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G9.1-1 Excluded confined spaces
G9.1-2 Definitions
G9.2 General Requirements - Initial determination
G9.3 Prohibited entry
G9.4 Control of hazards
G9.5 Confined space entry program
G9.6 Administration
G9.7 Supervision
G9.8 Instruction
G9.9-1 Hazard assessment
G9.9-2 Visiting employers
G9.11 Confined spaces - Qualified persons
G9.14 Expiration of an entry permit
G9.18 Control of harmful substance in adjacent piping
G9.18.1 Exemption to restriction on use of valves for isolation [Retired on February 1, 2011]
G9.18(3)(b) Certification of isolation by a professional engineer
G9.22-1 Alternate measures - Making submissions
G9.22-2 Alternate measures for confined spaces - Municipal sewage systems
G9.24 Verifying all precautions
G9.25 Testing the atmosphere
G9.26 Procedures and equipment
G9.26(2) Qualified person for calibration of confined space atmospheric testing equipment
G9.27 Cleaning, purging and venting
G9.29 Notifying WorkSafeBC about inerting a confined space
G9.34-1 General requirements for a stand-by person
G9.34-2 Stand-by person for a low hazard atmosphere space
G9.35 Stand-by person for a moderate hazard atmosphere space
G9.36 Stand-by person for a high hazard atmosphere space
G9.39 Notification
G9.41 Rescue procedures
G9.42 When required
G9.43 Standards
G9.47 Emergency escape respirator
G9.49 Removal of oxy-fuel torches and hoses from confined spaces
Issued July 21, 2005, Revised June 18, 2008; Revised June 8, 2011
Regulatory excerpt
Section 9.1 of the OHS Regulation ("Regulation") states:
"confined space", except as otherwise determined by the Board, means an area, other than an underground working, that
(a) is enclosed or partially enclosed,
(b) is not designed or intended for continuous human occupancy,
(c) has limited or restricted means for entry or exit that may complicate the provision of first aid, evacuation, rescue or other emergency response service, and
(d) is large enough and so configured that a worker could enter to perform assigned work;
Purpose of this guideline
The purpose of this guideline is to identify the types of spaces that WorkSafeBC has determined, as contemplated by the above definition, not to be "confined spaces", and the conditions that apply. Also,it outlines the process for and criteria used in making the determination for other spaces.
Enclosed spaces that are not "confined spaces" when certain conditions apply
The definition of confined spaces in section 9.1 of the Regulation permits WorkSafeBC to determine certain spaces to not be confined spaces for the purposes of the application of Part 9 of the Regulation.
The spaces for which WorkSafeBC will make this determination are those that do not pose the hazards of confined spaces that are addressed by Part 9 of the Regulation. Specifically, there must be absolutely no potential for an atmospheric hazard to exist or develop immediately prior to any worker entering the space, nor any risk of entrapment or engulfment to workers entering the space.
Provided that adequate controls are in place to ensure worker health and safety, a harmful substance (e.g., welding fume) may be temporarily introduced into the space as an intended or otherwise understood consequence of work activity without the space becoming a confined space. Controls will be adequate if they are in conformity with the requirements of section 5.55 (Types of controls), and the nature of the substance is such that it will not impair the ability of the worker to escape unaided in the event of failure of the control system.
In these circumstances and the further ones outlined below, the following are spaces that WorkSafeBC has determined not to be confined spaces for the purposes of Part 9 of the Regulation:
The determination that the above are not "confined spaces" for the purposes of Part 9 of the Regulation is conditional on there being no factor that might give rise to any potential for an atmospheric hazard to exist or to develop prior to a worker's entry or to unexpectedly develop during any entry or occupation by a worker. Similarly, there can be no factor that may give rise to a risk of entrapment or engulfment within the space.
Risk factors may include
Where there is any potential for
then the space is a confined space in accordance with the definition in section 9.1. In such a case the employer must comply with the applicable provisions of Part 9 of the Regulation.
Determination regarding other spaces
WorkSafeBC may determine other types of spaces to be excluded from the application of Part 9 of the Regulation in addition to the spaces listed above. Such determinations will be made based on an evaluation by a committee of WorkSafeBC personnel with expertise in confined spaces.
Persons interested in having WorkSafeBC assess whether a certain type of space should be determined not to be a confined space for the purposes of Part 9 of the Regulation may contact the Regulatory Practices Department or the WorkSafeBC office in their region.
