Download:
doc |
pdf
VPP Mobile
Workforce Application Instruction
VPP
APPLICATION INSTRUCTIONS for the
MOBILE
WORKFORCE WAY TO PARTICIPATE
What
follows are instructions for applying to the VPP mobile workforce way
to participate. We encourage you to involve employees and managers
in completing your application. After OSHA reviews and accepts your
written submission, we will schedule an onsite evaluation.
If
you are in a state that operates its own OSHA-approved program, check
with your state agency to learn specifics regarding its VPP
application process.
There
is some paperwork required in the application process, but we
encourage you to use as much existing material as possible. Please
provide a list/index of all materials you choose to attach to your
application.
Most worksites have found that, in the process of applying, they
gain a greater understanding of worker protection and discover ways
to improve their safety and health management system.
VPP
reviewers don’t look for a single correct way to meet VPP
requirements. They want to see a system that works for you. Some
successful safety and health management systems involve substantial
written documentation, and others do not. Small businesses, in
particular, often are able to implement excellent safety and health
processes with relatively little documentation.
If
you need more information, you can contact your nearest OSHA VPP
Manager or Coordinator through OSHA’s Regional and Area
Offices. In addition to answering your questions, your Regional VPP
Manager or Coordinator can refer you to VPP participants in your
area. We encourage you to contact participants. They are happy to
share their experience.
OMB#
1218 – 0239
Expires xx-xx-xxxx
Public
reporting burden for this collection of information is voluntary and
is estimated to average 200 hours per response, including time for
reviewing instructions, searching existing data sources, gathering
and maintaining the data needed, and completing and reviewing the
collection of information. Send comments regarding this burden
estimate, or any other aspect of this collection of information,
including suggestions for reducing this burden to the Office of
Partnerships and Recognition, Department of Labor, Room N-3700, 200
Constitution Avenue, N.W., Washington, DC 20210
I.General
Information
A.Applicant
1.Company/Employer
a)Name
b) Address
c) Mailing Address (if
different from above)
2.Manager
a)Name
b)Title
c)Phone Number
d)E-mail Address
3.VPP
Contact for OSHA correspondence (if different from Manager)
a)Name
b)Title
c)Phone
Number
d)E-Mail Address
B.Designated
Geographic Area (DGA)
1.Identify
the Designated Geographic Area (DGA) you are proposing.
a)A DGA cannot be smaller than an OSHA Area Office
boundary and cannot exceed an OSHA Regional Office boundary
b)OSHA, after consulting with an applicant and
considering the applicant’s preference, will define a
geographic area for VPP participation.
c)The
successful mobile workforce applicant will achieve VPP participation
and receive OSHA recognition for all its temporary work projects and
resident contractor work projects in the DGA.
2.Provide a list
of current work projects, including addresses, within the proposed
DGA, plus a list of work projects expected to be active or scheduled
within the next 12 months.
C.Company/Corporation
1.Name
(if different from above)
2.Address
3.VPP
Contact (if applicable)
a)Name
b)Title
c)Phone
Number
d)E-mail Address
D.Union
Information
Provide
information for each union separately, in accordance with established
guidelines (See Appendix E Union Support for Participation)
1.Full
Name of Union and Local #
2.Authorized
Bargaining Unit Representative’s Name
3.Address
4.Phone
Number
5.E-mail Address
E.Number
of Employees and Contractor/Subcontractor Employees within the
Proposed Designated Geographic Area (DGA)
1. Total
estimated number of employees working at your sites within the
proposed DGA. This total must include regular hires, temporary
employees, and contractor/subcontractor employees.
2. Number
of temporary employees that you supervise within the DGA.
3. Estimated
number of contractor/subcontractor employees within the DGA.
F.Type
of Work Performed, Products Produced, and Typical Hazards
1.Provide
a comprehensive description of the work performed at your sites
within the DGA and the type of products produced.
2. Provide
a description of the types of hazards typically associated with your
industry and your work projects/sites within the proposed DGA.
G.Applicant’s
Industrial Classification Codes
1.Provide
what you believe to be the 6-digit North American Industry
Classification System (NAICS) code and the 4-digit Standard
Industrial Classification (SIC) code that best represents the work
you perform at your sites within the proposed DGA. OSHA will verify
and ultimately will assign you a NAICS code for purposes of VPP.
2.Contact
your Regional VPP Manager or Coordinator if you are having difficulty
identifying an appropriate code. You can also find NAICS and SIC
information on the Bureau of Labor Statistics’ website,
www.bls.gov..
H.Injury and
Illness Performance
See
Appendix A Definitions for explanation of terms; Appendix B for
instructions on calculating injury and illness rates; Appendix C for
an alternative calculation for qualifying small employers; and
Appendix D for VPP’s policy on phasing in contractor rates.
1.Using
information from your OSHA injury and illness logs (OSHA-300),
complete and submit Table 1 in section V. below.
2.Provide
your DGA’s 3-year recordable nonfatal Total Case Incidence Rate
(TCIR) for your combined workforce, that is, all employees, including
regular hires, temporary employees, and contractor/subcontractor
employees.
3.Provide
your DGA’s 3-year recordable nonfatal Days Away from Work,
Restricted Activity, or Job Transfer (DART) incidence rate for your
combined workforce.
I.Participation
Plan
Each
applicant will develop a unique Participation Plan that includes a
discussion of safety and health management system elements that
differ in substance or emphasis from the basic VPP safety and health
management system requirements. See Appendix G for an example of a
Participation Plan.
II.Employee
Support for VPP Participation
A.Your application
for VPP participation must reflect the support of your employees.
B.Unionized
Workforce.
If,
at the time of application, a majority of your employees, including
temporary employees and contractor/subcontractor employees, are
represented by unions, you must provide to OSHA signed documentation
that the unions either support VPP participation or are not opposed
to participation. See Appendix E for more information about this
requirement.
C.Non-union Sites
At
non-union sites, OSHA will verify employee support during onsite
evaluations when the OSHA VPP team interviews employees.
III.Assurances
VPP
applications must include a signed statement affirming the following:
A.Compliance
You
will comply with the Occupational Safety and Health Act (OSH Act) and
will correct in a timely manner all hazards discovered through
self-inspections, employee notification, accident investigations,
OSHA onsite reviews or enforcement inspections, process hazard
reviews, annual evaluations, or any other means. You will provide
effective interim protection as necessary to keep employees safe
while corrections are being made. Federal applicants also agree to
comply with Title 29 of the Code of Federal Regulations (CFR), Part
1960—Basic Program Elements for Federal Employees.
B.Correction of
Deficiencies
You
will correct any work project/site deficiencies related to compliance
with OSHA requirements and identified during any OSHA onsite review.
The correction deadline will depend on the nature of the deficiency,
will be determined by the OSHA VPP Team Leader, and in no instance
will exceed 30 days.
C.System
Implementation and Oversight
The
systems and procedures of the VPP safety and health management system
are in place and effectively maintained at all your work
projects/sites, and management provides effective oversight to assure
VPP-quality safety and health protection throughout the DGA.
D.VPP Elements
Following
approval, you will continue to meet and maintain the requirements of
the elements.
