CHICAGO, IL —
OSHA Inspection: J.COTO CONSTRUCTION INC.
Planned inspection · Health discipline
At a glance
On , OSHA opened a planned health inspection of J.COTO CONSTRUCTION INC. in 3619-3621 N. LAMON AVE, CHICAGO, IL 60641 (NAICS 238140). OSHA activity number 347553794.
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employer broke any rule; any findings appear as the citations listed below, and citations can be contested, reduced, or withdrawn.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
- J.COTO CONSTRUCTION INC.
- Site address
- 3619-3621 N. LAMON AVE
- City
- CHICAGO
- State
- IL
- ZIP
- 60641
- Mailing
- 1535 N AUSTIN BLV, CHICAGO, IL 60651
What kind of inspection was it?
- Inspection type
- Planned (H)
- Scope
- Partial (B)
- Discipline
- Health
- Advance notice
- No
- Union status
- B
When did the case open and close?
- Opened
- Closing conference
- Last modified
- Data loaded
Establishment context
- NAICS code
- 238140
- Employees
- 4
- Ownership type
- A
Citations
3 citations on file for this inspection.
1926.1153 C01
- Issued
- Sep 9, 2024
- Abate by
- Oct 3, 2024
- Penalty
- Initial $4,839 · Current $4,800 Reduced
S103
General-duty citation text
29 CFR 1926.1153(c)(1): For each employee engaged in a task identified in Table 1, the employer did not fully and properly implement the engineering controls, work practices, and respiratory protection specified for the task on Table 1, unless the employer assesses and limits the exposure of the employee to respirable crystalline silica in accordance with paragraph (d) of this section. a) On or about June 14, 2024, at the above addressed job site, the employer did not fully and properly implement engineering controls and work practices, as specified in Table 1 when using a Makita 5" angle grinder to tuckpoint bricks containing up to 30 percent of respirable crystalline silica (Quartz) without equipping the tool with a water delivery or vacuum system that suppress the dust at the point of impact. 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) $4800
- — Z (S) $4839
1926.1153 D02 I
- Issued
- Sep 9, 2024
- Abate by
- Oct 3, 2024
- Penalty
- Initial $0 · Current $0
S103
General-duty citation text
29 CFR 1926.1153(d)(2)(i): The employer did not assess the exposure of each employee who was or may reasonably be expected to be exposed to respirable crystalline silica at or above the action level in accordance with either the performance option in paragraph (d)(2)(ii) or the scheduled monitoring option in paragraph (d)(2)(iii) of this section: a) On or about June 14, 2024, at the above-addressed jobsite, the employer did not assess the exposure of employees tuckpointing the property containing up to 30 percent of respirable crystalline silica (Quartz). 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
1926.1153 G01
- Issued
- Sep 9, 2024
- Abate by
- Oct 3, 2024
- Penalty
- Initial $4,839 · Current $0 Reduced
S103
General-duty citation text
29 CFR 1926.1153(g)(1):The employer did not establish and implement a written exposure control plan that consists at least the following elements: (i) A description of the tasks in the workplace that involve exposure to respirable crystalline silica; (ii) A description of the engineering controls used to limit employee exposure to respirable crystalline silica for each task; (iii) A description of the housekeeping measures used to limit employee exposure to respirable crystalline silica. a) On or about June 14, 2024, at the above addressed jobsite, the employer did not develop and implement a Silica Exposure Control Plan with an accurate description of all the tasks in the workplace that involved exposure to respirable crystalline silica. Employees were exposed to dust containing up to 30% respirable crystalline silica (Quartz). 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, or written records.
Recent events (2)
- — I (S) $0
- — Z (S) $4839
More inspections in this industry (NAICS 238140)
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 347553794.
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