Other hazards to be controlled
Although an enclosed space might not be considered to be a "confined space", it may have other hazards that must be controlled. The other parts of the Regulation still apply and must be considered when planning entry and work in these spaces. Other relevant provisions that the employer needs to consider include the following:
Issued August 1, 1999; Revised February 11, 2004; Revised April 9, 2008; Revised August 23, 2011
Regulatory excerpts
except as otherwise determined by the Board, means an area, other than an underground working, that
(a) is enclosed or partially enclosed,
(b) is not designed or intended for continuous human occupancy,
(c) has limited or restricted means for entry or exit that may complicate the provision of first aid, evacuation, rescue or other emergency response service, and
(d) is large enough and so configured that a worker could enter to perform assigned work;
an atmosphere that may expose a worker to risk of death, incapacitation, injury, acute illness or otherwise impair the ability of the worker to escape unaided from a confined space, in the event of a failure of the ventilation system or respirator
an atmosphere which is shown by pre-entry testing or otherwise known to contain clean respirable air immediately prior to entry to a confined space and which is not likely to change during the work activity, as determined by a qualified person after consideration of the design, construction and use of the confined space, the work activities to be performed, and all engineering controls required by this Regulation;
Purpose of guideline
This guideline provides information to further explain some of the terms that appear in section 9.1 (Definitions) of the Regulation. Matters discussed include
1. Underground working
The definition for "confined space" in section 9.1 of the Regulation excludes underground workings. An underground working is defined in section 22.1 of the Regulation, as including "any adit, tunnel, underground excavation, chamber, caisson, raise, shaft, winze or natural entry." The exclusion applies while the underground area is under construction. Once construction is complete, the underground area will be a confined space if it meets the criteria listed in paragraphs (a) to (d) of the definition for confined space in section 9.1.
2. Not designed or intended for continuous human occupancy
According to the definition of a confined space in section 9.1 of the Regulation, if an enclosed or partially enclosed space is designed or intended for continuous human occupancy, then it is not a confined space. When identifying confined spaces for the purposes of Part 9, an employer needs to include the following principles in determining whether each space is designed or intended for continuous human occupancy.
If a space is designed or intended for continuous human occupancy, it will generally:
A space needn't have all the features described above in order to be designed or intended for continuous human occupancy. The more of these characteristics that are included in the design and use, the more likely the space will be considered to be designed and intended for continuous human occupancy and therefore not fall within the definition of a confined space.
3. Restricted means for entry or exit
To be considered a confined space, a work area must meet all four criteria in the definition. A criterion that often raises questions is paragraph (c), which addresses limited or restricted means of entry or exit that may complicate the provision of emergency response.
Entry or exit refers to crossing the portal between the confined space and the outside work area, but also includes consideration of the routes inside the confined space for gaining access to the work area in the space, or returning to the portal from it.
Criterion (c) lists four types of emergency responses.
The issue in paragraph (c) is whether the means of entry or exit "may complicate" the provision of one or more of the four types of emergency response. Some factors to consider for different types of emergency situations are provided below.
First aid and rescue: First aid and rescue are often closely related in practice. First aid includes both injury treatment and preparation of an injured worker for transport on a device such as a spine board, stretcher, sked, or ked. Rescue may involve some initial injury treatment at the site of injury, and will always involve removal of a worker from danger, for example, by use of a transport device, or other means such as a lifeline and harness. When carrying a worker on a transport device the normal practice for the response team is to carry it at about hip level with the arms of the bearers extended downward.
The following are some examples of situations where the means of entry or exit will typically be considered to have complicated the provision of first aid or rescue:
Evacuation: Whether or not the means of exit may complicate the evacuation of workers from a space will typically depend on factors such as the potential speed of onset of danger, the number of workers in the space, and the obstacles they may encounter when exiting.
If there is the potential for rapid onset of danger, for example, from release of a flammable or toxic atmosphere into the space, it is essential that exits are sufficiently accessible so that workers can exit the space without any delay, regardless of the number of workers. If the impediments to evacuation would result in any delay then the means of exit will be considered to have complicated the capability to evacuate the space.
On the other hand, a space may be one in which the onset of danger would be slow, for example, where the danger could arise from water flowing through a small diameter pipe into a large space, at such a low rate that any danger to workers would only occur after a considerable period of time. In such cases, it may be safe for workers to evacuate the space over a longer period, as long as the evacuation was done in a timely manner, and the time needed did not compromise the safety of any worker.
