CSB Board Members Identify Modernization of Process Safety Management Regulations as the Agency’s Second "Most Wanted Safety Improvement"
Washington,
DC, December 1, 2014 – Today the U.S. Chemical Safety Board formally announced
that to “Modernize U.S. Process Safety Management Regulations” is the Board’s
newest Most Wanted Safety Improvement, concluding that implementation of key
federal and state CSB safety recommendations will result in significant
improvement of Process Safety Management (PSM) regulations in the United
States.
Over
the last two decades, the CSB has made a number of recommendations related to
OSHA’s PSM program and EPA’s Risk Management Program (RMP), many of which have
not been fully implemented. By adding the modernizing of U.S. process safety
management regulations to the CSB’s Most Wanted Safety Improvement list, the
agency is identifying this issue as one of the board’s most important
recommendations-related goals.
CSB
Chairperson Rafael Moure-Eraso said, “As Chairperson of the CSB I see this as
an important opportunity to advance national process safety management reform
by advocating for this issue as part of the board’s Most Wanted Chemical Safety
Improvements Program. My hope is that reform will help to prevent future
catastrophic accidents.”
The
CSB notes that despite some positive improvements in PSM regulations in the
U.S., regulations have undergone little reform since their inception in the
1990s. Of particular interest are the board’s recent investigations of major
refinery incidents that found that PSM and RMP, although written as
performance-based regulations, appear to function primarily as reactive and
activity-based regulatory frameworks that require extensive rulemaking to modify.
This potentially results in stagnating risk levels, even as
industry-recommended best practices and technology continue to advance in the
U.S. and overseas.
Specifically,
the CSB’s investigations of recent major refinery accidents found that
there was no requirement to reduce risks to As Low As Reasonably Practicable
(ALARP); there was no mechanism to ensure continuous safety improvement; no
requirement to implement inherent safety or the hierarchy of controls; that
there should be an increased role for workers and worker representatives in
process safety management; and that there needs to be a more proactive,
technically qualified regulator.
As
a result of these findings, the CSB made recommendations at the federal, state,
and local levels to prevent major incidents by adopting a more rigorous
regulatory system that requires covered facilities to continuously reduce major
hazard risks.
CSB
Board Member Mark Griffon said, “Modernizing PSM regulations is an issue rooted
in critical safety recommendations made over the last two decades to prevent
recurrence of catastrophic industrial accidents. Recent activities have
provided the board with a unique opportunity to advocate for these much needed
reforms. ”
In
particular, President Obama’s August 1, 2013, Executive Order 13650, Improving Chemical Facility Safety and
Security has resulted in both OSHA and the EPA issuing Requests for
Information (RFI), and both agencies may soon initiate rulemaking to revise the
existing regulations. The CSB submitted a comprehensive response to each RFI
detailing needed improvements to the existing regulations, which are supported
by a number of CSB ongoing and completed investigations.
For
PSM, the CSB recommended that OSHA:
• Expand the rule’s coverage to include the
oil and gas exploration and production sector
• Cover reactive chemical hazards
• Add additional management system elements
to include the use of leading and lagging indicators to drive process safety
performance and provide stop work authority to employees;
• Update existing Process Hazard Analysis
requirements to include the documented use of inherently safer systems,
hierarchy of controls, damage mechanism hazard reviews, and sufficient and
adequate safeguards;
• Develop more explicit requirements for
facility/process siting and human factors, including fatigue;
For
RMP, in addition to PSM program related enhancements mentioned above, the CSB
recommended that EPA:
• Expand the rule’s coverage to include
reactive chemicals, high and/or low explosives, and ammonium nitrate as
regulated substances and to change enforcement policies for retail facilities;
• Enhance development and reporting of worst
case and alternate release scenarios; and
• Add new prevention program requirements,
including automated detection and monitoring, contractor selection and
oversight, public disclosure of information, and, for petroleum refineries,
attributes of goal-setting regulatory approaches.
Dr.
Moure-Eraso concluded, “The CSB has a statutory, Congressionally mandated task
to address the sufficiency of OSHA and EPA regulations. That is a key
obligation of the CSB, and I intend to continue pursuing this mandate
vigorously.”
To
view full list of recommendations related to PSM reform CLICK HERE
To
view the CSB’s Most Wanted Page CLICK HERE
In
2013, the Board voted to make the adoption of a combustible dust standard for
general industry as the first priority in the CSB’s “Most Wanted Safety
Improvements” program, which will result in increased advocacy related to the
issue. To view public meeting presentations and statements, please visit
the meeting's event page.
More
details on the accidents listed above and the Board’s recommendations are available
on CSB's website in completed investigations and recommendations.
The
CSB is an independent federal agency charged with investigating serious
chemical accidents. The agency's board members are appointed by the president
and confirmed by the Senate. CSB investigations look into all aspects of
chemical accidents, including physical causes such as equipment failure as well
as inadequacies in regulations, industry standards, and safety management
systems.
The
Board does not issue citations or fines but does make safety recommendations to
plants, industry organizations, labor groups, and regulatory agencies such as
OSHA and EPA. Visit our website, www.csb.gov.
For
more information, contact Communications Manager Hillary Cohen, cell
202-446-8094 or email public@csb.gov