COSHH - Hazard identification and risk assessment
What you should be aiming for…….
Hazard identification
In order to control the risks associated with handling chemicals, it is
essential to first ensure you have identified all of the hazardous substances.
This should be built into the COSHH assessment procedure.
You should not just be thinking about the main substances involved. The
process may produce other hazardous substances such as intermediates in
chemical reactions, or by-products such as dusts, fumes, vapours or break-down
products. All of these need to be considered, so don't rely on the safety
data sheet alone to provide you with your list of hazards!
Risk Assessment
A risk from hazardous substances arises when you use them - if the container
is never opened there's no risk. The level of risk depends on the amount
you are exposed to, how long for and sometimes personal factors (such as
genetics and previous exposures). So it is essential for the assessment
to consider how and where in the process/task exposure can occur and how
significant the exposure is likely to be.
Once the potential sources and points of exposure have been identified
your assessment should:
- Clearly identify where the risk is not adequately controlled, suggest
further control measures that may be required, and link to a time dated
improvement plan.
- Seek to improve control measures and fully justify the measures you
have used to achieve adequate control. Remember the assessment is your
proof to your employees and the company (as well as the enforcing authority)
that you can justify your control measures and should demonstrate you
have done all that is necessary to achieve adequate control.
- Identify areas where monitoring is appropriate, and justify where you
have decided it is not appropriate, considering factors such as the consequences
of exposure or over-exposure
- Provide appropriate links to relevant documents such as health surveillance,
monitoring strategies and results, training records, PPE maintenance and
local exhaust ventilation test results.
- Be regularly reviewed, especially if Regulations or exposure standards
change, employees begin to suffer ill effects, or monitoring results show
a deterioration in control.
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Remember the assessment should be a living
document!
Project results
The following were the key conclusions from the project regarding the specific
area of assessment:
- Regulation 6 (assessment) was the least complied with.
- We found many examples of poor or no justification of the control measures.
It was common for information to be simply copied from the data sheet,
with no consideration of the task being carried out.
- Few assessments highlighted the consequences of exposure. This is important
as it helps you to decide what is 'reasonably practicable' when
justifying control measures.
- Poor identification of exactly who might be exposed as a result of the
work task, and how long they could be exposed for. E.g. Often the immediate
operator was considered, but not other operators working in the same area
or visitors who may be exposed.
- Generally no clear identification of the different routes of exposure,
which might include: inhalation, ingestion, and skin absorption.
- Poor links to supporting documents. Your COSHH assessment should act
as a 'map' to point to the supporting evidence of the justification
it provides.
The Texaco presentation provides a description of how they as a company
approach the challenge of COSHH assessment on a very large scale, as well
as providing information on the control systems they employ to maintain
control over COSHH matters.
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