Other emergency response services: Depending on the space, other emergency response scenarios could include services such as fire fighting or controlling hazardous material spills. If emergency response workers in these situations would need to wear an SCBA or other personal protective gear, and the means of entry or exit is so constructed that that any of the gear must be removed when entering or exiting, then the provision of the emergency response will have been complicated by the means of entry and exit.
4. Entering the space
Paragraph (d) of the definition for confined space in section 9.1 requires that the area in question be "large enough and so configured that a worker could enter to perform assigned work." A worker should be considered to have entered a confined space when the breathing zone of the worker crosses the plane of the confined space access.
5. High hazard atmosphere
The exposure limits in the Table of Exposure Limits for Chemical and Biological Substances (see OHS Guideline G5.48-1) are not used to define the boundary between a moderate and high hazard atmosphere confined space. Section 1.1 of the Regulation defines IDLH atmosphere as "an atmosphere containing a substance at a concentration which is immediately dangerous to life or health (IDLH) because the concentration is greater than that from which one could escape without any escape-impairing symptoms or irreversible health effects, and includes an atmosphere with an unknown concentration with the potential to be immediately dangerous to life or health."
IDLH levels for specific contaminants are available from sources such as Documentation for IDLH Concentrations, NIOSH May 1994, or may be specified on the MSDS for the substance. An atmosphere meeting this definition would be high hazard under section 9.1. However, the definition of high hazard also covers other situations. In determining whether a confined space contains a high hazard atmosphere, consideration should be given to
The atmosphere will generally be classified according to the level of contaminants after the application of engineering controls. However, if on failure of the controls, the level of contaminants may increase at a rate that will prevent the worker from escaping unaided, the atmosphere is high hazard.
6. Low-hazard atmosphere
The definition of low hazard atmosphere includes a reference to a qualified person. Qualified is generally defined in section 1.1 of the Regulation. However, the determination whether an atmosphere is low hazard is part of the hazard assessment required to be done by a qualified person under sections 9.9 and 9.11. Section 9.11 sets out specific requirements for who is a qualified person for this purpose. See also OHS Guideline G9.11.
The definition also refers to "an atmosphere which is shown by pre-entry testing or otherwise known to contain clean respirable air...." Paragraph 9.25(7)(c) states "Pre-entry atmospheric testing is not required in a confined space with a low hazard atmosphere if...prior representative sampling has demonstrated that the atmosphere within the space or group of similar spaces meets the low hazard atmosphere definition." See also OHS Guideline G9.25. This sampling will commonly be the basis for it being "otherwise known" that a space contains clean respirable air.
Issued August 1, 1999; Editorial Revision November 23, 2006
Section 9.2 of the OHS Regulation requires the employer to identify each confined space and determine whether it will require worker entry. Compliance will require a site inspection/survey. The results of the inspection/survey are then used as the basis for action under sections 9.3 to 9.5, depending on whether workers must enter the confined space or not.
Section 9.2 is a specific requirement and supplements the general requirement to inspect the workplace under section 3.5 of the OHS Regulation. The results of an inspection/survey done for compliance with section 9.2 should be documented as required by paragraph 3.3(f) of the OHS Regulation. General workplace inspections, required by section 3.5, should include regular review of the status of compliance with Part 9 Confined Spaces.
Issued August 1, 1999
Section 9.3 states "If a confined space exists at a workplace but no worker entry is required, the employer must ensure that each point of access to the confined space is secured against entry or identified by a sign or other effective means which indicates the nature of the hazard and the prohibition of entry, and that workers are instructed not to enter".
In some circumstances, use of signs or securing a confined space may be impracticable, for example, for sewer manholes on roadways. Examples of "other effective means" of identification are colour coding and mapping of locations on plans, or using descriptors of covers, manholes and inspection ports in worker education.
The end result should be that workers are able to identify all confined spaces at their workplace, understand the hazards of these spaces and any prohibition of entry. Hazardous areas not intended to be accessible to workers should be secured as required by section 4.34 of the OHS Regulation. For example, a sewer manhole on a road has a cover that is heavy and usually requires a tool for removal, thus it is generally secure against entry by anyone without an appropriate tool to lift the lid off.
Issued August 1, 1999
Section 9.4 of the OHS Regulation states The employer must ensure that all confined space hazards are eliminated or minimized and that work is performed in a safe manner .
