![]() ![]() However, a delivery vehicle that delivers, say, an air conditioner unit to an upper floor of a building is said to be “involved in construction.”) For example, a delivery truck that simply unloads in a common area is not defined as such. The new regulation also requires the operators of service truck mounted cranes to be certified if said crane is “involved in construction.” (Please keep in mind that “involved in construction” is defined by how the machinery is used. ![]() military are also recognized in the new standard which retains most of the language contained in the Proposed Rule issued in 2008. State programs that meet federal requirements, and programs run by the U.S. Under the new rule, crane operators must be either certified by an accredited crane operator testing organization, such as the National Commission for the Certification of Crane Operators (NCCCO) or Crane Institute Certification (CIC) or NCCER or the Operating Engineers Union, or qualified by an audited employer program, depending on lift capacities and job classification. ![]() This new requirement is outlined under Subpart CC (unofficially known as C-DAC), was developed over a 12-month period and submitted to OSHA in 2004. OSHA has recently revamped requirements for crane operators and signalpersons, replacing the 1971 regulations. ![]()
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