Today I was quoted in an article related to the catastrophe in West, TX and how a business like that one can become a Program 2 RMP and be exempted from OSHA's PSM standard.  I had written an article two weeks ago explaining how this happens (How could the TX fertilizer plant be a Program 2 RMP?); this article I wish to defend my comment that this "retail exemption" is very wide spread (e.g. 39 states have businesses handling Anhydrous Ammonia that have Program 2 RMP facilities).  In all, I just looked at the NAICS that West Fertilizer stated on their RMP and the next NAICS very similar to West Fertilizer.  Here is the data to support my statements, and keep in mind I ONLY looked at two industry groups to come up with these numbers!

You have no rights to post comments

 
View 's profile on LinkedIn

 

 LinkedIn Group Button

facebookIcon

 

Partner Organizations

 Chlroine Institute Logo 100 years

I am proud to announce that

The Chlorine Institute and SAFTENG

have extended our"Partners in Safety" agreement

for another year (2024)

CI Members, send me an e-mail

to request your FREE SAFTENG membership

 

RCECHILL BW

  

kemkey logo

OHS Solutions logoCEMANE power association logo

 EIT LOGO

 

Member Associations

ASME logo

 

Screen Shot 2018 05 28 at 10.25.35 PM

aiche logo cmyk highres

Chlorine institute

 nfpa logo.5942a119dcb25

 

TOCAS

 

BLR Logo 2018

 

 

 

 

safteng man copy

 

 organdonor