
By Elsie Tai
Designed in particular for the desires, personal tastes, and types unique to long term care this OSHA Compliance administration: A consultant for long term healthiness Care amenities serves as a good operating reference. It makes a speciality of priorities and gives you with the history and instruments very important to attaining OSHA compliance and inspection preparedness.
In this common, functional, hands-on guide you get:
Streamline your organization's strategies, keep time and cash, steer clear of legal responsibility, and enhance protection administration and function. OSHA Compliance administration: A consultant for long term healthiness Care amenities can provide a headstart achieve OSHA compliance and being ready for OSHA inspections.
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Additional info for OSHA Compliance Management: A Guide For Long-Term Health Care Facilities
Sample text
Basic ■ Medical surveillance, removal, monitoring, and reporting comply with applicable standards. © 2001 by CRC Press LLC 920067_CRC17_L1418_ch02 11/25/00 2:17 PM Page 43 Inspection Preparedness ■ 43 Employees report early signs/symptoms of job-related injury or illness and receive appropriate treatment. 4. Superior ■ ■ ■ Health care providers provide follow-up on employee treatment protocols and are involved in hazard identification and control in the workplace. Medical surveillance addresses conditions not covered by specific standards.
W. SEEKING HELP If you wish to gain assistance at the start of an inspection, obviously, turn to your regular or available resources, in-house and regular safety and health consultants. If you turn to your insurance carrier’s field representatives, you are better off seeking the help of your workers’ compensation carrier, than, say, your fire/building/liability carrier. ” However, they are not necessarily trained in OSHA compliance. Their training stems mostly from in-house carrier-centric issues of liability and writing lines of risks.
However, even among issues that are regulated by unequivocal standards, arguments may still stand if alternative methods of hazard abatement provide equal or superior protection. You have three main defenses during the inspection, and possibly afterward, if you receive a citation and choose to contest: 1. Hazard—Prove that a hazard does not in fact exist. Or, if the hazard does exist, prove that the degree of hazard is less than what the inspector deems it to be. 2. Abatement—Prove that the hazard has been abated satisfactorily.