This may require the employer to take measures in addition to the other requirements of part 9. The employer should consider alternative ways of doing the work that avoid or reduce the need to enter a confined space. For example, increasing the interval time between entries to perform routine maintenance in a confined space may be a way to reduce the overall total time workers must work in the space. New methods may eliminate or substantially reduce the need for a worker to enter a confined space. For example, consider an in-place cleaning system for tanks, such as brewery tanks, that flushes and cleans the tanks automatically. If either of these alternatives is practicable, they should be considered.
Issued August 1, 1999
Section 9.5 of the OHS Regulation requires the employer to have and implement a written confined space entry program before a worker is required or permitted to enter a confined space. The section sets out detailed requirements for the program, which are largely the matters covered by the other sections in part 9 of the OHS Regulation. Aspects that should be addressed in the program and worker training are:
Paragraph 9.5(c) specifies a list of topics to be addressed, where applicable, for each of the hazards identified under sections 9.9 and 9.10. Subparagraph (x) refers to "coordination of work activities". Coordination will be necessary if there are activities, either inside or outside the confined space that could affect the health and safety of any worker inside the space. Where the activities involve workers of more than one employer, section 3.3 of the OHS Regulation applies, and in the case of a "construction project", section 20.3.
Issued August 1, 1999
Section 9.6 of the OHS Regulation states "The employer must assign overall responsibility for administration of the confined space entry program to a person or persons adequately trained to do so".
The administration of the program required by section 9.5 may be undertaken by the employer's own staff, or it may be assigned to another person or persons. The person(s) appointed responsible for administration of the program must be given the authority and means to ensure the effective operation of the program.
Issued August 1, 1999
Section 9.7(1) of the OHS Regulation states "The employer must assign responsibility for supervision to a person who is adequately trained to supervise the job before any worker enters a confined space".
Section 9.7 requires the supervision of a worker entering or working in a confined space. Section 9.7(2) describes some specific duties of the supervisor. Section 9.6 requires the employer to assign someone responsible for the administration of the employer's overall confined space program. This division of responsibility may require the program administrator(s) and the supervisor(s) to carry different levels of authority within the program for its efficient operation. The administrator may also fulfill the responsibilities of the supervisor. This may be the case in smaller operations.
Issued August 1, 1999
Section 9.8 of the OHS Regulation requires that all persons who are "assigned duties or responsibilities related to entry into a confined space must be adequately instructed and trained". Specific training is required for persons contributing to the work activity, even those not entering the confined space, for example, standby workers and rescue workers.
Issued August 1, 1999
The hazard assessment required by section 9.9 of the OHS Regulation must be performed by a "qualified person", as defined under section 9.11. Once the assessment has been done for a specific activity within a particular space or group of similar spaces, it may provide the basis for procedures for every occasion when workers enter those spaces. On each such occasion, the circumstances of the proposed job should be considered beforehand by the supervisor (who need not be a "qualified person" under section 9.11) to ensure that the criteria or conditions upon which the hazard assessment is based remain substantially the same. If the conditions are different in a way that might affect the outcome of the hazard assessment previously done by a qualified person, then the circumstances should be reviewed and entry procedures revised as necessary, by a "qualified person". The assessment of a "qualified person" cannot be changed without the concurrence of the same or another "qualified person".
Paragraph 9.9(2)(b) states that the hazard assessment required under section 9.9(1) must consider a list of specific circumstances as well as "other hazardous conditions". In general, the conditions referred to here represent requirements addressed in other parts of the OHS Regulation. These include, but are not limited to, fall protection, hearing conservation, radiation, heat stress, extreme climactic conditions such as flooding from heavy rains, and lockout of equipment and processes.
Issued August 1, 1999
The process of identifying confined spaces, assessing hazards and developing work procedures in a workplace is the responsibility of the employer who operates the business carried on at the workplace. However, employers commonly perform jobs at workplaces that they do not own or control. If an employer is sending a worker to another employer's or owner's operation, the following need to be considered to ensure the "visiting" employer meets their obligations under Part 9.
Issued January 1, 2007
Regulatory excerpt
Section 9.11(1) of the OHS Regulation ("Regulation") requires a hazard assessment and written confined space entry procedures be prepared by a "qualified person who has adequate training and experience in the recognition, evaluation and control of confined space hazards"
Section 9.11(2) of the Regulation states "For the purposes of subsection (1)(a) qualifications which are acceptable as evidence of adequate training and experience include
(a) certified industrial hygienist (CIH) or registered occupational hygienist (ROH) with experience in confined space entry,
(b) certified safety professional (CSP), Canadian registered safety professional (CRSP) or professional engineer (P. Eng.), provided that the holders of these qualifications have experience in the practice of occupational hygiene as it relates to confined space entry, or
(c) other combination of education, training and experience acceptable to the Board."
