Laserfiche WebLink
STANDARD OPERATING PROCEDURE <br /> Procedure #: 020-0003 Title: Te# ple4 ?fang <br /> Issue #: 8 � p r <br /> Issue Date: 9/27/2011 Emergency Procedures: <br /> Supersedes Date: 8/5/2011 Spill Response <br /> Incidental Spill Definition, Detailed <br /> a. The material mast be identified <br /> Rely on knowledge of the process,material data safety sheet(MSDS)information and labeling accuracy. If,for any <br /> reason,the identity of the substance is unknown,assume it is hazardous and an emergency response is necessary. <br /> b. The employee cleaning up the spill has been trained on the hazards of the material <br /> Most employees have some basic chemical hazard training such as the Occupational Safety and Health Act(OSHA) <br /> Hazard Communications and PPE training. For example,this basic training would not be adequate for response if <br /> the spill is complex in the sense that there is airborne contaminant potential because of chemical volatility,potential <br /> for reactivity with other chemicals, or potential for human contact. <br /> c. Hazards are similar to normal working conditions <br /> When an upset in the process occurs resulting in a spill,the hazards of the spilled material can change. The physical <br /> environment(for example,heat and humidity)as well as the quantity,toxicity,physical state(solid,liquid,or gas) <br /> volatility,flammability,corrosiveness and reactivity of the material must be carefully considered before a decision is <br /> made how to clean up a spill. The MSDS contains hazard information that is important in making this decision. <br /> d. Outside resources are not needed to remove the material <br /> Sometimes,even if the spill is neutralized and the cleanup process presents no significant hazards,the spill may be <br /> too large to be disposed of given the equipment available. <br /> e. Employees are not at risk <br /> Again,the physical and chemical properties of the material must be carefully considered before a decision is made <br /> how to clean up a spill. The MSDS contains valuable information regarding volatility,reactivity and/or harmful <br /> chemical interactions that may result in employee exposure. If the determination is made that employees may be at <br /> risk from the chemical spill,measures should be made to evacuate the area of risk and initiate outside emergency <br /> response. <br /> f. The environment is not at risk <br /> The environment is usually at risk when an uncontrolled or uncontainable spill that has the potential to be introduced <br /> to land,water or air. For example,a spill of a hazardous substance is considered to require emergency response if <br /> the spill must be prevented from entering the environment by diking from a location other than the spill source. <br /> Furthermore,if the choice is made to allow an Inland employee to dike the spill,at a minimum,that employee must <br /> have the 8-hour HAZWOPER first responder operations level training. <br /> g. The facility is not at risk <br /> Many times this is an issue of the flammability of the substance. <br /> h. The spill can be cleaned up with normal PPE <br /> This is usually one of the major limiting factors. In most cases,our employees are not trained to use PPE such as <br /> respirators and chemical protective clothing. The majority of our employees are limited in training to the use of <br /> splash goggles,face shield,chemical protective gloves and apron. Anytime the hazards exceed the PPE the <br /> employee has been trained to use,then this is an emergency response. The MSDS usually provides information <br /> regarding the PPE necessary for non-routine events. When determining the airborne hazards of volatile chemicals <br /> and subsequent respirator needs,our employees are also usually limited in the availability of instantaneous air <br /> monitoring equipment necessary to determine airborne concentrations. In situations where an airborne hazard may <br /> be present,assume that an emergency response is necessary. Again,the MSDS for the substance should have <br /> important information regarding the potential for the chemical to create an airborne hazard. <br /> Issued By:Jim Dacayanan Authorized By: Bill Lewis Page 5 of 6 <br />