Question: When equipment is placed in an "out of service" status for business or production purposes (e.g., poor efficiency, recycled, sold, etc.) and not related to servicing or maintenance, is the use of lockout/tagout devices for this carte plus forte au poker purpose a violation.147(c 5 ii)?
It is important to remember that the first thing a person should ask when wondering whether or not specific equipment requires a lockout tagout procedure: if any equipment has two or more energy sources (lockable or non-lockable) the equipment will need to follow the lockout.In such a case, the energy sources to the filter would be left unattended.This letter constitutes osha's interpretation of the requirements discussed.For the energy control procedure to be effective, these devices must have a single meaning to employees: 'Do not energize the equipment when such a device is affixed.Osha requirements are set by statute, standards and regulations.If lockout or tagout devices are used for other purposes they can lose their significance in the workplace.We apologize for the delay in responding to your request.As you have stated in your letter, applying lockout/tagout devices to equipment that was placed out of service for business or production reasons would not ".preserve the integrity of the Lockout/Tagout program." The preamble to the final rule states,.The filter, though, does not have any electricity going politique rémunération loto québec through.Hence, a filter will need to have a lockout tagout procedure written, and said procedure will need to be followed before performing any kind of servicing, including a cleaning.
If you have any further questions, please feel free to contact the Office of General Industry Enforcement at (202) 693-1850.
Oshas regulation, 1910.147 regarding energy control.
The filter still contains two or more energy sources and therefore, requires a lockout tagout procedure.The filter that needs to be changed has an inlet and an outlet.Filters are typically small and the inlet/outlet valves are usually very close to the filter.In a situation where the valves are very close to the filter itself, it might seem as if the person that is about to perform maintenance on the filter, has exclusive control of the energy sources (inlet and outlet valves).For example, looking more closely into filters, lets suppose that a filter needs to be changed.The sight of a distinctive lock or tag will provide a constant message of the use that the device is being put to and the restrictions which this device is intended to convey.M N, o P, q R, s T, u V, w X,.Osha requirements are set by statute, standards, and regulations.Federal Register 36671 (Sept.As stated before, if the equipment in question has two or more energy sources, the equipment definitely needs to be locked out prior to servicing.Oshas regulation regarding lockout tagout states that equipment with two or more energy sources needs to have a lockout tagout procedure developed and followed prior to servicing.Typically, a good rule of thumb to remember for any and all situations is that if the equipment in question has two or more energy sources, it then definitely requires a lockout tagout procedure.If the filter has two or more energy sources, then it needs a lockout procedure by default.All trademarks/service marks referenced on this site are properties of their respective owners.The World's most comprehensive professionally edited abbreviations and acronyms database.