ROCHESTER, NY —
OSHA Inspection: ROCHESTER FLOORING KITCHEN AND BATH
Complaint inspection · Health discipline
At a glance
On , OSHA opened a complaint health inspection of ROCHESTER FLOORING KITCHEN AND BATH in 360 JEFFERSON ROAD, ROCHESTER, NY 14623 (NAICS 423320). OSHA activity number 347911802.
Where did this inspection happen?
- Establishment
- ROCHESTER FLOORING KITCHEN AND BATH
- Site address
- 360 JEFFERSON ROAD
- City
- ROCHESTER
- State
- NY
- ZIP
- 14623
- Mailing
- 360 JEFFERSON ROAD, ROCHESTER, NY 14623
What kind of inspection was it?
- Inspection type
- Complaint (B)
- Scope
- Partial (B)
- Discipline
- Health
- 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
- 423320
- Employees
- 30
- Ownership type
- A
Citations
9 citations on file for this inspection.
1910.1053 C
- Issued
- Abate by
- Penalty
- Initial $8276.00 · Current $0.00 Reduced
9000
General-duty citation text
29 CFR 1910.1053(c): The employer did not ensure that no employee was exposed to an airborne concentration of respirable crystalline silica in excess of 50 ?g/m3, calculated as an 8-hour TWA: a) Facility - On or about 01/17/2025, and prior to, the employer did not ensure that no employee was exposed to an airborne concentration of respirable crystalline silica in excess of 50 ?g/m3, calculated as an 8-hour TWA. Operator(s) were exposed to crystalline silica at 68.0 ug/m3 of crystalline silica during the 120 minute sampling period, which is 1.36 time above the OSHA-PEL TWA of 50.0 ug/m3. A zero increment was included for the 360 minutes not sampled. Employees are required to grind and sand granite resulting in exposure to airborne respirable crystalline. ABATEMENT CERTIFICATION REQUIRED
Recent events (3)
- — F (S) $0
- — C (S) $8276
- — Z (S) $8276
1910.1053 E01
- Issued
- Abate by
- Penalty
- Initial $0.00 · Current $0.00
9000
General-duty citation text
29 CFR 1910.1053(e)(1): The employer did not establish a regulated area wherever an employee's exposure to airborne concentrations of respirable crystalline silica was, or could have been reasonably expected to be, in excess of the PEL: a) Facility - On or about 01/17/2025, and ongoing, the operator was exposed to crystalline silica at 68.0 ug/m3 of crystalline silica during the 120 minute sampling period, which is 1.36 times above the OSHA-PEL TWA of 50.0 ug/m3. A zero increment was included for the 360 minutes not sampled. Employees are required to grind and sand granite resulting in exposure to airborne respirable crystalline. The employer did not establish a regulated area wherever an employee's exposure to airborne concentrations of respirable crystalline silica was, or could have been reasonably expected to be, in excess of the PEL. ABATEMENT CERTIFICATION REQUIRED
Recent events (3)
- — F (S) $0
- — C (S) $0
- — Z (S) $0
1910.1053 D01
- Issued
- Penalty
- Initial $8276.00 · Current $0.00 Reduced
9000
General-duty citation text
29 CFR 1910.1053(d)(1): 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) or the scheduled monitoring option in paragraph (d)(3) of this section: a) Facility - On or about 12/03/2024, and ongoing, 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) or the scheduled monitoring option in paragraph (d)(3) of this section. Employees are required to grind and sand granite resulting in exposure to airborne respirable crystalline silica. NO ABATEMENT CERTIFICATION REQUIRED
Recent events (3)
- — F (S) $0
- — C (S) $8276
- — Z (S) $8276
1910.1053 F02 I
- Issued
- Penalty
- Initial $0.00 · Current $0.00
General-duty citation text
29 CFR 1910.1053(f)(2)(i): The employer did not establish and implement a written exposure control plan: a) Facility - On or about 12/03/2024, and ongoing, the employer did not establish and implement a written exposure control plan for respirable crystalline silica (RCS). Employees are required to grind and sand granite resulting in exposure to airborne respirable crystalline silica. Operator(s) were exposed to crystalline silica at 68.0 mcg/m of crystalline silica during the 120 minute sampling period, which is 1.36 time above the OSHA-PEL TWA of 50.0 mcg/m. A zero increment was included for the 360 minutes not sampled. NO ABATEMENT CERTIFICATION REQUIRED
Recent events (3)
- — F (S) $0
- — C (S) $0
- — Z (S) $0
1910.1053 I01 I
- Issued
- Abate by
- Penalty
- Initial $8276.00 · Current $0.00 Reduced
9000
General-duty citation text
29 CFR 1910.1053(i)(1)(i): The employer did not make medical surveillance available at no cost to each employee, and at a reasonable time and place, for each employee who has been occupationally exposed to respirable crystalline silica at or above the action level for 30 or more days per year: a) Facility - On or about 01/17/2025, and ongoing, operator(s) were exposed to crystalline silica at 68.0 ug/m3 of crystalline silica during the 120 minute sampling period, which is 1.36 time above the OSHA-PEL TWA of 50.0 ug/m3. A zero increment was included for the 360 minutes not sampled. Employees are required to grind and sand granite resulting in exposure to airborne respirable crystalline. ABATEMENT CERTIFICATION REQUIRED
Recent events (3)
