Tuesday, 25 October 2011

Need help with COSHH for small business?

I address some of the issues facing smaller businesses when faced with undertaking COSHH risk assessments and introducing and enforcing the use of appropriate control measures in the workplace. Most of the businesses in the UK are small or medium sized enterprises.

The same health and safety laws apply to small businesses as apply to big ones, with a few exemptions on written risk assessments and written policy documentation for very small companies. It should be noted that these size based exemptions are not exemptions from the risk assessment itself, but from the need for a written record of the assessment.

Q - We don’t have hazardous substances, do we?

Many (smaller) businesses do not consider that they have any substances hazardous to health, often because they believe that this refers to chemicals associated with industrial processes.

In truth, there are few workplaces that do not store, use or generate any substances that are hazardous to health. In many cases, employers overlook or do not consider the hazards associated with some substances, particularly those with which they are very familiar.
A useful way to avoid this oversight is to draw up a list (or an inventory) of all of the substances that are stored, used or generated in the workplace. This inventory must be comprehensive and should include:
  • cleaning and premises maintenance materials (such as lubricants, drain cleaning chemicals, paints, thinners, etc.),
  • waste materials and by-products (such as wood dust and welding or soldering fume) and
  • should consider water supplies (for water treatment chemicals and for Legionella).
Q - Do I really need to get safety data sheets for everything?
  
Having completed an inventory of what we have, the next stage is to determine whether any of the substances on the inventory are ‘hazardous to health’.  This includes substances
  • that are labelled as hazardous (i.e. very toxic, toxic, harmful, irritant or corrosive) under the CHIP regulations or other statutory requirements
  • as well as all substances that are identified as hazardous on the safety data sheet for the substance.
Once the inventory has been created, it is a relatively simple matter to obtain further information of potentially hazardous substances. Substance data sheets may be obtained from the manufacturer or supplier of the substance. These substance data sheets contain, amongst other things, information on the hazards associated with the substance.
  
Safety data sheets are particularly useful for determining if a substance is hazardous to health and are amongst the pieces of information that must be made available to employees who are exposed to substances hazardous to health. The safety data sheets will also provide the assessor with information about the hazards associated wiht the substances to which people may be exposed.
  
In the event of a person becoming ill while (potentially) exposed to a hazardous substance, the safety data sheet can provide a source of information to the person treating the ill person, such as a first aider. If that person needs to be sent to the hospital, then a copy of the safety data sheet should be sent with them.
  
Q - COSHH Assessments are very complicated, aren’t they?
  
Small businesses need a considered approach to COSHH, but must not assume that it does not apply to them or does not affect them.  A simple process would be:
  • review the substances present of site
  • assess the hazards associated with them
  • reduce the number of hazardous substances
  • replace hazardous substances with safe (or at least safer) alternatives
  • assess the risk from the use of the reduced inventory of substances
  • implement suitable and sufficient control measures
  • enforce the use of control measures
The COSHH assessment can be simplified in many cases by the simple expedience of reducing the number of substances.  Businesses should look critically at the inventory of substances and consider two basic questions:
  • Do I really need to use this substance at all (avoidance of the hazard); and
  • If I need to use a substance, if there a safer alternative available (reduction of the severity of the hazard).
Once the number of substances (and their associated hazards) has been reduced, if is time to carry out the COSHH assessment.
 
One of the main points of the risk assessment is to identify the measures that are to be used to avoid a hazard or reduce the level of risk associated with a hazard. Employers must ensure that exposure to hazardous substances is prevented or, if this is not reasonably practicable, adequately controlled.    
Ideally, this will mean preventing exposure by:
  • removing hazardous substance, by changing the process;
  • substituting it with a safe or safer substance, or using it in a safer form.
Where this is not reasonably practicable, then the employer needs to ensure that they are controlling exposure by, for example:
  • totally enclosing the process (such as a shot-blasting box);
  • using partial enclosure and/or extraction equipment (such as a spray painting booth);
  • general ventilation;
  • using safe systems of work and handling procedures (written procedures, etc.).
It is for the employer to decide on the method of controlling exposure. The COSHH regulations, however, limit the use of personal protective equipment (e.g. respirators, dust marks, protective clothing), as the means of protection to only those situations where other measures cannot adequately control exposure.
  
Q - Our process risk assessments already cover hazardous substances; do I need to write new COSHH assessments?
 
For small businesses, it is often sensible to combine risk assessments to reduce paper work.  It is possible to create an “Office Risk Assessment” that deals with all of the general risk assessment issues, COSHH issues and fire safety issues in one simple assessment.
 
Although several pieces of legislation may require the employer to carry out a suitable and sufficient assessment of the risks to employers and/or others, there is no requirement for these assessments to be carried out separately and called:
  • COSHH assessments
  • general risk assessments or
  • manual handling assessments, etc.
It is important that risk assessments cover all relevant areas in sufficient depth and detail. In the event that your current risk assessments (such as those that are required under Regulation 3 of the Management of Health and Safety at Work Regulations 1999) address adequately all of the issues required under COSHH, then there is no need to produce new risk assessments to comply with the requirements of COSHH.
  
As with all other risk assessments, COSHH risk assessments must be kept up to date and reviewed in the event of any significant change or if thought to be out of date for any reason.
 
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