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Alex Santana—Shop Chairman • Mike Haineault—1st Shift Zone • Jeff Hall—2nd & 3rd Shift Zone
Volume III, No. 17 • May 15th, 2008 |
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Shop Talk WELCOME BACK!!! The battle still continues...
Downtime: No downtime scheduled as of May 14, 2008. Referrals for Employment: The last day to submit a referral will be Thursday, May 15, 2008 at the end of 2nd shift. Due to the new process it will take approximately six (6) weeks before summer help will be employed. After all contractual obligations have been met and there is a need to hire permanent employees locally they will be asked in the order that they were hired for temporary help. Currently the length of time for summer help (prime time) will be through the first full week of September. Pay rate for summer help (as well as permanent low level entry) is as follows:
If employee was a former temp within the past twelve (12) months they will start at the step and rate listed above. Re-District: Management has requested that we re-district due to the plant population being below eighteen hundred (1800) people. This means that we would have to combine departments and have elections during negotiations. Currently there has been one (1) alternate committeeperson in department seventeen (17) transfer, one (1) committeeperson in department twenty-five (25) and some appointed people that have left under the special attrition program. Many people have been inquiring about having an election to replace the elected officials and when we would take resumes for the appointed positions. We are working through the total number of districts and appointments due to the population of the plant dictating the number of both elected and appointed positions. Please be patient with us as we work through this. As the total number of districts and appointments become available we will provide them to you. Restrooms: Management has indicated that they will be closing down restrooms claiming that the percentage of people has decreased and that they want to save money on utilities. So we guess that this means that we use the restroom less so therefore we could walk further to use it. What’s next? “Depends” (diapers). The following is a Standard Interpretation on OSHA: Subject: Interpretation of 29 CFR 1910.141(c)(1)(i): Toilet Facilities OSHA's sanitation standard for general industry, 29 CFR 1910.141(c)(l)(i), requires employers to provide their employees with toilet facilities: Except as otherwise indicated in this paragraph (c)(l)(i), toilet facilities, in toilet rooms separate for each sex shall be provided in all places of employment in accordance with Table J-1 of this section. [emphasis added] This memorandum explains OSHA's interpretation that this standard requires employers to make toilet facilities available so that employees can use them when they need to do so. The employer may not impose unreasonable restrictions on employee use of the facilities. OSHA believes this requirement is implicit in the language of the standard and has not previously seen a need to address it more explicitly. Recently, however, OSHA has received requests for clarification of this point and has decided to issue this memorandum to explain its position clearly. Background
Medical studies show the importance of regular urination, with women generally needing to void more frequently than men. Adverse health effects that may result from voluntary urinary retention include increased frequency of urinary tract infections (UTIs), which can lead to more serious infections and, in rare situations, renal damage (see, e.g., Nielsen, A. Waite, W., "Epidemiology of Infrequent Voiding and Associated Symptoms," Scand J Urol Nephrol Supplement 157). UTIs during pregnancy have been associated with low birthweight babies, who are at risk for additional health problems compared to normal weight infants (see, Naeye, R.L., "Causes of the Excess Rates of Perinatal Mortality and the Prematurity in Pregnancies Complicated by Maternity Urinary Tract Infections," New England J. Medicine 1979; 300(15); 819-823). Medical evidence also shows that health problems, including constipation, abdominal pain, diverticuli, and hemorrhoids, can result if individuals delay defecation (see National Institutes of Health (NJH) Publication No. 95-2754, July 1995). OSHA's field sanitation standard for Agriculture, 29 CFR 1928.110, based its requirement that toilets for farm workers be located no more than a quarter mile from the location where employees are working on similar findings. This is particularly significant because the field sanitation standard arose out of the only OSHA rulemaking to address explicitly the question of worker need for prompt access to toilet facilities. The Sanitation Standard
The quoted provision of the standard is followed immediately by a paragraph stating that the toilet provision does not apply to mobile work crews or to locations that are normally unattended, "provided the employees working at these locations have transportation immediately available to nearby toilet facilities which meet the other requirements" of the standard (29 CFR 1910.141(c)(1)(ii) (emphasis supplied). Thus employees who are members of mobile crews, or who work at normally unattended locations must be able to leave their work location "immediately" for a "nearby" toilet facility. This provision was obviously intended to provide these employees with protection equivalent to that the general provision provides to employees at fixed worksites. Read together, the two provisions make clear that all employees must have prompt access to toilet facilities. OSHA has also made this point clear in a number of letters it has issued since the standard was promulgated. For example, in March 1976, OSHA explained to Aeroil Products Company that it would not necessarily violate the standard by having a small single-story building with no toilet facilities separated by 90 feet of pavement from a building that had the required facilities, so long as the employees in the smaller building had "unobstructed free access to the toilet facilities." Later that year, it explained again, in response to a question about toilet facilities at a U-Haul site, "reasonableness in evaluating the availability of sanitary facilities will be the rule." Again in 1983, OSHA responded to a request for a clarification of the standard by stating, "([i]f an employer provides the required toilet facilities ... and provides unobstructed free access to them, it appears the intent of the standard would be met." “In light of the standard's purpose of protecting employees from the hazards created when toilets are not available, it is clear that the standard requires employers to allow employees prompt access to sanitary facilities. Restrictions on access must be reasonable, and may not cause extended delays. For example, a number of employers have instituted signal or relief worker systems for employees working on assembly lines or in other jobs where any employee's absence, even for the brief time it takes to go to the bathroom, would be disruptive. Under these systems, an employee who needs to use the bathroom gives some sort of a signal so that another employee may provide relief while the first employee is away from the work station. As long as there are sufficient relief workers to assure that employees need not wait an unreasonably long time to use the bathroom, OSHA believes that these systems comply with the standard.“ Citation Policy
It is important that a uniform approach be taken by all OSHA offices with respect to the interpretation of OSHA's general industry sanitation standard, specifically with regard to the issue of employee use of toilet facilities. Proposed citations for violations of this standard must be forwarded to the Directorate of Compliance Programs (DCP) for review and approval. DCP will consult with the Office of Occupational Medicine. DCP will approve citations if the employer's restrictions are clearly unreasonable, or otherwise not in compliance with the standard. (NOTE: See 08/11/00 Memorandum to RAs attached below.)---Added this note State Plan States are not required to issue their own interpretation in response to this policy, however they must ensure that State standards and their interpretations remain "at least as effective" as the Federal standard. Regional Administrators shall offer assistance to the States on this issue, including consultation with the Directorate of Compliance programs, at the State's request. OSHA office telephone number is (225) 298-5458. IN SOLIDARITY |
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