CHICAGO, IL —
OSHA Inspection: D & H ENERGY MANAGEMENT COMPANY, LLC
Complaint inspection · Health discipline
At a glance
On , OSHA opened a complaint health inspection of D & H ENERGY MANAGEMENT COMPANY, LLC in 5801 N PULASKI, CHICAGO, IL 60629 (NAICS 236210). OSHA activity number 342079456.
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employer broke any rule; any findings appear as the citations listed below, and citations can be contested, reduced, or withdrawn.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
- D & H ENERGY MANAGEMENT COMPANY, LLC
- Site address
- 5801 N PULASKI
- City
- CHICAGO
- State
- IL
- ZIP
- 60629
- Mailing
- 11420 KREUTZER ROAD, HUNTLEY, IL 60142
What kind of inspection was it?
- Inspection type
- Complaint (B)
- 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
- 236210
- Employees
- 17
- Ownership type
- A
Citations
7 citations on file for this inspection.
1910.134 F02
- Issued
- Apr 19, 2017
- Penalty
- Initial $3,621 · Current $2,136 Reduced
P125
General-duty citation text
29 CFR 1926.103: The requirements applicable to construction work under this section are identical to those set forth at 29 CFR 1910.134 of this chapter. 29 CFR 1910.134(f)(2): Employee(s) using a tight-fitting facepiece respirator were not annually fit tested: (a) On February 6, 2017, D & H Energy Management Company, LLC did not ensure that all employees required to wear 3M full face face respirators, were provided with an annual fit test.
Recent events (2)
- — I (S) $2136
- — Z (S) $3621
1910.134 G01 I A
- Issued
- Apr 19, 2017
- Abate by
- May 15, 2017
- Penalty
- Initial $3,621 · Current $2,136 Reduced
P125
General-duty citation text
29 CFR 1926.103: The requirements applicable to construction work under this section are identical to those set forth at 29 CFR 1910.134 of this chapter. 29 CFR 1910.134(g)(1)(i)(A): Respirators with tight-fitting facepieces were worn by employees who had facial hair that came between the sealing surface of the facepiece and the face or that interfered with valve function: (a) On February 6, 2017, D & H Energy Management Company, LLC, did not ensure that an employee who was required to wear a 3M 6800 full-face respirator with 60921 organic vapor cartridges, did not have facial hair that interfered with the face to facepiece seal.
Recent events (2)
- — I (S) $2136
- — Z (S) $3621
1910.134 I05 III
- Issued
- Apr 19, 2017
- Abate by
- May 8, 2017
- Penalty
- Initial $5,070 · Current $3,000 Reduced
P125
General-duty citation text
29 CFR 1926.103: The requirements applicable to construction work under this section are identical to those set forth at 29 CFR 1910.134 of this chapter. 29 CFR 1910.134(i)(5)(iii): Sorbent beds and filters were not maintained and replaced or refurbished periodically following the manufacturers instructions a) On February 6, 2017, D & H Energy Management Company, LLC did not ensure that the filter cartridge on the Allegro (pot style) airline filters used with the supplied air respirator were replaced per the manufacturer's instructions.
Recent events (2)
- — I (S) $3000
- — Z (S) $5070
1910.134 C01
- Issued
- Apr 19, 2017
- Abate by
- May 15, 2017
- Penalty
- Initial $0 · Current $0
P125
General-duty citation text
29 CFR 1926.103: The requirements applicable to construction work under this section are identical to those set forth at 29 CFR 1910.134 of this chapter. 29 CFR 1910.134(c)(1): A written respiratory protection program that included the provisions in 29 CFR 1910.134(c)(1)(i) - (ix) with worksite specific procedures was not established and implemented for required respirator use: (a) On February 7, 2017, D & H Energy Management Company, LLC did not ensure that the written respiratory protection program contained worksite specific procedures when respirators were required to be used in the workplace.
Recent events (2)
- — I (O) $0
- — Z (O) $0
1910.134 E06 I
- Issued
- Apr 19, 2017
- Abate by
- May 15, 2017
- Penalty
- Initial $406 · Current $328 Reduced
P125
General-duty citation text
29 CFR 1926.103: The requirements applicable to construction work under this section are identical to those set forth at 29 CFR 1910.134 of this chapter. 29 CFR 1910.134(e)(6)(i): The employer did not obtain from the physician or other licensed health care professional (PLHCP) a written recommendation regarding the employee's ability to use the respirator: (a) On February 7, 2017, D & H Energy Management Company, LLC did not obtain a written recommendation from a licensed health care physician regarding employee(s) ability to use a respirator before respirators use was required.
Recent events (2)
- — I (O) $328
- — Z (O) $406
1910.134 M02 I C
- Issued
- Apr 19, 2017
- Abate by
- May 15, 2017
- Penalty
- Initial $0 · Current $0
P125
General-duty citation text
29 CFR 1926.103: The requirements applicable to construction work under this section are identical to those set forth at 29 CFR 1910.134 of this chapter. 29 CFR 1910.134(m)(2)(i)(C): The employer did not establish a record of the qualitative and quantitative fit tests administered to an employee which included the specific make, model, style and size of respirator tested: (a) On February 7, 2017, D & H Energy Management Company, LLC did not establish a record of qualitative or quantitative fit tests that included the information required by 29 CFR 1910.134(m)(2)(i)(A) through (m)(2)(i)(E). The fit test record(s) did not include the model/type of respirator tested.
Recent events (2)
- — I (O) $0
- — Z (O) $0
1910.1200 E01 II
- Issued
- Apr 19, 2017
- Abate by
- May 15, 2017
- Penalty
- Initial $0 · Current $0
P125
General-duty citation text
29 CFR 1926.59: The requirements applicable to construction work under this section are identical to those set forth at 29 CFR 1910.1200 of this chapter. 29 CFR 1910.1200(e)(1)(ii): The written hazard communication program did not include the methods the employer will use to inform employees of the hazards of non routine tasks: a) On February 6, 2017, D & H Energy Management Company, LLC did not ensure that the hazard communication program contained information for the methods the employer will use to inform employees of non-routine tasks including, but not limited to: cleanup of chemical spills.
Recent events (2)
- — I (O) $0
- — Z (O) $0
More inspections in this industry (NAICS 236210)
More inspections in IL
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 342079456.
Look up any company's OSHA accident reports by company, or browse severe injury reports by year, state, and company.