Safety Incidents OSHA Severe Injury Reports · 2015–2025
5,189,992Inspections Most recent open 2026-07-18 Last loaded 2026-07-22

OSHA Inspection: MAGELLAN MIDSTREAM PARTNERS, LP

Planned inspection · Safety discipline

On , OSHA opened a planned safety inspection of MAGELLAN MIDSTREAM PARTNERS, LP in 2598 NAVAJO ROAD, CLAY CENTER, KS 67432 (NAICS 486990). OSHA activity number 315091207.

What this inspection record means

OSHA opens inspections for many reasons — routine scheduling under a national or local emphasis program, an employee complaint or referral, or a follow-up after a reported injury. Opening or conducting an inspection is not itself an allegation or a finding that this employer broke any rule; any findings appear as the citations listed below, and citations can be contested, reduced, or withdrawn.

Watch Magellan Midstream Partners, LP — free Get an email when a new federal OSHA severe-injury report for Magellan Midstream Partners, LP is published. One employer, no account, unsubscribe in one click.
Site address
2598 NAVAJO ROAD
City
CLAY CENTER
State
KS
ZIP
67432
Mailing
1424 5TH AVE., MCPHERSON, KS 67460
Inspection type
Planned (H)
Scope
Complete (A)
Discipline
Safety
Advance notice
No
Union status
N
Opened
Closing conference
Case closed
Last modified
Data loaded
NAICS code
486990
SIC code (legacy)
4619
Employees
2
Ownership type
A

5 citations on file for this inspection.

1910.119 D02 IE

Other-than-serious Gravity 10 1 instance 2 exposed
Issued
Feb 17, 2012
Abate by
Mar 21, 2012
Penalty
Initial $7,000 · Current $5,000 Reduced
29 CFR 1910.119(d)(2)(i)(E):  Process safety information pertaining to the
technology of the
process did not include an evaluation of the consequence of deviations,
including those affecting
the safety and health of employees:
The current Clay Center Consequences of Deviation from Safe Operating
Limits in the
Process Safety Information (PSI) element of the Process Safety Management
(PSM)
manual such as but not limited to the NH3 Pressure - Tank Storage was not
evaluated
in details to adequately address consequences of deviation and steps with
clear
instructions to correct or to avoid deviation.  The current Action
Required Section did
not incorporated detail and clear information for the technicians to
understand and act on
it accordingly to bring the deviations back to the normal conditions.
Employees were exposed to catastrophic release of ammonia which result in
asphyxiation,
explosion and flash fire leading to death and injury to persons in and
near
the station.
29 CFR 1903.19(d)(1) requires certification and documentation that the
abatement of the
above violation is completed.
Recent events (2)
  • — I (O) $5000.00
  • — Z (S) $7000.00

1910.119 E05

Deleted Serious Gravity 10 1 instance 2 exposed
Issued
Feb 17, 2012
Abate by
Mar 21, 2012
Penalty
Initial $7,000 · Current $7,000
29 CFR 1910.119(e)(5):  The employer did not establish a system to
communicate the actions
to be taken, as a result of the process hazard analysis team's
recommendations, to operating,
maintenance and other employees whose work assignments are in the process
and who could be
affected by the recommendations actions:
The employer did not communicate the team's findings and recommendations
of the
January 2008 Clay Center Pump Station NH3 Loading and Storage Process
Hazard
Analysis (PHA) Revalidation Study Reports with the actions to operating,
maintenance
and other employees whose work assignments are in the process and who may
be
affected by the recommendations or actions.
Employees were exposed to catastrophic release of ammonia which result in
asphyxiation,
explosion and flash fire leading to death and injury to persons in and
near the station.
29 CFR 1903.19(d)(1) requires certification and documentation that the
abatement of the
above violation is completed.
Recent events (2)
  • — I (S) $7000.00
  • — Z (S) $7000.00

1910.119 F04

Other-than-serious Gravity 10 1 instance 2 exposed
Issued
Feb 17, 2012
Abate by
Mar 21, 2012
Penalty
Initial $7,000 · Current $5,000 Reduced
29 CFR 1910.119(f)(4):  The employer did not develop and implement safe
work practices for
employees and contractor employees to provide for the control of hazards
during operations such
as lockout/tagout; confined space entry; opening process equipment or
piping; and control over
entrance into a facility by maintenance, contractor, laboratory, or other
support personnel:
Safe work practices were not developed and implemented for opening process
equipment
or piping, which including elements such as but not limited to assigning
responsibility
for approvals, evacuation, and purging requirements, auditing for
compliance, training,
and personal protective equipment requirements.
Employees were exposed to catastrophic release of ammonia which results in
asphyxiation, explosion and flash fire leading to death and injury to
persons in and near
the station.
29 CFR 1903.19(d)(1) requires certification and documentation that the
abatement of the
above violation is completed.
Recent events (2)
  • — I (O) $5000.00
  • — Z (S) $7000.00

1910.119 G02

Other-than-serious Gravity 10 1 instance 2 exposed
Issued
Feb 17, 2012
Abate by
Mar 21, 2012
Penalty
Initial $7,000 · Current $2,500 Reduced
29 CFR 1910.119(g)(2):  The employer did not consult with employees in
determining the
appropriate frequency interval for refresher training:
The employer did not consult with employees concerning the frequency of
their need for
refresher training.
Employees were exposed to catastrophic release of ammonia which results in
asphyxiation, explosion and flash fire leading to death and injury to
persons in and near
the station.
29 CFR 1903.19(d)(1) requires certification and documentation that the
abatement of the
above violation is completed.
Recent events (2)
  • — I (O) $2500.00
  • — Z (S) $7000.00

1910.119 G03

Deleted Serious Gravity 10 1 instance 2 exposed
Issued
Feb 17, 2012
Abate by
Mar 21, 2012
29 CFR 1910.119(g)(3):  The employer did not prepare a means of verifying
that
the employee
had received and understood the training required by 29 CFR 1910.119(g):
There was no documentation of the means that the employer used to verify
through
demonstration that the employees understood any training they received
including startup
and shutdown.
Employees were exposed to catastrophic release of ammonia which results in
asphyxiation, explosion and flash fire leading to death and injury to
persons in and near
the station.
29 CFR 1903.19(d)(1) requires certification and documentation that the
abatement of the
above violation is completed.
Recent events (2)
  • — I (S)
  • — Z (S)

View Magellan Midstream Partners, LP's full OSHA safety record →

This record is reproduced from the U.S. Department of Labor Open Data API (OSHA inspection dataset). The original IMIS detail view is available at OSHA's Establishment Search for activity number 315091207.

Look up any company's OSHA accident reports by company, or browse severe injury reports by year, state, and company.