Safety Incidents OSHA Severe Injury Reports · 2015–2025
5,198,892Inspections Most recent open 2026-09-03 Last loaded 2026-09-07

OSHA Inspection: LEONARD S. FIORE INC.

Planned inspection · Health discipline

On , OSHA opened a planned health inspection of LEONARD S. FIORE INC. in 2831 WASHINGTON AVE, CLEARFIELD, PA 16830 (NAICS 236220). OSHA activity number 339630014.

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employer broke any rule; any findings appear as the citations listed below, and citations can be contested, reduced, or withdrawn.

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Site address
2831 WASHINGTON AVE
City
CLEARFIELD
State
PA
ZIP
16830
Mailing
5506 6TH AVENUE, REAR, ALTOONA, PA 16602
Inspection type
Planned (H)
Scope
Complete (A)
Discipline
Health
Advance notice
No
Union status
Non-union (B)
Opened
Closing conference
Case closed
Last modified
Data loaded
NAICS code
236220
Employees
20
Ownership type
Private (A)

4 citations on file for this inspection.

1910.134 E01

Other-than-serious 1 instance 1 exposed
Issued
May 21, 2014
Abate by
Jun 26, 2014
Penalty
Initial $2,970 · Current $1,700 Reduced
29 CFR 1910.134(e)(1): The employer did not provide a medical evaluation to determine an employee's ability to use a respirator, before the employee was fit tested or required to use the respirator in the workplace: (Construction Reference 1926.103)       a) Leonard S. Fiore, Inc., 2831 Washington Avenue, Clearfield, PA - On or about March 6, 2014 - The employer did not provide a medical evaluation for an employee required to wear a half-face, tight-fitting, air-purifying respirator.  The employer required use of the respirator for protection against particulates while scraping insulation from the ceiling.
Recent events (2)
  • · I (O) $1700
  • · Z (S) $2970

1910.134 E02 I

Deleted Serious Gravity 1 1 instance 1 exposed
Issued
May 21, 2014
Abate by
Jun 26, 2014
Penalty
Initial $0 · Current $0
29 CFR 1910.134(e)(2)(i): The employer did not identify a physician or other licensed health care professional (PLHCP) to perform medical evaluations using a medical questionnaire or an initial medical examination that obtained the same information as the medical questionnaire: (Construction Reference 1926.103)   a) Leonard S. Fiore, Inc., 2831 Washington Avenue, Clearfield, PA - On or about March 6, 2014 - Company employee(s) were required to use tight-fitting, half-face, air-purifying respirators with P100 filters for protection against particulates while conducting scraping operations.  The company's written Respiratory Protection Program did not identify the physician or other licensed health care professional that would conduct respirator medical evaluations.
Recent events (2)
  • · I (S) $0
  • · Z (S) $0

1910.134 E03 I

Deleted Serious Gravity 1 1 instance 1 exposed
Issued
May 21, 2014
Abate by
Jun 26, 2014
Penalty
Initial $0 · Current $0
29 CFR 1910.134(e)(3)(i): The employer did not provide a follow-up medical examination for employees who gave a positive response to any question among questions 1 through 8 in Section 2, Part A of Appendix C, or whose initial medical evaluation demonstrated a need for a follow-up medical examination: (Construction Reference 1926.103):  a) Leonard S. Fiore, Inc., 2831 Washington Avenue, Clearfield, PA - On or about March 6, 2014 - Company employee(s) were required to use tight-fitting, half-face, air-purifying respirators with P100 filters for protection against particulates while conducting scraping operations.  Employees who completed the OSHA Respirator Medical Evaluation Questionnaire were not sent to a physician or other licensed health care professional for medical evaluations prior to using the assigned respirator on the construction site.
Recent events (2)
  • · I (S) $0
  • · Z (S) $0

1910.134 C01

Other-than-serious 1 instance 1 exposed
Issued
May 21, 2014
Abate by
Jun 26, 2014
Penalty
Initial $0 · Current $0
29 CFR 1910.134(c)(1): A written respiratory protection program that included the provisions in 29 CFR 1910.134(c)(1)(i) - (ix) was not established and implemented with worksite specific procedures for required respirator use: (Construction Reference 1926.103):       a) Leonard S. Fiore, Inc., 2831 Washington Avenue, Clearfield, PA - On or about March 6, 2014 - Company employee(s) were required to use tight-fitting, half-face, air-purifying respirators with P100 filters for protection against particulates while conducting scraping operations.  The company's written Respiratory Protection Program did not include worksite specific information including, but not limited to, the following:      1.) identification of the physician or other licensed health care professional that will conduct medical evaluations;      2.) the cleaning schedule/frequency of respirators;       3.) the cleaning material / agent to be used for cleaning respirators at construction sites;      4.) the respirator storage area;       5.) a description of training, and method of training, to be conducted at construction sites; and       6.) the identification of personnel that will ensure compliance with the company's Respiratory Protection Program while on construction sites.
Recent events (2)
  • · I (O) $0
  • · Z (S) $0

View Leonard S. Fiore INC.'s full OSHA safety record →

This record is reproduced from the U.S. Department of Labor Open Data API (OSHA inspection dataset). OSHA publishes its own view of this case as inspection number 339630014.

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