SHEBOYGAN, WI —
OSHA Inspection: PLASTICS ENGINEERING COMPANY
Planned inspection · Health discipline
At a glance
On , OSHA opened a planned health inspection of PLASTICS ENGINEERING COMPANY in 2732 NORTH 15TH STREET, SHEBOYGAN, WI 53083 (NAICS 325211). OSHA activity number 340877653.
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employer broke any rule; any findings appear as the citations listed below, and citations can be contested, reduced, or withdrawn.
Where did this inspection happen?
- Establishment
- PLASTICS ENGINEERING COMPANY
- Site address
- 2732 NORTH 15TH STREET
- City
- SHEBOYGAN
- State
- WI
- ZIP
- 53083
- Mailing
- 3518 LAKESHORE RD., SHEBOYGAN, WI 53083
What kind of inspection was it?
- Inspection type
- Planned (H)
- Scope
- Partial (B)
- Discipline
- Health
- Advance notice
- No
- Union status
- B
When did the case open and close?
- Opened
- Closing conference
- Case closed
- Last modified
- Data loaded
Establishment context
- NAICS code
- 325211
- Employees
- 250
- Ownership type
- A
Citations
10 citations on file for this inspection.
1910.119 D03 I B
- Issued
- Feb 22, 2016
- Abate by
- Mar 30, 2016
- Penalty
- Initial $5,000 · Current $7,000
1290
General-duty citation text
29 CFR 1910.119(d)(3)(i)(B): The employer's piping and instrument diagrams were not accurate and did not represent equipment that was existing and was part of the process. On or about 11/24/2015, the employer's piping and instrument diagrams for the outdoor formaldehyde unloading/storage unit and the Resin Building Kettle 19 unit were not accurate and did not represent equipment that was existing and was part of the process when: a) Multiple pieces of equipment on the system, such as but not limited to; valves, strainers, flexible connections, temperature/pressure gages, and temperature/pressure sensors, were not tagged, marked or labeled with information to identify equipment on the system that was represented on the company's P&ID drawings. b) Approximately 21 instances occurred where equipment on the PSM covered systems were not documented on the company's P&ID, such as but not limited to; valves, goose necked vapor release lines, temperature sensors, temporary temperature and pressure devices, flexible lines, antifoam/dry additives equipment, piping lines between Kettle 19 and Condenser 19, a line blind, and a temporary valve. c) Approximately 10 instances occurred where equipment documented on the company's P&ID were not installed on the PSM covered systems, such as but not limited to; pressure gages, valves, a dead-end pipe section and a section of piping from the truck loading area drawn to a non-existent planned storage tank. d) Approximately 3 instances occurred where equipment on the PSM covered systems were not drawn in the correct location on the company's P&ID, such as but not limited to; a line to the sewer from Scale Tank #5 drawn as blanked and disconnected when it was actually connected on the system; finished molten resin tanks (T14, T27, T28, T52) were drawn in the wrong locations; and a drawn 4-way cross section of 4" pipe was actually a 4" Tee section with a 3/4" perpendicular line downstream from the Tee. e) Approximately 7 instances occurred where equipment on the P&ID was identified with the wrong symbol for the part or the symbol was not designated on P&ID legend, such as but not limited to; strainers, valves, lines entering a building from outdoor unloading system, and lines leaving receiver tank 19 didn't designate the adjoining P&ID sheet.
Recent events (2)
- — I (S) $7000
- — Z (S) $5000
1910.119 F03
- Issued
- Feb 22, 2016
- Abate by
- Mar 30, 2016
- Penalty
- Initial $5,000 · Current $7,000
1290
General-duty citation text
29 CFR 1910.119(f)(3): The operating procedures were not reviewed to assure that they reflect current operating practice, including changes that result from changes in process chemicals, technology, and equipment, and changes to facilities and the employer did not certify annually that the operating procedures were current and accurate. a) On or about 08/27/2015, the employer had not annually reviewed or certified that operating procedures were current and accurate such as but not limited to; "Outside Work Crews Working In Or On Company Facilities or Grounds" standard safety procedure #6, "Watch Tour Instruction" for the night watchman, Control System Operations Manual for the tank farm and Resin Kettle Log Batch/Formula operating procedures. b) On or about 11/19/2015, the employer did not review the written operating procedures for formaldehyde unloading when a management of change (MOC) procedure required a temporary change by "Keep Blocking valve open at vapor return hose for Formaldehyde Unloading" as part of the carbon canister (scrubber) MOC procedure (W/O No. 20156362).