E.VPP
Orientation
All
employees, including newly hired employees, temporary employees, and
contract/subcontractor employees, will have the VPP explained to them
before they perform any work. This explanation will include employee
rights under VPP and under the OSH Act or 29 CFR 1960.
F.Protection from
Discrimination
You
will protect employees engaged in safety and health activities,
including those specifically given safety and health duties as part
of your safety and health management system, from discriminatory
actions resulting from their activities/duties, just as Section 11(c)
of the OSH Act and 29 CFR 1960.46(a) protect employees who exercise
their rights.
G.Employee Access
to Information
Employees
will have access to the results of self-inspections, accident
investigations, and other safety and health management system data
upon request. For a unionized workforce, this requirement may be met
through employee representative access to these
results.
H.Documentation
To
enable OSHA to determine initial and continued VPP approval, you will
maintain and make available for OSHA review the following
information:
1.The written
safety and health management system.
2.All
documentation enumerated under Section VI.C.6.e-f of the January 9,
2009 Federal Register Notice.
3.Any agreements
between management and authorized collective bargaining agent(s)
concerning safety and health.
4.Any
data necessary to evaluate the achievement of individual Merit or
One-Year Conditional goals, if applicable.
I.Annual
Submission
Each
year by February 15, you will submit to your designated OSHA VPP
Contact the following information: Mobile Workforce Participants
Injury and Illness Rates
1.Injury
and Illness Rates.
These
rates will include all employees over whom the applicant has
responsibility and authority for safety and health, including regular
hires, plus temporary employees and contractor/subcontractor
employees.
2.The DGA’s
total recordable case incidence rate (TCIR) for injuries and
illnesses for the previous calendar year.
3.The DGA’s
incidence rate for cases involving days away from work, restricted
work activity, and job transfer (DART rate) for the previous calendar
year.
4.If
you do not maintain rate information for your
contractors/subcontractors, you may still apply using the phase-in
policy. See Appendix D for more information on the phase-in policy
if relevant to your application.
5.The total number
of cases for each of the above two rates.
6.Total hours
worked.
7.Estimated
average employment for the past full calendar year.
8.Annual
Self-Evaluation. A copy of the most recent annual self-evaluation of
your safety and health management system, in the format and including
the information specified by OSHA. Indicate any changes in the
percentage of employees represented by unions that would have the
effect of changing your union support requirement.
9.A description of
any success stories, such as reductions in workers’
compensation rates or increases in employee involvement.
J.Organizational
Changes
Whenever
a significant organizational or ownership change occurs, you will
provide OSHA within 60 days
a new Statement of Commitment signed by both management and, when
applicable, any authorized collective bargaining agents.
K.Collective
Bargaining Unit Changes
Because
the percentage of employees represented by unions within the DGA may
change, you will report to OSHA, as part of your annual
self-evaluation, any change in
this percentage that may have the effect of changing your union
support requirement. Whenever a change occurs in the authorized
collective bargaining unit representative, you will provide OSHA
within 60 days a new signed statement indicating that the new
representative supports VPP participation.
L.OSHA Visit
Whenever
OSHA needs to visit a particular work project that you do not
control, you will inform and gain written permission from the
host/controlling employer for OSHA to enter. You understand that
OSHA, prior to its visit, will give reasonable notice to the
host/controlling employer.
M.Project Lists
1.You
will
provide OSHA by February 15 of each year a list including addresses
of all active work projects/sites plus all work projects/sites
scheduled or expected to commence within the next 12 months within
the DGA.
2.The
site list must identify sites where written permission has been
obtained authorizing OSHA to send a VPP
team to conduct an onsite evaluation.
3.At
the time of application there
must be at least one active site and one additional site
scheduled within the DGA. These may be mobile work projects/sites,
resident contract sites, or a combination of both.
IV.VPP
Safety and Health Management System
Describe
your written safety and health management system, including safety
and health policies, procedures, systems, and programs. See Appendix
A Definitions for an explanation of how the term safety and health
management system is used in VPP.
Program
descriptions must contain pertinent information that clearly explains
the management and administration of the program, such as
responsibilities and types of documentation maintained. Include
those systems applicable to operations considered highly hazardous
(e.g., Lockout/Tagout, Confined Space, Process Safety Management) and
those considered non-routine.
Please
provide a list/index for any supporting documentation you choose to
attach to the written description of the program.
A.Management
Leadership and Employee Involvement
1.Commitment
Management
must clearly demonstrate its commitment to meeting and maintaining
the requirements of the VPP and taking ultimate responsibility for
worker safety and health. Attach
a copy of your top-level safety policy specific to your operations
within the DGA.
2.Organization
a)Briefly describe how your company’s safety and
health function fits into your overall management organization.
b)Attach a copy of your organization chart.
3.Authority and
Responsibility
a)Describe
what authority and responsibility you give managers, supervisors, and
regular employees regarding safety and health and hazard mitigation
b)Include
authority and responsibility for safety and health at sites where
employees work with little or no supervision.
4.Accountability
a)Briefly
describe your accountability system used to hold managers, line
supervisors, and employees responsible for safety and health.
Examples are job performance evaluations, disciplinary policies, and
contract language.
b)Describe system documentation.
5.Resources
a)Identify
the available safety and health resources. Describe the safety and
health professional staff available, including appropriate use of
certified safety professionals (CSP), certified industrial hygienists
(CIH), other licensed health care professionals, and other experts as
needed, based on the risks at your work projects/sites.
b)Identify any external resources (including corporate
office and private consultants) used to help with your safety and
health management system.
6.Goals and
Planning
a)Identify
your annual plans that set specific safety and health goals and
objectives.
b)Describe how planning for safety and health fits
into your overall management planning process.
7.Self-Evaluation
a)Provide
a copy of the most recent annual self-evaluation of your safety and
health management system within the proposed DGA. Include
assessments of the effectiveness of the VPP elements listed in these
application guidelines, documentation of action items completed, and
recommendations for improvement.
b)Describe how you prepare and use the
self-evaluation.
8.Employee
Involvement
a) List
at least three meaningful ways employees/subcontractors are involved
in your safety and health management system. These must be in
addition to employees/subcontractors reporting hazards and attending
training.
b) Provide
specific information about decision processes in which
employees/subcontractors participate, for example, hazard assessment,
inspections, safety and health training, and/or evaluation of the
safety and health management system.
9.Employee
Notification
Describe
how you notify employees about site participation in the VPP, their
right to register a complaint with OSHA, and their right to obtain
reports of inspections and accident investigations upon request.
Methods may include new employee orientation, intranet or email if
all employees have access, bulletin boards, toolbox talks, or group
meetings.
10.Contractor/Subcontractor
Safety and Health
a)If
applicable, describe the process used for selecting
contractors/subcontractors to perform jobs at your work
projects/sites.
b)Describe
your documented oversight and management system for ensuring that all
contract workers who do work for you within the DGA enjoy the same
safe and healthful working conditions and the same quality protection
as your regular employees.
11.Site
Maps
Attach
any project/site maps you believe may be helpful to the application
reviewer.
