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

OSHA Inspection: ROHM-HAAS ELECTRONICS MATERIAL, LLC

Federal Agency inspection · Health discipline

On , OSHA opened a federal Agency health inspection of ROHM-HAAS ELECTRONICS MATERIAL, LLC in 60 WILLOW STREET, NORTH ANDOVER, MA 01845 (NAICS 325110). OSHA activity number 341164168.

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employer broke any rule; any findings appear as the citations listed below, and citations can be contested, reduced, or withdrawn.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 Rohm-Haas Electronics Material, LLC — free Get an email when a new federal OSHA severe-injury report for Rohm-Haas Electronics Material, LLC is published. One employer, no account, unsubscribe in one click.
Site address
60 WILLOW STREET
City
NORTH ANDOVER
State
MA
ZIP
01845
Mailing
60 WILLOW STREET, NORTH ANDOVER, MA 01845
Inspection type
Federal Agency (M)
Scope
Partial (B)
Discipline
Health
Advance notice
No
Union status
B
Opened
Closing conference
Case closed
Last modified
Data loaded
NAICS code
325110
Employees
50
Ownership type
A

11 citations on file for this inspection.

5(a)(1)

Deleted Serious Gravity 10 4 instances 4 exposed
Issued
Jul 5, 2016
Abate by
Aug 5, 2016
Penalty
Initial $7,000 · Current $0 Reduced
OSH ACT of 1970 Section (5)(a)(1): The employer did not furnish employment and a place of employment which was free from recognized hazards that were causing or likely to cause death or serious physical harm to employees in that employees were exposed to fire and explosion hazards while working with pyrophoric liquids.  Location: Cylinder Prep 1  On or about January 7, 2016, the employer failed to adequately design, inspect, maintain and operate the trimethyl aluminum cylinder reclaim process to prevent oxygen (e.g. in air or water) from contacting and igniting trimethyl aluminum, a pyrophoric chemical, resulting in fire and to explosion hazards to employees  Among other methods, feasible and acceptable abatement method to correct this hazardous condition include the following:   1.  Performing non-destructive testing on the welds to ensure they are full thickness welds and are of the appropriate materials.  The American Welding Society D1.1/D1.1M:2010, Structural Welding Code ? Steel The requirement for welding procedures is in Part A, Section 3. The requirement for NDT (non-destructive) inspection is in Part C, Paragraph 6.11.1 which states, ?6.11.1 Tubular Connection Requirements. For Complete Joint Penetrations groove butt welds welded from one side without backing, the entire length of all completed tubular production welds shall be examined by either RT (radiographic) or UT (ultrasonic). The acceptance criteria shall conform to 6.12.1 or 6.13.3 as applicable.?    2.  Implement a regular inspection schedule for all items used with pyrophoric chemicals.    NFPA 400, Hazardous Materials Code, Section 6.1.16 states, "Equipment, machinery, and required detection and alarm systems associated with hazardous materials shall be maintained in an operable condition. The following shall apply to defective containers, cylinders, and tanks: (1) They shall be removed from service, repaired, or disposed of in an approved manner." Center for Chemical Process Safety (CCPS), Guidelines for Mechanical Integrity Systems, states, "In many respects the Inspection, Testing and Preventive Maintenance (ITPM) program is the core of the mechanical integrity program. The ITPM's objective is to identify and implement maintenance tasks needed to ensure the ongoing integrity of the equipment."  CCPS, Guidelines for Safe Storage and Handling of Reactive Materials, states, "A management system is needed to ensure that all parts of a reactive materials containment system is constructed and maintained to a high degree of mechanical integrity for obvious reasons. The components of such a management system include preventive maintenance, inspection and testing"   3.  Thoroughly investigate any incident of smoke, fire or explosion and ensure similar controls are implemented for all processes where pyrophoric liquids are handled. CCPS, Guidelines for Safe Storage and Handling of Reactive Materials, states, "Prompt and careful investigation of such accidents should identify the underlying management system failures, develop necessary corrective actions, and effectively communicate the results of the investigation to all affected parties and regulatory authorities as required by law." CCPS, Guidelines for Process Safety Fundamentals in General Plant Operations, states, "In an ongoing safety program, incidents and accidents are investigated and analyzed to reduce the likelihood of recurrence. The information gained from these investigations is used to develop corrective action. An assigned group should investigate both personal injury and property damage incidents. The seriousness or potential of the incident will dictate the extent of the investigation. Such an investigation identifies and locates principle hazards and outdated or inefficient processes and procedures. The analysis should produce recommendations for changes to work methods, equipment, processes and training programs."   4.  Perform all work with pyrophoric chemicals in an inert atmosphere such as a glove box. The U.S. Department of Energy PNNL-18668 states "Therefore, it is highly recommended that reagents (liquids or solids) be used whenever possible within the confines of the glovebox or equivalent. Caution must be exercised when removing pyrophoric contaminated glassware, wipes, spatulas, gloves, or septa from the glovebox. When possible, the contaminated equipment should be neutralized inside the glovebox prior to removal."   5.  Create procedures to troubleshoot a rate-of-rise test and for trap change out.  NFPA 400, Hazardous Materials Code, Section 7.3.1 states, "Operating procedures shall be developed for processes regulated by this chapter and implemented in accordance with Section 7.3. Operating procedures shall address the following: (1) Each operating phase including, but not limited to, startup, operation, shutdown, and startup after unscheduled shutdown (2) Operating limits (3) Safety and health controls (4) Safety systems." CCPS, Guidelines for Safe Storage and Handling of Reactive Materials, states, "Due to the hazardous nature of reactive materials, they are often handled in smaller quantities and container sizes than bulk commodity chemicals. For this reason, manual handling of containers ranging from small cartons to drums and tote bins is commonly required. However, manual handling inherently has different incident potentials than piping system transfers. In particular, the close proximity of the operator to the reactive material and the potential for dropping or collision? Therefore, some companies avoid all manual handling of certain highly reactive materials." CCPS, Guidelines for Process Safety Fundamentals in General Plant Operations, states, "Process equipment and procedures? A group of common considerations applies? Design? safe operating limits must be defined. Materials of construction and seals must be appropriate for the application? Operations. The equipment must be operated within design conditions. Operating procedures must be available and scrupulously observed?"
Recent events (3)
  • — F (S) $0
  • — C (S) $7000
  • — Z (S) $7000

