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

OSHA Inspection: FIRSTENERGY GENERATION LLC

Unprogrammed Related inspection · Health discipline

On , OSHA opened an unprogrammed Related health inspection of FIRSTENERGY GENERATION LLC in BRUCE MANSFIELD PLANT 128 FERRY HILL ROAD, SHIPPINGPORT, PA 15077 (NAICS 221112). OSHA activity number 342597374.

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employer broke any rule; any findings appear as the citations listed below, and citations can be contested, reduced, or withdrawn.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
BRUCE MANSFIELD PLANT 128 FERRY HILL ROAD
City
SHIPPINGPORT
State
PA
ZIP
15077
Mailing
128 FERRY HILL ROAD, SHIPPINGPORT, PA 15077
Inspection type
Unprogrammed Related (G)
Scope
Partial (B)
Discipline
Health
Advance notice
No
Union status
A
Opened
Closing conference
Case closed
Last modified
Data loaded
NAICS code
221112
Employees
100
Ownership type
A

11 citations on file for this inspection.

1910.146 C06

Serious Gravity 10 1 instance 6 exposed
Issued
Feb 27, 2018
Penalty
Initial $12,934 · Current $10,994 Reduced

Hazardous substances 1480

29 CFR 1910.146(c)(6): When there were changes in the use or configuration of a non-permit confined space that could increase the hazards to entrants, the employer did not reevaluate that space and, when necessary, reclassify it as a permit-required confined space:    a) In the North Division Vault of the North LDS Pond, on or about August 29, 2017 - The employer failed to reevaluate and reclassify the vault as a permit-required confined space before mechanical contractors began to open the 24-inch LDS pipe line which introduced a water engulfment hazard, hydrogen sulfide atmospheric hazard and hazards associated with oxygen fuel gas torch use into the space.
Recent events (3)
  • — J (S) $10993.9
  • — C (S) $12934
  • — Z (S) $12934

1910.146 C08 I

Serious Gravity 10 1 instance 6 exposed
Issued
Feb 27, 2018
Penalty
Initial $12,934 · Current $10,994 Reduced

Hazardous substances 1480

29 CFR 1910.146(c)(8)(i): When an employer arranged to have employees of another employer (contractor) perform work that involved permit space entry, the host employer did not inform the contractor that the workplace contained permit spaces and that permit space entry is allowed only through compliance with a permit space program meeting the requirements of this section:    a) In the North Division Vault of the North LDS Pond, on or about August 29, 2017 - The employer failed to inform the mechanical contractor that the vault was a permit-required confined space prior to entry by mechanical contractor employees.
Recent events (3)
  • — J (S) $10993.9
  • — C (S) $12934
  • — Z (S) $12934

1910.146 C08 II

Serious Gravity 10 1 instance 6 exposed
Issued
Feb 27, 2018
Penalty
Initial $0 · Current $0

Hazardous substances 1480

29 CFR 1910.146(c)(8)(ii): When an employer arranged to have employees of another employer (contractor) perform work that involved permit space entry, the host employer did not apprise the contractor of the elements, including the hazards identified and the host employer's experience with the space, that make the space in question a permit space:    a) In the North Division Vault of the North LDS Pond, on or about August 29, 2017 - The employer failed to apprise the mechanical contractor of the engulfment hazard, hazardous atmosphere hazards, and hazards associated with use of oxygen fuel gas torch cutting hazard during entry into the vault.
Recent events (3)
  • — J (S) $0
  • — C (S) $0
  • — Z (S) $0

1910.146 D05 II

Serious Gravity 10 1 instance 6 exposed
Issued
Feb 27, 2018
Penalty
Initial $12,934 · Current $10,994 Reduced

Hazardous substances 1480

29 CFR 1910.146(d)(5)(ii): Under the permit-required confined space program required by 29 CFR 1910.146(c)(4), the employer did not evaluate permit space conditions when entry operations were conducted by testing or monitoring the permit space as necessary to determine if acceptable entry conditions are being maintained during the course of entry operations:    a) In the North Division Vault of the North LDS Pond, on or about August 29, 2017 - The employer failed to monitor the vault for acceptable entry conditions while mechanical contractor employees were inside the vault conducting operations which could introduce hydrogen sulfide gas including removing a 24-inch LDS pipe elbow.
Recent events (3)
  • — J (S) $10993.9
  • — C (S) $12934
  • — Z (S) $12934

1910.146 G01

Serious Gravity 10 1 instance 1 exposed
Issued
Feb 27, 2018
Penalty
Initial $12,934 · Current $10,994 Reduced

