Classes no, use OSHA For other hazard classes, OK Small Packages Use fold-out, pull out labels Minimum required Produt identifier, pictogram, signal word, Manufacturer name and phone number, statement that full label on outer package 26

Canada WHMIS 2015 Hazardous Products Regulations Published February 11, 2015 Effective Immediately Transition period ends for manufacturers June 1, 2017 Transition period ends for distributors June 1, 2018 Transition period ends for employers December 1, 2018 27

28

Overview of HPR Adopts Rev 5 of the GHS (other than aerosols) Very similar to US adoption Additional Hazards Covered Biohazardous PHNOC and HHNOC Labeling Refers to the GHS Rev 5 Annex 3 for label elements except Canada specific hazards 29

Overview of HPR SDS Format same as US/GHS Information in Sections 12-15 will not be enforced Labels and SDS must be bilingual Regulation contains small container exemptions Canada and OSHA believe a single SDS and label for NA is the goal. For more information http://www.hc-sc.gc.ca/ewh-semt/occup-travail/whmissimdut/ghs-sgh/classification/hazardous-products-produitsdangereux/index-eng.php 30

Thank You Questions? 31