Recent events (2)
- — I (S) $7000
- — Z (S) $5000
1910.119 L05
- Issued
- Feb 22, 2016
- Abate by
- Mar 30, 2016
- Penalty
- Initial $0 · Current $7,000
1290
General-duty citation text
29 CFR 1910.119(l)(5): A change covered by this paragraph resulted in a change in the operating procedures or practices required by paragraph (f) of this section, and such procedures or practices were not updated accordingly: On or about 11/19/2015, the written operating procedures for the formaldehyde unloading from truck tankers was not updated accordingly when a temporary management of change (MOC) procedure affected the Chem Unloader employee's operating procedures.
Recent events (2)
- — I (S) $7000
- — Z (S) $0
1910.119 L02 II
- Issued
- Feb 22, 2016
- Abate by
- Mar 30, 2016
- Penalty
- Initial $7,000 · Current $7,000
1290
General-duty citation text
29 CFR 1910.119(l)(2)(ii): 29 CFR 1910.119(l)(2)(ii): The management of change procedures did not assure that the impact of changes on safety and health were addressed prior to any change. The employer's management of change (MOC) procedures did not assure that the impact of changes on safety and health were addressed prior to any change when: a) On or about 10/26/2015, a temporary MOC procedure to install temperature and pressure sensors in a formaldehyde line to Scale 15 was not reviewed by the safety and health department and did not specifically address the potential impact of changes on safety and health. b) On or about 11/19/2015, a temporary MOC procedure to keep a blocking valve open during formaldehyde unloading was not reviewed by the safety and health department and did not specifically address the potential impact of changes on safety and health. c) On or about 12/01/2015, a permanent MOC procedure to relocate formaldehyde carbtrol canister was not reviewed by the safety and health department and did not specifically address the potential impact of changes on safety and health.
Recent events (2)
- — I (S) $7000
- — Z (S) $7000
1910.119 L02 IV
- Issued
- Feb 22, 2016
- Abate by
- Mar 30, 2016
- Penalty
- Initial $0 · Current $7,000
1290
General-duty citation text
29 CFR 1910.119(l)(2)(iv): The management of change procedures did not assure that the necessary time period for the change was addressed prior to any change. The employer's management of change (MOC) procedures did not assure that the necessary time period for the changes were addressed prior to any change when: a) On or about 11/19/2015, a temporary MOC procedure to keep a blocking valve open during formaldehyde unloading did not include an expected completion date or anticipated time period for the change. b) On or about 12/01/2015, a permanent MOC procedure to relocate formaldehyde carbtrol canister in the formaldehyde unloading area did not include an expected completion date or anticipated time period for the change.
Recent events (2)
- — I (S) $7000
- — Z (S) $0
1910.119 M05
- Issued
- Feb 22, 2016
- Abate by
- Mar 30, 2016
- Penalty
- Initial $5,000 · Current $7,000
1290
General-duty citation text
29 CFR 1910.119(m)(5): The employer shall establish a system to promptly address and resolve the incident report findings and recommendations. Resolutions and corrective actions shall be documented. On or about 08/27/2015, the employer did not establish a system to resolve the incident report findings and recommendations when: a) An incident investigation for a release of approximately 5.5 gallons of formalin which occurred on or about 05/16/2013 determined the release was due to a leaking flange. The incident investigation system did not address corrective actions, such as but not limited to mechanical integrity inspections to minimize or eliminate additional releases from leaking flanges or similar equipment. b) An incident investigation for a release of approximately 20 gallons of formalin which occurred on or about 06/25/2014 determined the release was due to the pin used to secure the line's cam-lock fitting was not engaged. The incident investigation system did not address corrective actions, such as but not limited to operating procedures reviews or updates or mechanical integrity quality assurance to minimize or eliminate additional misuses of the equipment.
