Jan 12, 2017 - Hazard Communication Standard – Classifying 'Articles'Jan 12, 2017 - Hazard Communication Standard – Classifying 'Articles'
The Home page of ILPI's Safety Data Sheet (SDS) Resource, the leader in SDS information since 1995!
The history and philosophy behind this resource.
A curated collection of books and reference materials concerning Safety Data Sheets and closely related topics.
Paste your plain text SDS into the SDS-Demystifier, and it will be converted into a hypertext-enriched document with links to detailed explanations of each key term.
An extensive list of frequently asked questions about Safety Data Sheets including regulations, content, compliance, and more.
A humorous take on Safety Data Sheet jargon. Fill in the blanks on our entry form to generate a personalized Unsafety Data Sheet to share with your coworkers.
Since 1995, we've maintained this massive curated list of the best places to find Safety Data Sheets on the Internet.
Way more than a glossary, this hypertext-enhanced resource covers hundreds of SDS-related terms and expert knowledge. Each entry includes both the SDS relevance and links to additional authoritative resources.
Archived results of Safety Data Sheet related polls taken by some of our millions of site visitors
You are here! The OSHA regulations behind SDS regulations, including the inspection guidelines and over 400 official interpretations letters under the Hazard Communication Standard
Commercial suppliers of SDS authoring and management software as well as cloud compliance services.
Commercial companies that will create SDS's for your specific needs as well as SDS translation companies.
Safety signs, banners, and scoreboards? Get yours at Safety Emporium!
Title: 01/12/2017 - Hazard Communication Standard – Classifying 'Articles'
OSHA requirements are set by statute, standards and regulations. Our interpretation letters explain these requirements and how they apply to particular circumstances, but they cannot create additional employer obligations. This letter constitutes OSHA's interpretation of the requirements discussed. Note that our enforcement guidance may be affected by changes to OSHA rules. Also, from time to time we update our guidance in response to new information. To keep apprised of such developments, you can consult OSHA's website at https://www.osha.gov.
Thank you for your letter to the Occupational Safety and Health Administration’s (OSHA) Directorate of Enforcement Programs, regarding the applicability of OSHA’s Hazard Communication Standard (HCS), 29 CFR 1910.1200, to textiles and fabrics utilized in the manufacturing of office furniture. This letter constitutes OSHA’s interpretation only of the requirements herein, and may not be applicable to any situation not delineated within your original correspondence. Your question has been summarized below, followed by our reply.
Background: The Business + Institutional Furniture Manufacturers Association (BIFMA), represents manufacturers of business and institutional furniture. Member companies use a variety of bulk textiles and fabrics to manufacture furniture. These bulk textiles and fabrics may be treated with stain repellants, antimicrobials, and other chemical treatments. During the manufacturing process, these bulk fabrics and textiles are cut to size by various methods, including mechanical shearing, hot wire, and laser before being incorporated into furniture. This manufacturing process may result in chemical exposures to manufacturing workers.
Some suppliers of bulk textiles and fabrics may consider their products to be “articles,” which, if true, exempts them from the requirements of the HCS, including the requirement to provide labels and safety data sheets (SDS) to downstream users.
Question: Are the suppliers of bulk textiles and fabrics required to label their products and provide SDSs to downstream users?
Reply: OSHA’s HCS definition of “Article” means “a manufactured item other than a fluid or particle: (i) which is formed to a specific shape or design during manufacture; (ii) which has end use function(s) dependent in whole or in part upon its shape or design during end use; and (iii) which under normal conditions of use does not release more than very small quantities, e.g., minute or trace amounts of a hazardouschemical (as determined under paragraph (d) of this section), and does not pose a physical hazard or health risk to employees.” 29 CFR 1910.1200(c).
If, under normal conditions of use, a product can release more than minute or trace amounts of a hazardouschemical or pose a physical hazard or health risk to employees, the product is not an article. Many items appear to meet the definition of “article” in their manufactured form, but the manufacturer must consider the product’s end use as well as whether employees and downstream users will be exposed to any physical hazard or health risk from exposures to the hazardous chemical(s) before the "article" exemption may apply.
BIFMA members are processing large quantities of textile and fabrics, including physically cutting and/or heating materials. OSHA presumes the textiles and fabrics are treated with (i.e., hazardous) chemicals. A manufacturer or importer is most familiar with its product development and they would have the required information available to determine if more than very small quantities of hazardous chemicals would be released during downstream processes. See 29 CFR 1910.1200(b)(2) and 29 CFR 1910.1200(c). If workers and downstream users are exposed to hazardous chemicals during laser, hot wire cutting and mechanical shearing, which are part of the normal manufacturing process, the treated fabric and textile would not be considered an article under the HCS. Therefore, the manufacturers or importers of the treated fabric and textile are required to properly label materials and provide and maintain SDSs, presuming that they will emit more than very small (trace) amounts of hazardous chemicals or pose a physical hazard or health risk to employees.
The SDS must include information such as the chemical properties for each chemical, the physical and health hazards, and the protective measures and safety precautions for handling, storing, and transporting. This information will provide BIFMA members a basis for their specific process evaluations and potential workplace exposures. See 29 CFR1910.1200(g).
Thank you for your interest in occupational safety and health. We hope you find this information helpful. OSHA’s requirements are set by statute, standards, and regulations. Our letters of interpretation do not create new or additional requirements but rather explain these requirements and how they apply to particular circumstances. This letter constitutes OSHA’s interpretation of the requirements discussed. From time to time, letters are affected when the Agency updates a standard, a legal decision impacts a standard, or changes in technology affect the interpretation. To ensure that you are using the correct information and guidance, please consult OSHA’s website at https://www.osha.gov. If you have further questions, please feel free to contact the Office of Health Enforcement at (202) 693-2190.