1910.106 D04 II

Deleted Serious Gravity 5 1 instance 4 exposed
Issued
Jul 5, 2016
Abate by
Aug 5, 2016
Penalty
Initial $5,500 · Current $0 Reduced
29 CFR 1910.106(d)(4)(ii): Storage in inside storage rooms did not comply with Table H-13:  Location: Cylinder Prep 1  On or about January 7, 2016, the storage of flammable liquids in containers was not in accordance with 1910.106(d)(4)(ii) as the quantity stored, over 35 gallons of flammable liquids, exceeded the maximum allowable storage quantity of 10 gallons per square foot in a room of approximately 1056 square feet.
Recent events (3)
  • — F (S) $0
  • — C (S) $5500
  • — Z (S) $5500

1910.106 E03 IV A

Other-than-serious 1 instance 4 exposed
Issued
Jul 5, 2016
Abate by
Aug 5, 2016
Penalty
Initial $6,600 · Current $6,600
29 CFR 1910.106(e)(3)(iv)(a): Emergency drainage systems were not provided to direct flammable liquid leakage and fire protection water to a safe location.     Location: Cylinder Prep 1    On or about January 7, 2016, emergency drainage systems were not provided to direct any flammable liquids or fire protection water to a safe location.
Recent events (3)
  • — F (O) $6600
  • — C (S) $6600
  • — Z (S) $6600

1910.106 E06 I

Serious Gravity 5 1 instance 4 exposed
Issued
Jul 5, 2016
Abate by
Aug 5, 2016
Penalty
Initial $5,500 · Current $5,500
29 CFR 1910.106(e)(6)(i): Adequate precautions were not taken to prevent the ignition of flammable vapors:     Location: Cylinder Prep 1    On or about January 7, 2016, adequate precautions were not taken to prevent the ignition of trimethyl aluminum in the cylinder reclaim handling area.
Recent events (3)
  • — F (S) $5500
  • — C (S) $5500
  • — Z (S) $5500

1910.36 G02

Serious Gravity 5 1 instance 5 exposed
Issued
Jul 5, 2016
Abate by
Aug 5, 2016
Penalty
Initial $5,500 · Current $5,500
29 CFR 1910.36(g)(2): Exit access was not at least 28 inches (71.1 cm) wide at all points:    Location: Cylinder Prep 1    On or about January 7, 2016, the aisle between the cylinder login area and the storage racks was 27" wide which emergency response personnel believed was not adequate for the movement of personnel and fire protection equipment following the January 7, 2016 pyrophoric event.
Recent events (3)
  • — F (S) $5500
  • — C (S) $5500
  • — Z (S) $5500