12.Pre-screening
and Oversight
Describe
the process used at the corporate level to ensure and verify that
projects/sites within the DGA are effectively implementing and
maintaining your safety and health management system policies and
procedures.
B.Worksite
Analysis
1.Baseline Hazard
Analysis
a)Describe
the methods you use for baseline hazard analysis to identify hazards
associated with your specific or typical work environments at
projects/sites within the DGA. For example, air contaminants, noise,
or lead.
b)Identify
the safety and health professionals involved in the baseline
assessment and subsequent needed surveys.
c)Explain any sampling rationale and strategies for
industrial hygiene surveys if required.
2.Hazard Analysis
of Routine Jobs, Tasks, and Processes
a) Describe
the system you use (when, how, who) for examination and analysis of
safety and health hazards associated with routine tasks, jobs,
processes, and/or phases.
(1) You
should base priorities for hazard analysis on historical evidence,
perceived risks, complexity, and the frequency of jobs/tasks
completed at your work projects/sites.
(2) In
construction, the emphasis must be on special safety and health
hazards of each craft and phase of work.
b) Provide
specific examples of some analyses you have performed and any forms
used.
3.Hazard Analysis
of Significant Changes
Explain
how, prior to activity or use, you analyze significant changes to
identify uncontrolled safety and health hazards and the actions
needed to eliminate or control these hazards. Significant changes
may include non-routine tasks and new processes, materials,
equipment, and work projects/sites.
4.Self-Inspections
a)Describe
the safety and health routine general inspection procedures you use
at your work projects/sites. Indicate how often you conduct
self-inspections.
b)Indicate
who performs inspections, and their level of hazard recognition
training and safety and health competency
c)Describe
how you track any hazards through to elimination or control.
d)For
routine health inspections, summarize the testing and analysis
procedures used and qualifications of personnel who conduct them.
e)Include
some completed forms used for self-inspections.
5.Employee Reports
of Hazards
a)Describe
the different ways employees/subcontractors notify management of
uncontrolled safety or health hazards. NOTE: An opportunity to use
a written form to notify management about safety and health hazards
must be part of your reporting system.
b)Explain
procedures for follow up and tracking corrections and reporting back
to employees.
c)If
you do not always serve as the controlling employer, describe how you
handle hazards affecting your employees/subcontractors that may be
created by a controlling employer or other subcontractor at a work
project/site.
6.Accident and
Incident Investigations
a)Describe your written procedures for investigation
of employee/subcontractor accidents, near misses, first-aid cases,
and other incidents.
b)What training do investigators receive?
c) How do you determine which accidents or incidents
warrant investigation?
d)Describe
how you use investigation results.
7.Trend Analysis
a)Describe
the system you use for safety and health data analysis.
b)Indicate how you collect and analyze data from all
sources, including injuries, illnesses, near-misses, first-aid cases,
work order forms, incident investigations, inspections, and
self-audits.
c)Describe
how you use analysis results.
C.Hazard
Prevention and Control
Applicants
and participants must be in compliance with any hazard control
program required by an OSHA standard, such as PPE, Respiratory
Protection, Lockout/Tagout, Confined Space Entry, Process Safety
Management (PSM), Bloodborne Pathogens, etc. VPP applicants and
participants must periodically review these programs (most OSHA
standards require an annual review) to ensure they are up-to-date.
Applicants
and participants who are covered by the PSM standard must
additionally submit answers to all applicable questions found in the
VPP PSM Application Supplement A. (Other Supplements will be used
during annual self-evaluations and OSHA onsite approval/reapproval
visits. See PSM Supplements in Appendix A Definitions)
1.Hierarchy of
Controls
a)Engineering Controls
(1)Describe
and provide specific examples of engineering controls you have
implemented that either eliminated or limited hazards by reducing
their severity, their likelihood of occurrence, or both. Engineering
controls include, for example, reduction in pressure or amount of
hazardous material, substitution of less hazardous material,
reduction of noise produced, fail-safe design, leak before burst,
fault tolerance/redundancy, and ergonomic design changes.
(2)Although
not as reliable as true engineering controls, this category also
includes protective safety devices such as guards, barriers,
interlocks, grounding and bonding systems, and pressure relief valves
to keep pressure within a safe limit.
b)Administrative Controls
(1)Briefly
describe the ways you limit daily exposure to hazards by adjusting
work schedules or work tasks, for example, job rotation.
c)Work Practice Controls
(1)Describe
and provide examples of your work practice controls. These include,
for example, workplace rules, safe and healthful work practices,
specific programs to address OSHA standards, and procedures for
specific operations that require permits, labeling, and
documentation.
(2)Identify
major technical programs and regulations that pertain to your work
projects/sites, such as lockout/tagout, process safety management,
hazard communication, machine guarding, and fall protection.
d)Personal Protective Equipment
Describe
and provide examples of required personal protective equipment your
employees/subcontractors use and what PPE the OSHA team members will
need to bring to your work projects/sites.
2. Enforcement
of Safety and Health Rules
Describe
the procedures you use for disciplinary action or reorientation of
managers, supervisors, and other employees/subcontractors who break
or disregard safety and health rules.
3. Preventive/Predictive
Maintenance
a) Summarize
your written system for monitoring and maintaining workplace
equipment to predict and prevent equipment breakdowns that may cause
hazards.
b) Provide
a brief summary of the type of equipment covered.
4. Occupational
Health Care Program
a) Describe
your onsite and offsite medical service and physician availability.
b) Explain
how you utilize the services of licensed occupational health care
professionals.
c) Indicate
the coverage provided by employees trained in first aid, CPR, and
other paramedical skills, their training, and available equipment.
5. Emergency
Preparedness
a) Describe
your employee/subcontractor emergency planning and preparedness
system. Provide information on emergency drills and training,
including evacuations. Describe how emergency procedures are
communicated to all new employees, subcontractor employees, and
visitors upon their initial arrival at a jobsite.
b) As
applicable, address how you ensure VPP-quality emergency preparedness
in light of the mobile nature of your workforce.
D.Safety and
Health Training
1.Describe the
formal and informal safety and health training provided for managers,
supervisors, and employees/subcontractors.
2.Identify
training protocols, schedules, and information provided to
supervisors and employees/subcontractors on programs such as hazard
communication, personal protective equipment, and handling of
emergency situations.
3.Describe
how you verify the effectiveness of the training you provide.
V.Injury
and Illness Performance
See
Appendix A for definitions of terms; Appendix B for instructions on
calculating injury and illness rates; Appendix C for an alternative
calculation for qualifying small employers; and Appendix D for VPP’s
policy on phasing in contractor rates.
A.Mobile Workforce
Injury and Illness Rate Requirements
1.To
qualify for VPP Star, both your DGA 3-year Total Case Incidence Rate
(TCIR) and your DGA 3-year Days Away, Restricted Activity, Job
Transfer (DART) rate must be below at least 1 of the 3 most recent
years of specific industry national averages for nonfatal injuries
and illnesses at the most precise level published by the U.S.
Department of Labor’s Bureau of Labor Statistics (BLS).
2.OSHA
will compare all submitted rates against the most advantageous single
year that would qualify the applicant out of the last 3 published
years.
