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

OSHA Inspection: KRAFT HEINZ FOODS COMPANY

Planned inspection · Health discipline

On , OSHA opened a planned health inspection of KRAFT HEINZ FOODS COMPANY in 4600 WACO ROAD, COLUMBIA, MO 65202 (NAICS 311613). OSHA activity number 345928162.

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employer broke any rule; any findings appear as the citations listed below, and citations can be contested, reduced, or withdrawn.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
4600 WACO ROAD
City
COLUMBIA
State
MO
ZIP
65202
Mailing
4600 WACO ROAD, COLUMBIA, MO 65202
Inspection type
Planned (H)
Scope
Complete (A)
Discipline
Health
Advance notice
No
Union status
B
Opened
Closing conference
Case closed
Last modified
Data loaded
NAICS code
311613
Employees
500
Ownership type
A

4 citations on file for this inspection.

1910.119 D03 I B

Serious Gravity 5 3 instances 14 exposed
Issued
Oct 20, 2022
Abate by
Jan 30, 2023
Penalty
Initial $10,360 · Current $10,360

Hazardous substances 0170

29 CFR 1910.119(d)(3)(i)(B): The employer's piping and instrument diagrams were not accurate and did not represent equipment that was existing and was part of the process.  At a worksite located at 4600 Waco Rd, Columbia, MO 65202 (Ammonia Yard):   a) This included but was not limited to ANSI/IIAR 2 - 2021 Section 5.14.6, when the ammonia piping system line B3 PHL HDP located in Powerhouse Yard on P&ID R706 was not labeled with the following information: "ammonia, physical state (e.g. liquid or gas), relative pressure level, and direction of flow.  This hazardous condition exposed employees engaged in repairing, replacing, operating, inspecting, testing, and maintenance activities of covered process equipment to toxic, cryogenic, and fire hazards in the event of an anhydrous ammonia release.
Recent events (3)
  • — F (S) $10360
  • — C (S) $10360
  • — Z (S) $10360

1910.119 D03 II

Deleted Serious Gravity 5 1 instance 5 exposed
Issued
Oct 20, 2022
Abate by
Nov 16, 2022
Penalty
Initial $10,360 · Current $0 Reduced

Hazardous substances 0170

29 CFR 1910.119(d)(3)(ii): The employer did not document that the equipment complies with recognized and generally accepted good engineering practices.  At a worksite located at 4600 Waco Rd, Columbia, MO 65202 (Ammonia Yard):   The employer failed to protect employees because the employer did not document that the equipment complies with the employer's chosen recognized and generally accepted good engineering practices (RAGAGEP). This was last demonstrated on or about September 28, 2022, and at times prior to that.  a) This included but was not limited to ANSI/IIAR 2 - 2021 Section 5.14.6, when the ammonia piping system line B3 PHL HDP located in Powerhouse Yard on P&ID R706 was not labeled with the following information:  "ammonia, physical state (e.g. liquid or gas), relative pressure level, and direction of flow.    b) This included but was not limited to ANSI/IIAR 2 - 2021 Section 5.14.6, when the ammonia piping system line N HPR associated with HV2 located in Powerhouse Yard on P&ID R 706 was not labeled with the following information:  "ammonia, physical state (e.g. liquid or gas), relative pressure level, and direction of flow.   c) This included but was not limited to ANSI/IIAR 2 - 2021 Section 5.14.6, when the ammonia piping system line S HPR associated with HV2 located in Powerhouse Yard on P&ID R 706 was not labeled with the following information:  "ammonia, physical state (e.g. liquid or gas), relative pressure level, and direction of flow.   d) This included but was not limited to ANSI/IIAR 2 - 2021 Section 5.14.6, when the ammonia piping system line CD associated with EC6 located in Powerhouse Yard on P&ID R 707 was not labeled with the following information:  "ammonia, physical state (e.g. liquid or gas), relative pressure level, and direction of flow.   This hazardous condition exposed employees engaged in repairing, replacing, operating, inspecting, testing, and maintenance activities of covered process equipment to toxic, cryogenic, and fire hazards in the event of an anhydrous ammonia release.
Recent events (3)
  • — F (S) $0
  • — C (S) $10360
  • — Z (S) $10360

