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

OSHA Inspection: ASAP ASPHALT & CONCRETE, INC

Planned inspection · Health discipline

On , OSHA opened a planned health inspection of ASAP ASPHALT & CONCRETE, INC in 7501 S. UTICA DR., LITTLETON, CO 80128 (NAICS 238990). OSHA activity number 347647190.

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employer broke any rule; any findings appear as the citations listed below, and citations can be contested, reduced, or withdrawn.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
7501 S. UTICA DR.
City
LITTLETON
State
CO
ZIP
80128
Mailing
5260 FOREST ST., COMMERCE CITY, CO 80022
Inspection type
Planned (H)
Scope
Partial (B)
Discipline
Health
Advance notice
No
Union status
B
Opened
Closing conference
Case closed
Last modified
Data loaded
NAICS code
238990
Employees
60
Ownership type
A

2 citations on file for this inspection.

1910.134 C01

Other-than-serious 1 instance 2 exposed
Issued
Jan 3, 2025
Abate by
Feb 3, 2025
Penalty
Initial $0 · Current $0

Hazardous substances 9000

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 July 16, 2024, and at times prior, the exposing employer, ASAP Asphalt & Concrete, Inc., did not establish a written Respiratory Protection Program with all pertinent elements when employees were required to wear N-95 filtering facepiece respirators during concrete cutting operations.  Program elements should include, but may not be limited to, (1) medical evaluations for employees required to wear filtering facepiece respirators, (2) fit testing for employees required to wear filtering facepiece respirators, (3) training for employees regarding the hazards they may encounter during the required use of filtering facepiece respirators, (4) training for employees regarding the limitations of filtering facepiece respirators they are required to use, and (5) procedures for evaluating the effectiveness of the Respiratory Protection Program.  This exposed employees to potential pulmonary and cardiovascular hazards due to the use of respirators.
Recent events (1)
  • — Z (O) $0

1926.1153 I02 I

Other-than-serious 1 instance 2 exposed
Issued
Jan 3, 2025
Abate by
Feb 3, 2025
Penalty
Initial $0 · Current $0

Hazardous substances 9000

29 CFR 1926.1153(i)(2)(i): The employer did not ensure that employees covered by this section could demonstrate knowledge and understanding of at least the requirements outlined in 29 CFR 1926(i)(2)(i)(A) through (F) where there was exposure to respirable crystalline silica:   a)  On or about July 16, 2024, and at times prior, the exposing employer, ASAP Asphalt & Concrete Inc., did not ensure employees who were exposed to respirable crystalline silica dust during outdoor concrete cutting and fracturing operations, could demonstrate the knowledge and understanding of respirable crystalline silica dust exposure including, but not limited to:  health hazards, means of generation, and necessary control measures.  This condition exposed employees to respiratory hazards.
Recent events (1)
  • — Z (O) $0

View Asap Asphalt & Concrete, INC'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 347647190.

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