3.If,
after completing Table 1 (see V.B. below), you determine that either
your 3-year TCIR, DART rate, or both are at or above your industry’s
average in all 3 comparison years, you still may qualify for VPP
participation at the Merit level. If this is the case, specify your
short- and long-term goals for reducing your rates to a level below
the industry average, thereby achieving Star rate requirements.
Include specific methods you will use to address this problem. It
must be feasible to reduce rates sufficiently to meet Star rate
requirements within 2 years.
B.TABLE
1: Mobile Workforce Injury and Illness Rate Calculations for All
Work Projects/Sites within the DGA
1.Table
1 tracks the “combined workforce injury and illness rates”
of all employees over whom the applicant has responsibility and
authority for safety and health. These rates must be calculated from
data that combine the applicant’s regular workforce employees,
temporary employees, and all contractor/ subcontractor employees
within the DGA.
2.OSHA
considers the most recent 3-year recordable injury and illness
experience for all work conducted within the DGA (including work
conducted by contractors and subcontractors for the applicant) and
compares the combined workforce experience with industry averages
published by the Bureau of Labor Statistics.
3.Calculate
the 3-year recordable Total Case Incidence Rate (TCIR) for your
combined workforce within the DGA.
4.Calculate
the 3-year recordable incidence rate for cases involving days away
from work, restricted work activity, and job transfer (DART rate).
5.Alternative
Rate Calculation.
Some applicants, usually smaller employers with a limited number of
employees/contractors/subcontractors and/or hours worked, may use an
alternative method for calculating incidence rates. Review Appendix
C for more information about the alternative rate calculation.
6.Phase-in
of combined workforce injury and illness rate requirement.
OSHA expects to receive a 3-year combined workforce TCIR and DART
rate from each mobile workforce applicant. However, for a limited
time period, a phase-in of this combined workforce rate requirement
is available for applicants who do not maintain sufficient
contractor/subcontractor data. Review Appendix D for more
information about the phase-in policy if relevant to your
application.
TABLE
1: Mobile Workforce Applicant/Participant Recordable Nonfatal
Injury and Illness Case Incidence Rates for All Work within the
Designated Geographic Area (DGA)
|
|
A
|
B
|
C
|
D
|
E
|
F
|
G
|
H
|
I
|
Year
|
Total
Work Hours
|
Total
Number of Injuries
|
Total
Number of Illnesses
|
Sum
of Injuries and Illnesses
|
TCIR
for Injuries and Illnesses
|
Total
# of Injuries Involving DART
|
Total
# of Illnesses Involving DART
|
Sum
of Injury & Illness Cases
Involving DART
|
DART
Rate
|
3
Years Ago
(annual)
|
|
|
|
|
|
|
|
|
|
2
Years Ago
(annual)
|
|
|
|
|
|
|
|
|
|
Last
Year
(annual)
|
|
|
|
|
|
|
|
|
|
3
Year Totals
& Rates
|
|
|
|
|
|
|
|
|
|
BLS
Rates for NAICS code_________
Year 1 (3 years ago)
Year
2 (2 years ago)
Year 3 (last year)
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
Percent
above or below BLS year ______ National Average (compare both your
3-year rates with the single most advantageous year)
|
|
|
|
|
|
Appendix
A: Definitions
The
following definitions apply to use of these terms within OSHA’s
Voluntary Protection Programs (VPP).
1-Year
Conditional
Goal.
A target for correcting deficiencies in safety and health management
system elements or sub-elements identified by OSHA during the onsite
evaluation of a Star participant. Such deficiencies, which indicate
that a site no longer fully meets Star requirements, must be
corrected within 90 days, and the participant must then operate at
the Star level for 1 year for the participant’s conditional
status to be lifted. Failure to meet this requirement will result in
termination from VPP.
2-Year
Rate Reduction Plan.
A strategy employed whenever a Star participant’s 3-year rates
rise above the national average and call into question the
participant’s continuing VPP qualification. The plan is
developed jointly by the participant and OSHA and must be approved by
the Regional Administrator. It must identify and address any safety
and health management system deficiencies related to the high rates,
correction methods, and timeframes, and must include quarterly
participant progress reports.
90-Day
Items.
Compliance-related issues that must be corrected within a maximum of
90 days, with effective protection provided to employees in the
interim.
Annual
Self-Evaluation.
A participant’s yearly self-assessment to gauge the
effectiveness of all required VPP elements and any other elements of
the participant’s safety and health management system.
Annual
Submission.
1. A
document written by a participant and submitted to OSHA by February
15th
each year, consisting of the following information: Updated names
and addresses; the participant’s and applicable contractors’
injury and illness case numbers and rates, average annual employment
and hours worked for the previous calendar year; a copy of the most
recent annual self-evaluation of the participant’s safety and
health management system; descriptions of significant changes or
events; progress made on the previous year’s recommendations;
Merit or 1-Year Conditional
goals (if applicable); any success stories; and any other information
required by OSHA.
2. In
addition, participants covered by the Process Safety Management
Standard (PSM) are required to respond to applicable questions from
the annual VPP PSM questionnaire.
3. In
addition, participants who have been approved within a Designated
Geographic Area (DGA) must submit a list, including addresses, of all
active worksites plus a second list of any work projects scheduled or
projected to begin during the upcoming year.
Applicable
Contractor.
An employer who has contracted with a General Industry, Maritime, or
Federal Agency (non-construction) site-based
applicant/participant to provide specified services and whose
employees:
1. Worked
at least 1,000 hours at the VPP site-based applicant/participant’s
worksite in any calendar quarter within the last 12 months.
2. Are
not directly supervised in day-to-day activities by
applicant/participant’s management.
The
concept of applicable contractor does not include temporary employees
or other contractor employees who are regularly intermingled with a
site-based applicant/participant’s employees and under direct
supervision by management. Moreover, construction
applicants/participants do not break out this category of employee.
Therefore, applicable contractor reporting requirements do not apply
to applicants/participants whose main activity is construction,
regardless of the chosen way to participate.
Accepted
Application.
An application that has been reviewed by the Regional Office -- or
the National Office for certain corporate and Demonstration Program
applications -- and found to be complete. Also referred to as a
completed application.
Backup
Team Leader.
A member of an onsite evaluation team who provides assistance to the
team leader and can assume his/her duties when necessary.
Combined
Workforce.
An applicant/participant’s regular workforce employees,
including temporary employees, plus all contractor/subcontractor
employees. Mobile workforce applicants/participants and all
construction applicants/participants must use combined workforce data
when calculating and reporting injury and illness rates.
Compliance
Officer.
A Federal compliance safety and health officer (CSHO).
Compressed
Approved Process.
A VPP onsite evaluation procedure that OSHA may choose to employ for
site-based Star participants seeking reapproval and meeting specified
criteria. A
CAP evaluation examines all the VPP elements assessed during a
standard onsite evaluation but places particular attention on changes
since the last evaluation and the most recent annual self-evaluation.
Contract
Employees.
Those individuals who are employed by a company that provides
services under contract to the VPP applicant/participant, usually at
the VPP applicant/participant’s worksite.
Corporate
Participation.
