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05i28~97 11:33 a 503 245 8894 CHRSC CONSULTRNT P.83 <br />5. SPECI~IC MEANS TQ ACHIEVE COMPLIANCE INCLUDING ENGJNEERING <br />CONTROLS <br />Since fugitive dust is expected to be the greatest lead hazard major emphasis <br />wil! be placed on dust suppression. This will be by the use of water spray. The main <br />assignment of one employee will be to constantly assess the degree af dust <br />suppression and to apply a water spray to any area shawing dust emission. <br />Removal of accumulated debris pramptly and regularly is another method which <br />will be used to minimize employee exposure. <br />Minimization of possible dust exposure to employees working putside the Site <br />propar will be by vacuuming or dry cleaning of workers clothing and washing of <br />foof~ear upon leaving the actual damolition site. <br />6, TE IiNOL4GY 4NSIDERED IN MEETING THE PEL <br />Other technology, such as negative pressure enclosures, mechanical ventilation <br />and the use of amended water for debris wetdawn was considered. Because of the <br />expected low hazard from airborne lead these measures were deferred until air <br />sampling showed the need for them. Beside increasing the cost of the project these <br />measures would aiso increase the time required for the job ~nd the time of employee <br />exposure to lead. <br />. PER NAL aNIT RIWG DATA SED IN THE EMPLaYEE EXPQSURE <br />ASSESSMENT <br />The air monftoring results obtained during the employee exposure assessment <br />will be attached to and become part of this compliance plan. <br />8. ETAILED SCH DULE FQR IMPLEMENTATION OF THE PROGRAM <br />SinCO this is a refatively simple job, no subcontracts, renta) agreements or <br />purchase orders as listed in 1926.62(e){2)(ii)(E) exist at this time. Should they become <br />necessary they would be included and made a part of this compliance plan. <br />Before work begins, a meeting will be held to inform all employees of the <br />hazards associated wikh this project and the contro~s ta be impiemented to minimize <br />employee exposure. In general the chranology for compliance beginning with the first <br />day of work is as follows. <br />a. Employee orientation and safety awareness training <br />b. Acknowledgment, by sign~ture, of the understanding of the SSP <br />c. Setup of engineered exposure reduction <br />d. Setup of respir~tory pratection progr~m <br />e. Setup of air monitoring <br />f. Begin demolition process <br />g. Analyze air monitoring data <br />h. Make protection adjustments <br />2 <br />