and it would be less burdensome to notify such customers albania flag crocs that MSDSs are available upon request. In fact, many retail firms have already done this under many state right-to-know laws.”
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from the coverage of the rule in terms of MSDSs, either by eliminating them from the chain of distribution for the information or by dropping requirements for MSDSs. albania flag crocs The record does not support either of these approaches as being a viable alternative for the HCS. OSHA agreed with the NRMA that adding such a definition would clarify that many retail distributors have no need to maintain MSDSs because they do not generally supply hazardous chemicals to commercial customers (e.g., grocery stores, clothing stores). Therefore, we proposed a definition for the term “commercial account” based upon NRMA’s recommended criteria, and invited comment on the appropriateness of this approach. In addition, we proposed to further modify the language in paragraph .
The language regarding the general duty for distributors to provide MSDSs was modified to track the language in paragraph immediately preceding it regarding the duty of chemical manufacturers and importers to transmit such information with their initial shipment and with the first shipment after a material safety data sheet is updated. Previously, the rule simply stated that “distributors shall ensure that material safety data sheets, and updated information, are provided to other distributors and employers.” This slight modification clarifies that distributors are required to provide MSDSs in the same manner that chemical manufacturers and importers do. With regard to the issue of making MSDSs available at the retail distribution level, NRMA suggested that OSHA define the term “commercial account” to ensure it is being properly interpreted and applied. They further suggested that this definition be related to selling items in large quantities and below the regular retail price. “Such accounts can be identified,