See Way to Participate, below. A category
of participation available to large corporations that provides
streamlined application and approval procedures. To qualify, the
corporation must (1)
commit to bringing into VPP multiple site-based facilities and/or
worksites within Designated Geographic Areas (DGAs); (2) utilize a
standardized safety and health management system organization-wide;
and (3) employ pre-screening processes at all applicant
facilities/DGAs before applying for VPP approval and ongoing
oversight once approved.
Days
Away, Restricted, and/or Transfer Case Incidence Rate
(DART rate).
The
rate of all injuries and illnesses resulting in days away from work,
restricted work activity, and/or job transfer. This rate is
calculated for an individual worksite, all worksites within an
applicant/participant’s Designated Geographic Area (DGA), or
all worksites of an employer for a specified period of time (usually
1 or 3 years).
Directorate
of Cooperative and State Programs (DCSP).
The
OSHA Directorate responsible for coordinating and overseeing OSHA’s
VPP and other cooperative programs, located in OSHA’s National
Office.
DCSP
Regional Coordinator.
A DCSP VPP staff member who is assigned to coordinate VPP-related
regional activities, including the review and processing of reports
and resolution of policy issues.
Demonstration
Program.
The program within VPP that enables employers with VPP-quality
safety and health protection to test alternatives to current VPP
eligibility and performance requirements. If a Demonstration Program
is judged successful, its alternative ways to achieve safety and
health excellence may lead to changes in VPP criteria.
Federal
Register.
The official Federal government publication, issued by the
Government Printing Office (GPO), in which OSHA announces the
philosophy and criteria for VPP approval and participation in a
public notice commonly referred to as the VPP Federal Register Notice
or the Federal Register Notice.
General
Contractor.
A construction site owner or site manager who controls construction
operations and has contractual responsibility for assuring safe and
healthful working conditions at a worksite.
Injury/Illness
Rates.
Numerical rates that:
1. Represent
an applicant/participant’s nonfatal recordable injuries and
illnesses at an individual worksite or within a Designated Geographic
Area.
2. Are
an important factor when OSHA assesses an applicant/participant’s
qualification for VPP.
Mentoring.
The assistance that a VPP participant provides to another employer
to prepare that employer for VPP application and/or to improve that
employer’s safety and health management system.
Merit
Goal.
A target for improving one or more deficient safety and health
management system elements for a participant approved to the Merit
program. A Merit goal must be met in order for a participant to
achieve Star status.
Merit
Program.
The program within VPP designed for employers that have demonstrated
the potential and commitment to achieve Star quality, but that need
to further improve their safety and health management system and/or
injury and illness performance. OSHA gives a Merit Program
participant specified Merit goals that it must meet in order to
achieve Star status and continue within VPP.
Mobile
Workforce Participation.
See Way to Participate, below. A category of participation
available to employers whose work is characterized by short-term
operations and employees who move physically from one work project to
another; or resident contractor operations performed at two or more
fixed worksites. Distinguishing features of mobile workforce
participation include a Participation Plan unique to the
applicant/participant and a Designated Geographic Area (DGA).
Onsite
Assistance Visit.
A visit to an applicant/participant by an OSHA VPP Manager,
Compliance Assistance Specialist, or other non-enforcement personnel,
to offer assistance including, for example, help with the VPP
application, a records review, and/or general observations about the
employer’s safety and health management system.
Onsite
Evaluation.
A visit to an applicant/participant worksite or headquarters by an
OSHA onsite evaluation team to determine whether the
applicant/participant qualifies for initial approval, continued
participation, or advancement within VPP.
Onsite
Evaluation Report.
A document written by the OSHA onsite evaluation team and consisting
of the site report and site worksheet. This document contains the
team’s assessment of an applicant/participant’s safety
and health management system and its implementation, a review of
injury and illness rates, and the team’s recommendation
regarding approval of the applicant or reapproval of the participant
to VPP.
Onsite
Evaluation Team.
An interdisciplinary group of OSHA professionals and sometimes other
government employees who conduct onsite evaluations. The team
normally consists of a team leader, a backup team leader, safety and
health specialists, and other specialists as appropriate.
Outreach.
Assistance and information a VPP participant provides to prospective
VPP applicants, other employers, employer and employee organizations,
and the general public, for the purpose of promoting safety and
health principles and practices and VPP. Outreach activities
include, but are not limited to:
1. Conducting
VPP workshops at conferences.
2. Conducting
safety and health training workshops.
3. Holding
community safety days.
4. Serving
as an advocate for VPP within the business community.
5. Participation
in OSHA Strategic Partnerships, OSHA Challenge, and Alliances.
6. Making
presentations on safety and health topics at conferences and other
venues.
Participation
Plan.
A unique, written strategy submitted to OSHA by a mobile workforce
applicant as part of its VPP application. A participation plan:
1. Explains
how the applicant’s safety and health management system
protects employees who move from one worksite/project to another.
2. May
include a
discussion of safety and health management system elements that
differ in substance or emphasis from the basic VPP system
requirements.
3. Must
include a proposed Designated Geographic Area (DGA) for VPP
participation.
A
Sample Participation Plan is included in the Mobile Workforce
Application Instructions.
Pre-screening.
An
internal process, applicable to the mobile workforce and corporate
ways to participate, to ensure and verify that sites/DGAs:
1. Are
effectively implementing the applicant/participant’s safety and
health management system policies and procedures.
2. Meet
all applicable VPP requirements, including, following approval, the
requirement to continuously improve. For the corporate way to
participate, applicant sites are expected to meet VPP Star
requirements.
3. For
the corporate way to participate, that sites/DGAs have completed the
VPP application before submitting it to OSHA
Often
used in conjunction with the term “oversight,”, as in
“pre-screening and oversight,” to indicate the continuing
need, following VPP approval, for corporate/DGA monitoring of
participating sites to ensure they maintain and improve their safety
and health management systems.
Process
Hazard Analysis (PHA).
For the purpose of VPP, a PHA is an organized and systemic effort to
identify and analyze the significance of potential hazards associated
with the processing or handling of highly hazardous chemicals.
Process
Safety Management (PSM).
A reference to OSHA standard 29 CFR 1910.119 and 1926.64, which
covers all employers who either use or produce highly hazardous
chemicals exceeding specified limits.
PSM
Level 1 Auditor.
1. An
OSHA employee with experience in the chemical processing or refining
industries. A PSM Level 1 Auditor is responsible for evaluating
employer PSM operations during OSHA VPP visits (or inspecting PSM
operations during OSHA enforcement inspections).
2. Specific
requirements for a PSM Level 1 Auditor include:
OSHA
Training Institute (OTI) Course 3300, Safety and Health in the
Chemical Processing Industries.
OTI
Course 3400, Hazard Analysis in the Chemical Processing Industries.
Advanced
training such as OTI Course 3410, Advanced Process Safety
Management, or other equivalent specialized seminars in PSM.
Prior
experience with chemical industry safety. This should include
experience obtained in any one of the following ways:
Through
accident investigations in chemical, petrochemical, or refinery
plants involving fires, explosions, and/or toxic chemical releases;
Through
previous chemical inspections involving process safety management
evaluations; or
Through
previous chemical industry employment.
