appeared to envision a situation where every contractor take a bath you dirty hippie black cat retro poster on a site duplicates every MSDS in his possession for every other contractor on-site. As has been discussed by OSHA repeatedly,
take a bath you dirty hippie black cat retro poster
and it is being shipped to the same customer. In these situations, there should be no hazard to anyone handling the metal from the time it is produced take a bath you dirty hippie black cat retro poster in solid form until the time someone works on it in a way that releases a chemical hazard. Since the label information transmitted would only reflect the chemical hazards released when it is later worked on, the label would not provide any hazard information that is needed by those handling the material in transit. The label information does serve a different purpose than the MSDS as the label is an immediate visual warning, a “snapshot picture” of the hazards, whereas the MSDS provides detailed hazard information. Thus both information transmittal sources are necessary.
It was emphasized in the preamble that this exception is only for the solid metal itself – any hazardous chemicals present in conjunction with the metal in such a form that employees may be exposed when handling the material (e.g., cutting fluids, lubricants, and greases), would require labels with each shipment. OSHA does have one concern, however, regarding the health hazard evaluation process. As the Agency has stated from the outset of this rulemaking, the HCS is based on the premise that chemicals have inherent characteristics that pose potential hazards, and workers have the right to know what those potential hazards are. Risk of exposure is to be addressed in training, not in the process of deciding what information will be provided on labels and MSDSs. Any well – substantiated hazard must appear on the label where there is a potential for exposure. Initial industry comments objecting to the multi-employer worksite provisions
18×12, 24×16, 36×24, 48×32