WILMINGTON, DE —
OSHA Inspection: MARIO RUIZ
Unprogrammed Other inspection · Safety discipline
At a glance
On , OSHA opened an unprogrammed Other safety inspection of MARIO RUIZ in 414 N MATSON RUN PKWY, WILMINGTON, DE 19802 (NAICS 238160). OSHA activity number 345771042.
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employer broke any rule; any findings appear as the citations listed below, and citations can be contested, reduced, or withdrawn.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
- MARIO RUIZ
- Site address
- 414 N MATSON RUN PKWY
- City
- WILMINGTON
- State
- DE
- ZIP
- 19802
- Mailing
- 4241 MILL CREEK ROAD, HOCKESSIN, DE 19707
What kind of inspection was it?
- Inspection type
- Unprogrammed Other (I)
- Scope
- Partial (B)
- Discipline
- Safety
- 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
- 238160
- Employees
- 3
- Ownership type
- A
Citations
6 citations on file for this inspection.
1910.1200 E01
- Issued
- Aug 5, 2022
- Abate by
- Aug 25, 2022
- Penalty
- Initial $3,729 · Current $3,729
General-duty citation text
29 CFR 1910.1200(e)(1): The employer did not develop, implement, and maintain at the workplace a written hazard communication program which describes how the criteria specified in paragraphs (f), (g), & (h) of this section for labels and other forms of warning, safety data sheets, and employee information and training will be met, and which also includes items (i) and (ii) of this subparagraph: a) 414 N Matson Run Pkwy, Wilmington, DE 19802: On or about February 9, 2022, the employer did not provide or maintain a hazardous communication program to include labels and other forms of warning, safety data sheets, and employee information and training as required. ABATEMENT NOTE: A written program shall include description of how the criteria for the following will be met: 1. Labeling and other forms of warning; 2. Material Safety Data Sheets; 3. Employee information and training Additionally, a list of hazardous chemicals known to be preset in the workplace must be compiled. Methods used to inform employees of the hazards associated with non-routine tasks and the informing of contractors of workplace hazards, including a description of the labeling system used in the facility and of the availability of material safety data sheets, must also be addressed. The written program must be made available upon request.
Recent events (1)
- — Z (S) $3729
1910.1200 E01 I
- Issued
- Aug 5, 2022
- Abate by
- Aug 25, 2022
- Penalty
- Initial $0 · Current $0
General-duty citation text
29 CFR 1910.1200(e)(1)(i): The employer did not compile a list of the hazardous chemicals known to be present using a product identifier that was referenced on the appropriate safety data sheet. a) 414 N Matson Run Pkwy, Wilmington, DE 19802: On or about February 9, 2022, the employer did not develop nor maintain a chemical inventory list identifying the hazardous chemicals being used by their employees.
Recent events (1)
- — Z (S) $0
1910.1200 H01
- Issued
- Aug 5, 2022
- Abate by
- Aug 25, 2022
- Penalty
- Initial $0 · Current $0
General-duty citation text
29 CFR 1910.1200(h)(1): Employees were not provided effective information and training on hazardous chemicals in their work area at the time of their initial assignment and whenever a new hazard that the employees had not been previously trained about was introduced into their work area: a) 414 N Matson Run Pkwy, Wilmington, De. 19802 (Front/Rear Roof): On or about February 9, 2022, the employer did not provide training on hazardous chemicals to be used on the site nor did Mario Ruiz (Owner) provide SDS sheets for the employees to reference in case there was an exposure.
Recent events (1)
- — Z (S) $0
1926.150 C01 I
- Issued
- Aug 5, 2022
- Abate by
- Aug 31, 2022
- Penalty
- Initial $3,729 · Current $3,729
General-duty citation text
29 CFR 1926.150(c)(1)(i): A fire extinguisher, rated not less than 2A, was not provided for each 3,000 square feet of the protected building area, or major fraction thereof and the travel distance from any point of the protected area to the nearest fire extinguisher exceeded 100 feet: a) 414 N Matson Run Pkwy, Wilmington, DE 19802 (Front/Rear Roof): On or about February 9, 2022, the employer did not provide fire extinguishing equipment at the site where employees were required to use flammable chemicals to perform their required daily duties.
Recent events (1)
- — Z (S) $3729
1926.501 B13
- Issued
- Aug 5, 2022
- Abate by
- Aug 25, 2022
- Penalty
- Initial $4,351 · Current $4,351
General-duty citation text
29 CFR 1926.501(b)(13): Each employee(s) engaged in residential construction activities 6 feet (1.8 m) or more above lower levels were not protected by guardrail systems, safety net system, or personal fall arrest system, nor were employee(s) provided with an alternative fall protection measure under another provision of paragraph 1926.501(b) a) 414 N Matson Run Pkwy, Wilmington, DE 19802 (Front/Rear Roof): On or about February 9, 2022, the employer failed to ensure employees conducting roofing activities on a single-story residential structure were provided adequate fall protection.
Recent events (1)
- — Z (S) $4351
1926.503 A01
- Issued
- Aug 5, 2022
- Abate by
- Aug 25, 2022
- Penalty
- Initial $4,351 · Current $4,351
General-duty citation text
29 CFR 1926.503(a)(1): The employer did not provide a training program for each employee who might be exposed to fall hazards: a) 414 N Matson Run Pkwy, Wilmington, DE 19802 (Front/Rear Roof): On or about February 9, 2022, the employer failed to provide adequate training to employees exposed to fall hazards while engaged in residential roofing activities approximately 10-15feet above grade. Abatement Note: The training program must enable the employees to recognize the hazards of falling and must train each employee in the procedures to be followed in order to minimize these hazards. Each employee must be trained by a competent person in the following: 1. The nature of fall hazards in the work area; 2. The correct procedures for erecting, maintaining, disassembling, and inspecting the fall protection systems to be used; 3. The use and operation of guardrail systems, personal fall arrest systems, safety net systems, warning line systems, safety monitoring systems, controlled access zones, and other protection to be used; 4. The role of each employee in the safety monitoring system when this system is used; 5. The limitations on the use of mechanical equipment during the performance of roofing work on low-sloped roofs; 6. The correct procedures for the handling and storage of equipment and materials and the erection of overhead protection; 7. The role of employees in fall protection plans; 8. The standards contained in this subpart. The employer must verify compliance with paragraph (a) of this section by preparing a written certification record that will contain the name or other identity of the employee trained, the date(s) of the training, and the signature of the person who conducted the training or the signature of the employer.
Recent events (1)
- — Z (S) $4351
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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 345771042.
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