Hazardous substances 1480

29 CFR 1910.146(g)(1): The employer did not provide training so that all employees whose work was regulated by 29 CFR 1910.146 (permit required confined spaces) acquired the understanding, knowledge, and skills necessary for the safe performance of the duties assigned under 29 CFR 1910.146:    a) In the North Division Vault of the North LDS Pond, on or about August 29, 2017 - The entry supervisor/lead did not acquire understanding, knowledge, and skills necessary to perform duties assigned under 29 CFR 1910.146.
Recent events (3)
  • — J (S) $10993.9
  • — C (S) $12934
  • — Z (S) $12934

1910.146 G03

Serious Gravity 10 1 instance 1 exposed
Issued
Feb 27, 2018
Penalty
Initial $0 · Current $0

Hazardous substances 1480

29 CFR 1910.146(g)(3): The employer did not provide training that established employee proficiency in the duties required by 29 CFR 1910.146, Permit-required confined spaces, and did not introduce new or revised procedures, as necessary, for compliance with this section:  a) In the North Division Vault of the North LDS Pond, on or about August 29, 2017 - The employer failed to provide training that established the entry supervisor/lead's proficiency in the duties required by 29 CFR 1910.146.
Recent events (3)
  • — J (S) $0
  • — C (S) $0
  • — Z (S) $0

1910.1200 H03

Serious Gravity 10 1 instance 1 exposed
Issued
Feb 27, 2018
Penalty
Initial $12,934 · Current $10,994 Reduced

Hazardous substances 1480

29 CFR 1910.1200(h)(3): The employee training did not include the requirements of 29 CFR 1910.1200(h)(3)(i) through (h)(3)(iv):    a) In the North Division Vault of the North LDS Pond, on or about August 29, 2017 - The employer failed to provide training to the entry supervisor/lead on the methods and observations used to detect the presence or release of hydrogen sulfide in the vault, health hazards of hydrogen sulfide in the vault, and measures employees can take to protect themselves from hydrogen sulfide in the vault.
Recent events (3)
  • — J (S) $10993.9
  • — C (S) $12934
  • — Z (S) $12934

1910.1000 B02

Serious Gravity 10 1 instance 1 exposed
Issued
Feb 27, 2018
Penalty
Initial $12,934 · Current $10,994 Reduced

Hazardous substances 1480

29 CFR 1910.1000(b)(2): Employee(s) were exposed to an airborne concentration of hydrogen sulfide listed in Table Z-2 in excess of the ceiling concentration of 20 ppm:    a) In the North Division Vault of the North LDS Pond, on or about August 30, 2017 - A FirstEnergy Generation LLC employee was hospitalized as a result of exposure to hydrogen sulfide gas above the ceiling concentration of 20 ppm while the FirstEnergy employee was at the top of the vault as contractors removed an elbow from the 24-inch LDS pipe line.
Recent events (3)
  • — J (S) $10993.9
  • — C (S) $12934
  • — Z (S) $12934

1910.1000 E

Serious Gravity 10 1 instance 1 exposed
Issued
Feb 27, 2018
Penalty
Initial $0 · Current $0

Hazardous substances 1480

29 CFR 1910.1000(e): Feasible administrative or engineering controls were not determined and implemented to achieve compliance with the limits prescribed in 29 CFR 1910.1000(a) through (d):  a) In the North Division Vault of the North LDS Pond, on or about August 30, 2017 - The employer failed to determine and implement feasible administrative or engineering controls to achieve compliance with the permissible exposure and ceiling limits for hydrogen sulfide while a FirstEnergy employee was working at the top of the vault and, at the same time, contractors removed an elbow from the 24-inch LDS pipe line.
Recent events (3)
  • — J (S) $0
  • — C (S) $0
  • — Z (S) $0

1910.134 C01

Serious Gravity 10 1 instance 1 exposed
Issued
Feb 27, 2018
Penalty
Initial $0 · Current $0

Hazardous substances 1480

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) In the North Division Vault of the North LDS Pond, on or about August 30, 2017 - The employer failed to implement the respiratory protection program for an employee who was exposed to hydrogen sulfide above the permissible exposure and ceiling limits while contractors were inside the vault removing an elbow from a 24-inch line that contained water, hydrogen sulfide gas, and ash slurry.
Recent events (3)
  • — J (S) $0
  • — C (S) $0
  • — Z (S) $0

1910.134 D01 I

Serious Gravity 10 1 instance 1 exposed
Issued
Feb 27, 2018
Penalty
Initial $0 · Current $0

Hazardous substances 1480

29 CFR 1910.134(d)(1)(i): An appropriate respirator was not selected and provided based on the respiratory hazard(s) to which the worker is exposed and workplace and user factors that affect respirator performance and reliability:  a) In the North Division Vault of the North LDS Pond, on or about August 30, 2017 - The employer failed to select and provide appropriate respiratory protection to an employee who was exposed to hydrogen sulfide gas above the permissible exposure limit.
Recent events (3)
  • — J (S) $0
  • — C (S) $0
  • — Z (S) $0

View Firstenergy Generation LLC'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 342597374.

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