By Brent I. Clark and Craig B. Simonsen
Seyfarth Synopsis: OSHA has just announced a three month delay of enforcement of the Crystalline Silica Standard for Construction under 29 CFR 1926.1153.
Crystalline silica is a staple of our modern society. OSHA notes that it’s a common mineral that is found in many naturally occurring materials, and used in many industrial products and at construction sites. Materials such as sand, concrete, stone and mortar contain crystalline silica. Crystalline silica is also used to make products like glass, pottery, ceramics, bricks, concrete and artificial stone. Industrial sand is also used in certain foundry work and hydraulic fracturing (fracking) operations. OSHA estimates that 2.3 million workers are exposed to crystalline silica on the job.
Because crystalline silica is so important to modern society, the OSHA silica standards rulemaking has been contentious. We have blogged previously how OSHA Proposes Silica Worker Exposure Hazards Rule, OSHA Extends the Comment Deadline for Proposed Silica Worker Exposure Hazards Rule, New OSHA Hazard Safety Bulletin for the Hydraulic Fracturing Industries, and Senators Ask OSHA to Consider the Fracking Industry Economy and to More Fully Extend the Comment Deadline for Proposed Silica Worker Exposure Hazards Rule.
OSHA estimates that nearly 676,000 workplaces will be affected, including in construction and in general industry and maritime. In addition, the rule is expected to result in annual costs of about $1,524 for the average workplace covered by the rule. The total cost is estimated by OSHA at “just over $1 billion” (per year).
In an effort to remedy some of the issues and problems in compliance with the new rule, to provide OSHA with the opportunity to conduct additional outreach to the regulated community, and to provide additional time to train compliance officers, the Agency has decided to delay enforcement of the standard from June 23, 2017, until September 23, 2017.
For more information on this or any related topic please contact the authors, your Seyfarth attorney, or any member of the Workplace Safety and Health (OSHA/MSHA) Team.