1910.106 E09 III

Deleted Serious Gravity 10 2 instances 4 exposed
Issued
Jul 5, 2016
Abate by
Aug 5, 2016
Penalty
Initial $7,000 · Current $0 Reduced
29 CFR 1910.106(e)(9)(iii): Combustible waste material and residues in a building or unit operating area were not kept to a minimum and/or disposed of daily:  1) Location: Cylinder Prep 1  On or about January 7, 2016, the waste trimethyl aluminum in the trap was not kept to a minimum and was not emptied on a daily basis.  2) Location: Cylinder Prep 1  On or about January 7, 2016, a trap containing combustible material was stored in the trimethyl aluminum fume hood.
Recent events (3)
  • — F (S) $0
  • — C (S) $7000
  • — Z (S) $7000

1910.106 H04 IV B

Serious Gravity 10 2 instances 4 exposed
Issued
Jul 5, 2016
Abate by
Aug 5, 2016
Penalty
Initial $7,000 · Current $7,000
29 CFR 1910.106(h)(4)(iv)(b): Where the vapor space of equipment is usually within the flammable range, the probability of explosion damage to equipment was not limited by inerting, by providing an explosion suppression system, or by designing the equipment to contain the peak explosion pressure which may be modified by explosion relief:    Location: Cylinder Prep 1    On or about January 7, 2016, the trimethly aluminum reclaim process was not protected against explosion damage.
Recent events (3)
  • — F (S) $7000
  • — C (S) $7000
  • — Z (S) $7000

1910.110 F02 I

Serious Gravity 10 1 instance 4 exposed
Issued
Jul 5, 2016
Abate by
Aug 5, 2016
Penalty
Initial $7,000 · Current $7,000
29 CFR 1910.110(f)(2)(i): Containers in storage were not located so as to minimize exposure to excessive temperature rise, physical damage, or tampering from unauthorized persons:  Location: Outside of cylinder prep 1  On or about January 7, 2016, propane cylinders were stored outside of cylinder prep 1.
Recent events (3)
  • — F (S) $7000
  • — C (S) $7000
  • — Z (S) $7000

1910.132 A

Repeat Gravity 10 1 instance 4 exposed
Issued
Jul 5, 2016
Abate by
Aug 5, 2016
Penalty
Initial $38,500 · Current $38,500
29 CFR 1910.132(a): Protective equipment was not used when necessary whenever hazards capable of causing injury and impairment were encountered:    Location: Cylinder Prep 1    On or about January 7, 2016, the employer failed to provide and require the use of the appropriate personal protective equipment, such as but not limited to fire protective coats, face shields and hand protection.        The Rohm and Haas Electronic Materials, LLC was previously cited for a violation of this occupational safety and health standard, which was contained in OSHA inspection number 943083, citation number 1, item number 2 and was affirmed as a final order on September 17, 2014, with respect to a workplace located at 60 Willow Street, North Andover, MA 01845.
Recent events (3)
  • — F (R) $38500
  • — C (R) $38500
  • — Z (R) $38500

1910.132 D01

Repeat Gravity 10 2 instances 4 exposed
Issued
Jul 5, 2016
Abate by
Aug 5, 2016
Penalty
Initial $38,500 · Current $0 Reduced
29 CFR 1910.132(d)(1): The employer did not assess the workplace to determine if hazards are present, or are likely to be present, which necessitate the use of personal protective equipment (PPE):    1)  Location: Cylinder Prep 1    On or about January 7, 2016, the employer had not assessed the workplace to determine the hazards present and the appropriate ppe for employees to wear when troubleshooting the system.      2)  Location: Cylinder Prep 1    On or about January 7, 2016, the employer had not assessed the workplace to determine the hazards present and the appropriate ppe for employees to wear when changing a trap.      The Rohm and Haas Electronic Materials, LLC was previously cited for a violation of an equivalent standard, 1910.132(d)(2), which was contained in OSHA inspection number 943083, citation number 1, item number 3 and was affirmed as a final order on September 17, 2014, with respect to a workplace located at 60 Willow Street, North Andover, MA 01845.
Recent events (3)
  • — F (R) $0
  • — C (R) $38500
  • — Z (R) $38500

1904.29 B03

Other-than-serious 4 instances 4 exposed
Issued
Jul 5, 2016
Abate by
Jul 11, 2016
Penalty
Initial $1,100 · Current $1,100
29 CFR 1904.29(b)(3): Each recordable injury or illness were not recorded on the OSHA 300 Log and 301 Incident Report within seven (7) calendar days of receiving information that a recordable injury or illness has occurred:  Location: Facility  On or about January 15, 2016, recordable injuries employees sustained on January 7, 2016, were not recorded on the OSHA 301 incident reports.
Recent events (3)
  • — F (O) $1100
  • — C (O) $1100
  • — Z (O) $1100

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 341164168.

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