3. Special
Government Employees may alternatively serve in the capacity of a PSM
Level 1 Auditor upon demonstrating training and experience equivalent
to the above requirements.
PSM
Supplements.
1. PSM
Supplement A.
Also known as the PSM Application Supplement or the static list. A
series of questions designed to establish a basic understanding of a
VPP applicant’s PSM policies and procedures. Applicants
covered by the PSM Standard must submit responses to all questions on
the PSM Application Supplement when they submit their written VPP
application.
2. PSM
Supplement B.
Also known as the PSM Annual Questionnaire. A document compiled
annually by OSHA that uses selected questions from OSHA’s
Dynamic Inspection Priority Lists, also known as the dynamic question
lists. The selected questions change from year to year. The PSM
Questionnaire must be completed and submitted each year by VPP
participants covered under the PSM standard as part of their annual
submission to OSHA.
3. PSM
Supplement C.
Also known as the PSM Onsite Evaluation Questionnaire.
Questions selected by the VPP Onsite Evaluation Team
Leader and PSM Level 1 or equivalent team members from OSHA's
dormant PSM Inspection Priority Lists, also known as the
dynamic question lists. The questions are selected just prior to
commencing a VPP onsite evaluation and presented to the VPP
applicant/participant during the evaluation. Normally, each
applicant/participant covered by the PSM standard will receive a
different set of questions at the time of the preapproval onsite
evaluation and then during each subsequent onsite reevaluation.
Recommendations.
Suggested improvements noted by the onsite evaluation team that are
not requirements for VPP participation but that would enhance the
effectiveness of the applicant/participant’s safety and health
management system. (Compliance with OSHA standards is a requirement,
not a recommendation.)
Resident
Contractor.
For the purpose of VPP, resident contractor refers to a company
that:
1. Provides
ongoing, long term onsite services to a host employer.
2. Normally
will occupy a recognizable, delineated work area within the host
employer’s site.
Safety
and Health Management System.
For the purposes of VPP, a method of preventing employee fatalities,
injuries and illnesses through the ongoing planning, implementation,
integration, and control of four interdependent elements: Management
Leadership and Employee Involvement; Worksite Analysis; Hazard
Prevention and Control; and Safety and Health Training.
Site-Based
Participation.
See Way to Participate, below. A category of VPP participation
characterized by fixed, ongoing or long-term work operations at a
single facility. It is available to employers of private-sector
fixed worksites in general industry and the maritime industry;
Federal-sector fixed worksites; and certain long-term construction
worksites. These employers must control site operations and have
ultimate responsibility for assuring safe and healthful working
conditions. Site-based participation also is available to resident
contractors at site-based VPP participants; and to resident
contractors who are part of a larger organization approved under the
corporate way to participate and who operate at a non-participating
fixed worksite.
Small
Business.
A company having no more than 250 employees at any one facility, and
no more than 500 employees nationwide.
Special
Government Employee
(SGE).
An employee volunteer from a VPP participant or corporation who is
knowledgeable in safety and health management system assessment,
formally trained by OSHA in the policies and
procedures of the VPP, and determined by OSHA to be qualified to
perform VPP onsite evaluations. An SGE may participate as a team
member on VPP onsite evaluations. The OSHA directive governing the
VPP Special Government Employee Program is CSP
03-01-001, Policies and Procedures Manual for Special Government
Employee (SGE) activity conducted under the auspices of the
Occupational Safety and Health Administration's (OSHA) Voluntary
Protection Program, Jan. 4, 2002.
Star
Program.
The program within VPP designed for participants whose safety and
health management systems operate in a highly effective,
self-sufficient manner and meet all VPP requirements. Star is the
highest level of VPP participation.
State
Plan.
A state-operated occupational safety and health program that has
received approval and partial funding from Federal OSHA. The states
that operate approved State Plans are commonly referred to as State
Plan states.
Team
Leader.
The OSHA staff person who coordinates the OSHA onsite evaluation
team and ensures the performance of all evaluation activities.
Temporary
Employees.
Employees hired on a non-permanent basis by the
applicant/participant. Temporary employees are grouped with regular
hires for purposes of calculating employer injury and illness rates.
Termination.
OSHA’s formal removal of a VPP participant from the program.
Alternatively, the act of ending a Demonstration Program.
Total
Case Incidence Rate
(TCIR).
A number that represents the total nonfatal recordable injuries and
illnesses per 100 full-time employees. This rate is calculated for
an individual worksite, all worksites within an
applicant/participant’s Designated Geographic Area (DGA), or
all worksites of an employer for a specified period of time (usually
1 or 3 years).
VPP
Activity Log.
The monthly log of VPP activity that is submitted to DCSP by the
Regional Offices.
VPP
Annual Data Spreadsheet.
The yearly report prepared by the Regional VPP Manager and submitted
electronically to DCSP that provides information on the annual TCIR
and DART rates
of participants.
VPP
Application Status Report.
A monthly report prepared by the Regional VPP Manager and submitted
to DCSP that provides information on VPP applications, including the
number of applications pending in the Region and the number of
applicants whose onsite evaluation has not yet begun.
VPP
Approval Ceremony.
An event planned by the approved
participant
and normally held at the participant’s
approved work location or headquarters,
where a representative from OSHA recognizes the participant’s
achievement and,
for initial program approvals, presents the VPP plaque and VPP flag.
VPP
Automated Data System (VADS).
A database that includes information on approved VPP participants
(under Federal or State Plan jurisdiction) and VPP applicants (under
Federal jurisdiction).
VPP
Manager.
The OSHA employee directly responsible for the day-to-day operations
of the VPP in a particular OSHA Region.
VPP
Participant Representative.
The applicant/participant employee designated as the primary contact
with OSHA for matters concerning VPP.
Way
to Participate.
One of three primary ways an employer may seek VPP approval. These
are: site-based, mobile workforce, and corporate. The principles
and features of VPP-quality safety and health management systems are
generally consistent for all three ways to participate. There are
some differences, however, in the VPP requirements for system details
and implementation and the manner in which OSHA evaluates
applicants/participants.
Withdrawal.
Decision by an applicant/participant to discontinue its VPP
application process or its approved participation.
Worksite.
For VPP purposes, a worksite is a location where work is performed
by employees of an employer.
Appendix
B: Injury and Illness Rate Calculations and Table Instructions
Follow
these steps to complete Table 1 above. . Submit Table 1 with your
application.
VI.Estimate
total hours worked annually by all of your employees for each of the
last 3 years within the DGA. Applicants may follow the phase-in
guidelines. See the example table in Appendix D. Include temporary
and contract/subcontractor employees for whom you provide oversight.
Include all overtime hours and management staff’s hours. Enter
in the appropriate places in Column A. Enter the 3-year total at the
bottom of Column A.
VII.Enter
the total number of recordable nonfatal injuries for each of the last
3 years in Column B. Enter the 3-year total.
VIII.Enter
the total number of recordable nonfatal illnesses for each of the
last 3 years in Column C. Enter the 3-year total.
IX.For
each of the past 3 years, combine the injuries and illnesses and
enter in Column D. Combine the injury and illness 3-year totals and
enter.