- — F (S) $0
- — C (S) $8276
- — Z (S) $8276
1910.1053 J03 I
- Issued
- Penalty
- Initial $0.00 · Current $0.00
General-duty citation text
29 CFR 1910.1053(j)(3)(i): The employer did not ensure that each employee covered by this section could demonstrate knowledge and understanding of the following: (A) the health hazards associated with exposure to respirable crystalline silica; (B) specific tasks in the workplace that could result in exposure to respirable crystalline silica; (C) specific measures the employer has implemented to protect employees from exposure to respirable crystalline silica, including engineering controls, work practices, and respirators to be used; (D) the contents of this section; and, (E) the purpose and a description of the medical surveillance program required by paragraph (i) of this section: a) Facility - On or about 12/03/2024, and ongoing, the employer did not ensure that employees required to grind and sand granite resulting in exposure to airborne respirable crystalline silica, could demonstrate knowledge and understanding of the following: (A) the health hazards associated with exposure to respirable crystalline silica; (B) specific tasks in the workplace that could result in exposure to respirable crystalline silica; (C) specific measures the employer has implemented to protect employees from exposure to respirable crystalline silica, including engineering controls, work practices, and respirators to be used; (D) the contents of this section; and, (E) the purpose and a description of the medical surveillance program required by paragraph (i) of this section. NO ABATEMENT CERTIFICATION REQUIRED
Recent events (3)
- — F (S) $0
- — C (S) $0
- — Z (S) $0
1910.1053 J03 II
- Issued
- Abate by
- Penalty
- Initial $0.00 · Current $0.00
General-duty citation text
29 CFR 1910.1053(j)(3)(ii): The employer did not make a copy of this section readily available without cost to each employee covered by this section: a) Facility - On or about 12/03/2024, and ongoing, employees are required to grind and sand granite resulting in exposure to airborne respirable crystalline silica. The employer did not make a copy of this section readily available without cost to each employee covered by this section. ABATEMENT CERTIFICATION REQUIRED
Recent events (3)
- — F (O) $0
- — C (O) $0
- — Z (O) $0
1910.1053 G01 III
- Issued
- Abate by
- Penalty
- Initial $0.00 · Current $3000.00
9000
General-duty citation text
1910.1053(g)(1)(iii) Respiratory protection was not provided during tasks for which an employer had implemented all feasible engineering and work practice controls and such controls all feasible engineering and work practice controls and such controls were not sufficient to reduce exprosures to or below the PEL. a) Facility - On or about 01/17/2025, and ongoing, the operator was exposed to crystalline silica at 68.0 ug/m3 of crystalline silica during the 120 minute sampling period, which is 1.36 times above the OSHA-PEL TWA of 50.0 ug/m3. A zero increment was included for the 360 minutes not sampled. Employees are required to grind and sand granite resulting in exposure to airborne respirable crystalline. The employer did not use engineering and work practice controls to reduce and maintain employee exposure to respirable crystalline silica to or below the PEL. ABATEMENT CERTIFICATION REQUIRED
Recent events (3)
- — F (S) $3000
- — C (S) $0
- — Z (S) $0
1910.1053 J01
- Issued
- Penalty
- Initial $8276.00 · Current $0.00 Reduced
General-duty citation text
29 CFR 1910.1053(j)(1): The employer did not include respirable crystalline silica in the program established to comply with the hazard communication standard (HCS) (29 CFR 1910.1200): a) Facility - On or about 12/03/2024, and ongoing, the employer did not develop, implement, and/or maintain at the workplace a written hazard communication program. Employees are required to grind and sand granite resulting in exposure to airborne respirable crystalline silica. The employer shall include respirable crystalline silica in the program established to comply with the hazard communication standard (HCS) (29 CFR 1910.1200). The employer shall ensure that each employee has access to labels on containers of crystalline silica and safety data sheets, and is trained in accordance with the provisions of HCS and paragraph (j)(3) of this section. The employer shall ensure that at least the following hazards are addressed: Cancer, lung effects, immune system effects, and kidney effects. A written program should include descriptions of how the criteria for: 1. Labeling and other forms of warning; 2. Safety Data Sheets such as but not limited to; AND 3. Employee information and training will be met. Additionally, a list of hazardous chemicals known to be present 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 hazard must also be addressed. The written program must be made available upon request. NO ABATEMENT CERTIFICATION REQUIRED
Recent events (3)
- — F (S) $0
- — C (S) $8276
- — Z (S) $8276
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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 347911802.