1910.119 J04 II

Serious Gravity 5 1 instance 5 exposed
Issued
Oct 20, 2022
Abate by
Jan 30, 2023
Penalty
Initial $10,360 · Current $10,360
29 CFR  1910.119(j)(4)(ii): 29 CFR 1910.119(j)(4)(ii): Inspections and testing procedures performed on process equipment to maintain its mechanical integrity did not follow recognized and generally accepted good engineering practices (RAGAGEP):   At a worksite located at 4600 Waco Rd, Columbia, MO 65202 (Ammonia Yard):   The employer failed to protect employees from the hazards of highly hazardous chemicals associated with ammonia refrigeration that are used daily. This was last demonstrated on or about September 28, 2022, and at times prior to that. The employer did not follow the recognized and generally accepted good engineering practices (RAGAGEP). The employer failed to protect employees because the employer did not inspect and test piping systems (piping components such as valves, and piping support) to ensure that they were maintaining the on-going integrity of process equipment.   c) The angle gate valve "NW COND HV1" marked on P&ID R703 was not in good working order as the valve handle was experiencing excessive corrosion and pitting, and had not been replaced, or taken out of service, nor had the employer taken any further steps to ensure safe operations. The valve is connected to the NW Condensor.   d) The piping support for the "6" CD" marked on P&ID R706 was not in good working order as it was experiencing excessive corrosion and pitting, and had not been replaced, or taken out of service, nor had the employer taken any further steps to ensure safe operations. The piping support is connected to the NE and NW Condensors.   e) The ice management procedures were not sufficient to correct the hazardous build-up of ice for the "LTU1" marked on P&ID R705. The ice accumulation was excessive and not in good working order as it prevented the proper identification, examination, or exercise of valves, a sight glass, or piping. In addition, it also impacted the structural integrity of equipment and related components, and had not been replaced, or taken out of service, nor had the employer taken any further steps to ensure safe operations. The valves are connected to the Liquid Transfer Unit and the Low-Temperature Accumulator. This hazardous condition exposed employees engaged in repairing, replacing, operating, inspecting, testing, and maintenance activities of covered process equipment to toxic, cryogenic, and fire hazards in the event of an anhydrous ammonia release.    This hazardous condition exposed employees engaged in repairing, replacing, operating, inspecting, testing, and maintenance activities of covered process equipment to toxic, cryogenic, and fire hazards in the event of an anhydrous ammonia release.
Recent events (3)
  • — F (S) $10360
  • — C (S) $10360
  • — Z (S) $10360

1910.119 J05

Deleted Serious Gravity 5 1 instance 5 exposed
Issued
Oct 20, 2022
Abate by
Nov 16, 2022
Penalty
Initial $10,360 · Current $0 Reduced

Hazardous substances 0170

29 CFR  1910.119(j)(5): The employer did not correct deficiencies in equipment that were outside acceptable limits (defined by the process safety information on paragraph (d) of this section) before use.  At a worksite located at 4600 Waco Rd, Columbia, MO 65202 (Ammonia Yard):   The employer failed to protect employees because the employer did not correct deficiencies in equipment that were outside of acceptable limits. This was last demonstrated on or about September 28, 2022, and at times prior to that.  a) The gate valve "HTRL DHR HV1" marked on P&ID R703 was not in good working order as the valve handle was experiencing excessive corrosion and pitting, and had not been replaced, or taken out of service, nor had the employer taken any further steps to ensure safe operations. The valve is a critical valve that is connected to the high-temperature return line that pumps liquid in the plant.    b) The angle valve "NW COND HV4" marked on P&ID R703 was not in good working order as the valve handle was experiencing excessive corrosion and pitting, and had not been replaced, or taken out of service, nor had the employer taken any further steps to ensure safe operations. The valve is connected to the NW Condensor.    c) The angle gate valve "NW COND HV1" marked on P&ID R703 was not in good working order as the valve handle was experiencing excessive corrosion and pitting, and had not been replaced, or taken out of service, nor had the employer taken any further steps to ensure safe operations. The valve is connected to the NW Consendor.    d) The pipping support for the  "6" CD" marked on P&ID R706 was not in good working order as it was experiencing excessive corrosion and pitting, and had not been replaced, or taken out of service, nor had the employer taken any further steps to ensure safe operations. The piping support is connected to the NE and NW Condensors.    e) The ice management procedures were not sufficient to correct the hazardous build-up of ice for the "LTU1" marked on P&ID R705. The ice accumulation was excessive and not in good working order as it prevented the proper identification, examination, or exercise of valves, a sight glass, or piping. In addition, it also impacted the structural integrity of equipment and related components, and had not been replaced, or taken out of service, nor had the employer taken any further steps to ensure safe operations. The valves are connected to the Liquid Transfer Unit and the Low-Temperature Accumulator.    This hazardous condition exposed employees engaged in repairing, replacing, operating, inspecting, testing, and maintenance activities of covered process equipment to toxic, cryogenic, and fire hazards in the event of an anhydrous ammonia release.
Recent events (3)
  • — F (S) $0
  • — C (S) $10360
  • — Z (S) $10360

View Kraft Heinz Foods Company'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 345928162.

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