X.Calculate
your DGA Total Case Incidence Rate (TCIR) for each of the past 3
years and for the 3 years combined. Enter in Column E.
A.To
calculate your TCIR,
use the formula (N/EH)
x 200,000
where
N
= Sum of the number of recordable non-fatal injuries plus illnesses
in a given time frame (either 1 year for an annual rate or 3 years
for 3-year combined rate).
EH
= Total number of hours worked by all employees in a given time frame
(either1 year for an annual rate or 3 years for a 3-year combined
rate).
200,000
= Equivalent of 100 full-time workers working 40-hours per week, 50
weeks per year.
B.For
example, to calculate your 3-year combined TCIR:
3-Year
TCIR = [(#inj + #ill) + (#inj + #ill) + (#inj + #ill)] ÷
[Hours + Hours + Hours] x 200,000
6. Repeat
steps 2 to 4, except substitute injuries and illnesses that resulted
in days away from work, restricted work activity, and/or job
transfer. Enter in Columns F, G, and H.
7. Calculate
your DGA incidence rate for days away from work, restricted work
activity, and/or job transfer (the DART rate) for each of the past 3
years and for the 3 years combined. Enter in Column I.
To
calculate your DART rate, use the same formula as in 5 above, except
N = Sum of the number of all recordable injuries plus illnesses
resulting in days away from work, restricted work activity, and/or
job transfer in a given time frame.
8. Compare
your DGA 3-year rates with your industry’s average rates for
the 3 calendar years published most recently by the Bureau of Labor
Statistics (BLS). (The BLS publishes rates by NAICS code each year
in its Occupational Injuries and Illnesses Bulletin and at its
website, www.bls.gov.)
To qualify for VPP Star, both of your DGA 3-year rates must be below
the same 1 year of the 3 most recent published years of specific
industry national averages for nonfatal injuries and illnesses, at
the most precise level available.
9. If,
after completing Table 1, you determine that your DGA 3-year TCIR,
DART rate, or both are at or above your industry’s average for
the 3 years published most recently, you still may qualify for VPP
participation at the Merit level. If this is the case, specify your
short- and long-term goals for reducing your rates. Within 2 years,
both of your rates must meet Star requirements; that is, at a
minimum, both rates must be below the industry average for the same 1
year of the 3 years published most recently. It must be feasible to
reduce your rates to Star level within 2 years. Include specific
strategies and actions you intend to take to reduce your rates.
Appendix
C: Alternative Rate Calculations for Qualifying Small Employers
Some
applicants, usually small companies with limited numbers of
employees/contractors/ subcontractors and/or hours worked, may use an
alternative method for calculating their 3-year incidence rates. The
alternative method allows the employer to use the best 3 out of the
most recent 4 years’ injury and illness experience. To
determine whether you qualify for the alternative rate calculation
method,
do the following:
XI.Using
your company’s actual employment statistics, determine hours
worked during the most recent calendar year by your regular
employees/temporary employees/contractors/subcontractors.
XII.Then
calculate a hypothetical TCIR assuming two recordable cases during
the year.
XIII.Compare
this hypothetical rate to the 3 most recently published years of BLS
combined injury/illness total recordable case incidence rates for
your industry. If the hypothetical rate (based on two cases) is
equal to or higher than the national average for your industry in at
least 1 of the 3 years, you qualify for the alternative calculation
method. You may use the best 3 of the last 4 calendar years of
employee injury/illness experience when calculating both the 3-year
TCIR and the 3-year DART rate.
XIV.If
you qualify for the alternative rate calculation and the temporary
phase-in of contractor data (see Appendix D), you still must submit
at least 1 year of combined workforce data. At least 1 of the best 3
years that you submit must include both regular employees (including
temporary employees) plus any contractor/subcontractor employees.
Appendix
D: Temporary Phase-In of Mobile Workforce Injury and Illness Rate
Requirements
OSHA
expects to receive a 3-year combined workforce rate from each
applicant. However, if you do not maintain rate information for your
contractors/subcontractors, you may still apply using the following
temporary phase-in policy:
XV.For
the year 2010, for new applicants and also for participants who
applied and were approved in 2009 using the phase-in rate
requirement, OSHA expects to receive:
A.Combined
workforce TCIR and DART rates that reflect the experience of the
company’s regular workforce (including temporary employees) and
contractors/subcontractors for calendar years 2008 and 2009, plus
B.Company-only
TCIR and DART rates (which include temporary employees) for calendar
year 2007.
XVI.Beginning
January 1, 2011, all applicants
and participants must provide to OSHA combined workforce TCIR and
DART rates for the 3 most recent calendar years in the DGA. The data
for each of these 3 calendar years must reflect the experience of the
company’s regular workforce (which includes temporary
employees) combined with its contractors/subcontractors at projects
DGA-wide.
Appendix
E: Union Support for Participation
OSHA
expects each applicant to determine whether the requirement for union
support applies. Calculate the percentage of your employees
(including temporary employees) and contractor/subcontractor
employees throughout the proposed DGA who are represented by unions
at the time of your application. Then use the chart below.
Mobile
Workforce – Union Support for VPP Participation
|
IF
|
THEN
|
Majority
of employees are represented by unions
|
Signed
statement(s) required. Must be obtained from enough unions to
represent a majority of employees.
|
Some
employees but less than a majority
are
represented by unions
|
No
statement of union support required.
|
No
employees are represented by unions
|
Requirement
not applicable.
|
When,
at the time of application, a majority of an applicant’s
employees and contractor/ subcontractor employees are represented by
unions, the applicant must provide to OSHA written documentation of
either union support for VPP participation or union non-opposition to
participation.
The
percentage of employees represented by unions may change. Therefore,
an approved participant must report to OSHA, as part of its annual
evaluation, any change in this percentage that would have the effect
of changing the participant’s union support requirement.
Appendix
F: Example of the Phase-in Policy for a Mobile Workforce Employer
Who Applies to VPP in 2010
An
applicant is a framing contractor (specialty trade contractor) who
works within the DGA in the capacity of subcontractor. The applicant
worked on numerous projects over the past 3 years (2007 through
2009).
For
some of these jobs the applicant used only employees regularly
employed and paid directly by the company. At other jobs it used
company employees and also contracted with other carpenter
contractors (tiered subcontractors) who performed tasks directed by
the applicant.
Under
the terms of the mobile workforce phase-in policy, for projects
worked during 2008 and 2009, the applicant must submit combined
workforce estimated rates that combine the hours and recordable
injuries and illnesses of regular employees plus subcontractor
employees in the DGA.
For
the projects worked during 2007, the applicant did not maintain
sufficient contractor/ subcontractor injury and illness data required
by VPP. Therefore, the phase-in policy allows the applicant to
submit only the rates that reflect the experience of its regular
employees, including temporary employees (highlighted in Sample Table
below) in the DGA. (However, if the applicant had maintained
sufficient contractor/subcontractor data for 2007, he would have been
required to submit combined workforce data for all 3 years.)
