American Petroleum Institute
OSHARulemakingOSHA-2023-0008

Worker Walkaround Representative Designation Process

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Last modified
Aug 26, 2024
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closed 988d ago
American Petroleum Institute filings
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American Petroleum Institute filed 1 comment on this docket between Nov 15, 2023 and Nov 15, 2023. 122 other organizations filed here. The comment window closed 988d ago.

What American Petroleum Institute filed (1)

Nov 15, 2023· Comment from LeClere, David; American Petroleum Institute (API)· OSHA-2023-0008-1954

Comments from the American Petroleum Institute are attached.

Abstract

OSHA is proposing to amend its Representatives of employers and employees regulation to clarify that a representative authorized by employees; need not be employees of the employer when they are reasonably necessary to aid in the inspection. OSHA is also proposing clarifications of the types of third-party representative(s) authorized by employees who may be reasonably necessary to the conduct of a CSHO's physical inspection of the workplace. OSHA is proposing revisions to the first sentence in 29 CFR 1903.8(c) to clarify that the representative(s) authorized by employees need not be an employee of the employer. Additionally, OSHA is proposing to further clarify the types of third-party representative(s) authorized by employees who may accompany an OSHA Compliance Officer (CSHO).

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