Recent events (2)
- — I (S) $7000
- — Z (S) $5000
1910.119 M06
- Issued
- Feb 22, 2016
- Abate by
- Mar 30, 2016
- Penalty
- Initial $0 · Current $7,000
1290
General-duty citation text
29 CFR 1910.119(m)(6): The Incident Investigation report was not reviewed with all affected personnel whose job tasks were relevant to the incident findings including contract employees where applicable. On or about 08/27/2015, the employer did not review with all affect personnel whose job tasks are relevant to the incident findings when: a) An incident investigation for a release of approximately 5.5 gallons of formalin which occurred on or about 05/16/2013 determined the release was due to a leaking flange. b) An incident investigation for a release of approximately 20 gallons of formalin which occurred on or about 06/25/2014 determined the release was due to the pin used to secure the line's cam-lock fitting was not engaged. c) An incident investigation for a release of approximately 200-500 gallons of formalin which occurred on or about 01/03/2015 determined the release was due to a leaking valve gasket at the tank farm. d) An incident investigation for a release of approximately 5 gallons of formalin which occurred on or about 09/22/2015 determined the release was due to an unseated valve gasket at the tank farm.
Recent events (2)
- — I (S) $7000
- — Z (S) $0
1910.119 N
- Issued
- Feb 22, 2016
- Abate by
- Mar 30, 2016
- Penalty
- Initial $5,000 · Current $7,000
1290
General-duty citation text
29 CFR 1910.119(n): The emergency action plan did not include procedures for handling small releases. On or about 08/27/2015, the employer's Emergency Response Plan did not include distinctions of small versus large releases of toxic chemicals such as formaldehyde nor did it include procedures for handling small release from the PSM covered system including, but not limited to, the Outdoor Formaldehyde Unloading station or the indoor reactor Kettles and associated equipment.
Recent events (2)
- — I (S) $7000
- — Z (S) $5000
1910.119 O01
- Issued
- Feb 22, 2016
- Abate by
- Mar 30, 2016
- Penalty
- Initial $55,000 · Current $7,000 Reduced
1290
General-duty citation text
29 CFR 1910.119(o)(1): The employer did not certify that they have evaluated compliance with the provisions of this section at least every three years: On or about 08/27/2015, the employer did not conduct or certify, at least every three years, that the company had evaluated compliance with the provisions of this section. The employer's most recent audit was a document titled "Process Safety Management Audit" dated August of 2010; the document was not a compliant compliance audit.
Recent events (2)
- — I (S) $7000
- — Z (W) $55000
1910.119 D03 I F
- Issued
- Feb 22, 2016
- Abate by
- Mar 30, 2016
- Penalty
- Initial $0 · Current $0
1290
General-duty citation text
29 CFR 1910.119(d)(3)(i)(F): The employer did not include the process safety information of the design codes and standards which were employed. On or about 08/27/2015, the employer did not include all the process safety information of design codes and standards when: a) API 2000 was employed by the company to design and maintain the emergency pressure relief systems. b) FM Global standard and equations were employed by the company to size rupture discs. c) Foxboro, Beckman and Asco safety instrumentation systems and emergency shutdown systems were employed by the company to read and regulate equipment temperatures and pressures. d) FM Global standard was employed by the company to design and maintain the fire detection and suppression systems. e) NFPA 12A standard was employed by the company to design and maintain the halon fire suppression system. f) Wisconsin SPS 310 standard was employed by the company to design the dike system. g) Uninterruptable Power Supply (UPS) standard was employed by the company to size, design and maintain the DCS control systems.
Recent events (2)
- — I (O) $0
- — Z (O) $0
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Source
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 340877653.
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