SAMPLE
TABLE for a 2010 VPP Mobile Workforce Applicant Using the Phase-In
Policy for Reporting Injuries and Illnesses
|
Year
|
Hours
|
Total
# of Cases
|
TCIR
|
#
of Cases Involving Days Away from Work, Restricted Activity or Job
Transfer
|
DART
Rate
|
2007
|
114,173
|
5
|
8.7
|
0
|
0
|
2008
|
115,000
|
3
|
5.2
|
2
|
3.4
|
2009
|
130,238
|
5
|
7.7
|
4
|
6.1
|
Total
|
359,411
|
13
|
|
6
|
|
3-Year
Rates (2007-2009)
|
7.2
|
|
3.3
|
BLS
National Average for 2007 (NAICS: 238130)
|
8.1
|
|
4.8
|
The
applicant achieves VPP approval during 2010. The phase-in policy
expires in January 2011. Therefore, for the annual submission to
OSHA due by February 15, 2011, the participant will be required to
accurately report 3 years of injury and illness data and rates (2008
through 2010) for its combined workforce of regular employees and
contractor/subcontractor employees.
Appendix
G: Sample Applicant Participation Plan
PARTICIPANT
PLAN for XYZ BUILDING CONSTRUCTION, INC.
XYZ
Building Construction, Inc. is very pleased to have this opportunity
to apply for participation in OSHA’s Voluntary Protection
Programs under the Mobile Workforce way to participate. In the
following pages we provide a snapshot of our company. We have
attempted to highlight aspects of our operation that differ –
in substance or emphasis -- from the basic requirements of the VPP
safety and health management system as we understand it. We also
discuss features of
our safety and health efforts that we think are particularly
important because of the substantial hazards our employees encounter
at construction sites.
Designated
Geographic Area (DGA)
We
are applying for participation at the division level. We understand
that our designated geographic area (DGA) can be a single OSHA Area
Office, multiple OSHA Area Offices within a Region, an entire State,
or an entire Region. While XYZ operates primarily within Region V,
we prefer to limit our initial participation. Therefore, we request
that our DGA be two Area Offices, the Milwaukee and Madison areas.
XYZ Building Construction anticipates petitioning Region V’s
Regional Administrator at a future time to expand our DGA beyond the
two Area Office boundaries initially requested.
Unique
Aspects of XYZ’s Mobile Workforce Safety and Health Management
System
Subcontractor
Oversight.
XYZ generally operates as a general contractor, and we utilize many
subcontractors on our projects. As such, XYZ’s role in the
pre-bidding and pre-construction phase is more important than in a
work environment where most employees are regular hires and not
temporary or subcontracted employees. In addition, the company’s
role in overseeing the safety of subcontractors -- and also the
safety of our own employees working alongside subcontractors -- is
more critical than in a setting where few or no subcontractors may be
used. Therefore, we expect the OSHA team’s VPP review will
place special emphasis on how XYZ emphasizes safety in the planning
phase of each project. Additionally, we expect the team will place
special emphasis on XYZ’s hazard analysis prior to initiating
construction jobs and subsequent phases of these projects. We
anticipate a review that will carefully examine our subcontractor pre
selection process; safety performance criteria; and role in
monitoring and tracking hazards, injuries, and illnesses to ensure
that subcontractors are working safely at the worksites and following
our required procedures.
Hazard
Recognition and Control as a Non-controlling Employer.
We also work as a subcontractor at some large sites and must have
policies and implemented procedures to ensure the safety of our
employees in those situations where we do not control the site.
Where XYZ performs work as a subcontractor, it sometimes discovers
hazards created by others not under XYZ’s control. Therefore,
we expect the OSHA team will focus on how well trained our
unsupervised employees are in hazard recognition and company policies
and procedures that ensure interim protections under such
circumstances. These policies and procedures include XYZ’s
policy that employees have a right to refuse work if they observe
serious hazards and, if necessary to ensure their protection, have a
right to leave the worksite.
A communication procedure also is in place to notify the appropriate
company officials of any uncontrolled hazards that our employees
discover, regardless of who controls the project or who created the
hazard.
Whether
XYZ employees are working at a site controlled by XYZ or controlled
by another employer, we require them to conduct daily inspections of
their workplace/area and of equipment to be used that day. We expect
that this, too, the OSHA team will assess.
Employee
Involvement.
XYZ and OSHA acknowledge that there may be some differences in the
way a mobile workforce implements strong employee participation in
safety and health. XYZ’s emphasis will be to build strong
labor-management communication in the form of supervisor and employee
participation in toolbox meetings and training, safety audits, and
incident investigations. XYZ agrees to operate an effective safety
and health orientation program for all employees including new hires
and subcontractor employees when necessary.
Baseline
Hazard Analysis.
XYZ and OSHA acknowledge the need for an alternative method for the
VPP requirement of industrial hygiene and safety baseline surveys,
that is, baseline hazard analysis to identify hazards associated with
specific work environments.
In our typical work environments, these hazards may include air
contaminants, noise, and lead. XYZ’s employees work in
environments where conditions change from phase-to-phase of a project
and from one job to the next. Construction work conditions are very
different from the relatively static work environment of
manufacturing settings. Therefore, we will be employing alternative,
more appropriate methods for analyzing hazards associated with each
project. These will include preconstruction environmental studies,
phase analyses, and task analyses (JSAs).
XYZ
anticipates employing subcontractors for jobs that may require
specialized expertise and equipment, for example, lead removal,
asbestos removal, etc. In these projects, XYZ’s role will be
to screen, monitor, and review the subcontractors’ work. XYZ
has established historical databases with baseline information for
common environment, equipment, materials, and practices. This
baseline information enables XYZ to implement hazard controls as
necessary. If the operations, equipment, or materials used on a job
vary significantly from one of our databases of historical
information, we agree to conduct a new hazard analysis prior to
beginning that task to ensure that appropriate hazard controls are in
place and that any required sampling or monitoring is
performed.
Emergency
Response.
Because of the frequent change in construction personnel and
ever-changing site logistics, XYZ will place strong emphasis on
employee site orientation and training for emergency response and
evacuation. In addition, XYX will endeavor to hold annual emergency
response evacuation drills at all sites. Normally, XYZ will try to
maintain a muster point, but this may change as conditions warrant.
On small sites, our method of notification utilizes the buddy system,
that is, simple verbal communication as a means to evacuate. The
senior person on the worksite normally will be responsible for a head
count. This person also will be responsible for submitting a
completed drill evaluation form to the safety committee. On larger
sites, supervisors carry small disposable air horns, and we instruct
them to issue three small blasts several times, when feasible, as the
signal to evacuate. Subcontractors are required to participate in
all XYZ evacuations. Site personnel complete and share with the
safety committee an evaluation form following all drills and any true
emergency evacuations.
When
XYZ employees work as subcontractors, they often must follow the
emergency response and evacuation procedures of the host employer.
XYZ agrees to maintain communication with the host employer in all
matters relating to safety and health, including emergency response.
XYZ will ensure that its employees are kept informed of any host
employer procedures that differ from XYZ’s own procedures.
File Type | application/msword |
File Title | VPP MOBILE WORKFORCE APPLICATION INSTRUCTIONS |
Author | Patrick Showalter |
Last Modified By | Todd Owen |
File Modified | 2011-06-20 |
File Created | 2011-06-20 |