CHICAGO, IL ·
OSHA Inspection: R AND R HAULING SERVICES INC.
Complaint inspection · Health discipline
At a glance
On , OSHA opened a complaint health inspection of R AND R HAULING SERVICES INC. in 1124 W. WILSON AVE., CHICAGO, IL 60640 (NAICS 238910). OSHA activity number 343747390.
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employer broke any rule; any findings appear as the citations listed below, and citations can be contested, reduced, or withdrawn.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
- R AND R HAULING SERVICES INC.
- Site address
- 1124 W. WILSON AVE.
- City
- CHICAGO
- State
- IL
- ZIP
- 60640
- Mailing
- 3307 W. 64TH PL., CHICAGO, IL 60629
What kind of inspection was it?
- Inspection type
- Complaint (B)
- Scope
- Partial (B)
- Discipline
- Health
- Advance notice
- No
- Union status
- Non-union (B)
When did the case open and close?
- Opened
- Closing conference
- Case closed
- Last modified
- Data loaded
Establishment context
- NAICS code
- 238910
- Employees
- 6
- Ownership type
- Private (A)
Citations
5 citations on file for this inspection.
1926.1101 G09
- Issued
- Apr 25, 2019
- Abate by
- May 29, 2019
- Penalty
- Initial $2,842 · Current $1,000 Reduced
9020
General-duty citation text
29 CFR 1926.1101(g)(9): Class III asbestos work was not conducted using engineering and work practice controls which minimized the exposure to employees performing the asbestos work and to bystander employees: a) On or about January 29, 2019, the employer did not ensure that their employees, conducting demolition activities, did not damage pipe thermal system insulation (TSI) containing 50% asbestos. Employee(s) performed work likely to disturb ACM/PACM pipe TSI and did not use one or more of the following engineering and work practice controls: wet methods; local exhaust ventilation; impermeable drop-cloths; mini-enclosures; or glove bag systems, thereby exposing their employees to the hazards associated with asbestos. In accordance with 29 CFR 1903.19(d), abatement certification is required for this violation (using the CERTIFICATION OF CORRECTIVE ACTION WORKSHEET), and in addition, documentation demonstrating that abatement is complete must be included with your certification. This documentation may include, but is not limited to, evidence of the purchase or repair of the equipment, photographic or video evidence of abatement, or other written records.
Recent events (2)
- · I (S) $1000
- · Z (S) $2842
1926.1101 H01
- Issued
- Apr 25, 2019
- Abate by
- May 29, 2019
- Penalty
- Initial $2,842 · Current $2,000 Reduced
9020
General-duty citation text
29 CFR 1926.1101(h)(1): For employees who use respirators required by 29 CFR 1926.1101, the employer did not provide each employee an appropriate respirator that complied with the requirements of this paragraph. Respirators must be used during activities listed in sections (i) through (viii) of this paragraph. a) On or about January 29, 2019, the employer did not ensure that their employees, while conducting demolition activities which damaged pipe thermal system insulation (TSI) containing 50% asbestos, used respiratory protection, thereby exposing them to the hazards associated with asbestos. In accordance with 29 CFR 1903.19(d), abatement certification is required for this violation (using the CERTIFICATION OF CORRECTIVE ACTION WORKSHEET), and in addition, documentation demonstrating that abatement is complete must be included with your certification. This documentation may include, but is not limited to, evidence of the purchase or repair of the equipment, photographic or video evidence of abatement, or other written records.
Recent events (2)
- · I (S) $2000
- · Z (S) $2842
1910.134 C01
- Issued
- Apr 25, 2019
- Abate by
- May 29, 2019
- Penalty
- Initial $0 · Current $0
9020
General-duty citation text
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 or about January 29, 2019, the employer did not establish and implement a written respiratory protection program for required respirator use. Employees were exposed to asbestos while conducting demolition activities which damaged pipe thermal system insulation (TSI) containing 50% asbestos, used respiratory protection, thereby exposing them to the hazards associated with asbestos. In accordance with 29 CFR 1903.19(d), abatement certification is required for this violation (using the CERTIFICATION OF CORRECTIVE ACTION WORKSHEET), and in addition, documentation demonstrating that abatement is complete must be included with your certification. This documentation may include, but is not limited to, evidence of the purchase or repair of the equipment, photographic or video evidence of abatement, or other written records.
Recent events (2)
- · I (S) $0
- · Z (S) $0
1926.1101 K09 I
- Issued
- Apr 25, 2019
- Abate by
- May 29, 2019
- Penalty
- Initial $2,842 · Current $2,000 Reduced
9020
General-duty citation text
29 CFR 1926.1101(k)(9)(i): The employer did not institute, at no cost to employees, a training program for each employee who was likely to be exposed in excess of the permissible exposure limit (PEL) and for each employee who performed Class I through IV asbestos operations: a) On or about January 29, 2019, the employer did not institute a training program for employees conducting demolition activities likely to disturb ACM/PACM (Class III work) and cleaning up the resulting dust, waste and debris (Class IV work). During their work, employees damaged pipe thermal system insulation (TSI) containing 50% asbestos, were to the hazards associated with asbestos. In accordance with 29 CFR 1903.19(d), abatement certification is required for this violation (using the CERTIFICATION OF CORRECTIVE ACTION WORKSHEET), and in addition, documentation demonstrating that abatement is complete must be included with your certification. This documentation may include, but is not limited to, evidence of the purchase or repair of the equipment, photographic or video evidence of abatement, or other written records.
Recent events (2)
- · I (S) $2000
- · Z (S) $2842
1926.1101 O01
- Issued
- Apr 25, 2019
- Abate by
- May 29, 2019
- Penalty
- Initial $2,842 · Current $2,000 Reduced
9020
General-duty citation text
29 CFR 1926.1101(o)(1): The employer did not designate a competent person on construction worksites, having the qualifications and authorities for ensuring worker safety and health required by 29 CFR 1926.1101(C), General Safety and Health Provisions for Construction 29 CFR 1926.20 through 29 CFR 1926.32: a) On or about January 29, 2019, the employer did not designate a competent person at 1124 W. Wilson Ave, Chicago, IL 60640. Employees were exposed to asbestos while conducting demolition activities which damaged pipe thermal system insulation (TSI) containing 50% asbestos. In accordance with 29 CFR 1903.19(d), abatement certification is required for this violation (using the CERTIFICATION OF CORRECTIVE ACTION WORKSHEET), and in addition, documentation demonstrating that abatement is complete must be included with your certification. This documentation may include, but is not limited to, evidence of the purchase or repair of the equipment, photographic or video evidence of abatement, or other written records.
Recent events (2)
- · I (S) $2000
- · Z (S) $2842
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Source
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 343747390.
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