Purpose of guideline
The purpose of this guideline is to provide direction to employers on how to meet their obligations to select qualified persons to create confined space hazard assessments and work procedures. It also provides contact information on some of the accrediting agencies that issue professional certifications referenced in section 9.11.
Employer due diligence
Employers are responsible for selecting qualified persons, as defined in s. 9.11 of the Regulation, to undertake confined space hazard assessments and written entry procedures. The employer must exercise due diligence in the selection of the qualified person. This is especially necessary if the person being engaged does not hold one of the certifications or the license credentials specified in section 9.11(2) (a) or (b). While each case must be considered on its merits, reliance by an employer on a person holding a certification or license specified in section 9.11(2) as being a "qualified person" for the purposes of section 9.11 would normally be considered reasonable, however, due diligence in all cases includes a review of the person's experience as well as their accredited credentials.
Section 9.11(2)(c) permits persons not certified or licensed to be considered qualified for the purposes of this section. Anyone experienced, knowledgeable and capable of doing the required hazard assessments and writing appropriate safe work procedures may be considered to be a "qualified person." The education, training and experience required to complete a particular confined space entry assessment and to write appropriate procedures will depend on the complexity of each situation and the hazards to be controlled.
Factors employers should evaluate in determining whether a person selected to undertake the confined space hazard assessment and entry procedures under 9.11(2)(c) is qualified include:
A deficient confined space risk assessment or work procedure may be an indication the person selected was not qualified to do the hazard assessment and/or develop the written confined space entry procedures. In all such situations, whether the person selected purports to be a qualified person under subsection (a), (b) or (c), prevention officers will enquire what steps the employer took to assess the person's qualifications. It should be noted that when evaluating the qualifications of a person who has prepared a hazard assessment and confined space procedures, the officer's primary focus will be the quality of the assessments and procedures rather than the person's credentials.
Where prevention officers encounter hazard assessments and work procedures that are deficient and the person selected meets the definition of "qualified person" in s. 9.11 (2) (a) or (b), the employer who engaged the "qualified person" may file a complaint with the accrediting agency.
Note that in addition to engaging qualified persons, employers are also responsible for ensuring that the confined space hazard assessment contains the required elements, and that the written confined space entry procedures have been developed based on the hazard assessment (see s. 9.9(2) and s. 9.10).
Prevention officers will also assess the extent to which the employer knew or should have known that the assessment and/or procedures were deficient. In particular, prevention officers will enquire into what steps the employer took to ensure that ss. 9.9 and 9.10 were complied with.
Contact with accrediting agencies
Among other things, accrediting agencies often maintain web sites with contact information on accredited persons. For example, the Canadian Registration Board of Occupational Hygienists maintains contact information on persons with ROH's, which can be accessed at http://www.crboh.ca/page.cfm?onumber=1. A list of persons with CIHs can be found on the American Board of Industrial Hygiene web site at http://www.abih.org. Lists of persons with CRSPs, which are issued by the Board of Canadian Registered Safety Professionals, are available at http://www.bcrsp.ca
Issued August 1, 1999
Paragraph 9.14(d) of the OHS Regulation states that an entry permit must identify "the time of expiration of the permit".
An entry permit will cover a specific task or project, which may occur over a number of shifts. The time of expiration of the permit is based on the estimated time to complete the project's work activities and will be identified on the permit. An entry permit should be treated as expired sooner than the stated time of expiration if one of the following occurs:
Once an entry permit has expired, a new permit must be issued before entry into the confined space is allowed.
Issued April 9, 2008; Editorial Revision to include February 1, 2011 regulatory amendment
Regulatory excerpt
Section 9.18 (Control of harmful substance in adjacent piping) of the OHS Regulation ("Regulation") states:
(1) Before a worker enters a confined space where adjacent piping contains a harmful substance that is
(a) a liquid with sufficient volatility to produce a hazardous concentration of an air contaminant, or
(b) a gas or vapour,
the harmful substance in the adjacent piping must be controlled by either disconnecting the adjacent piping or isolating it using blanks or blinds that meet the requirements of section 9.20.
(2) Subject to subsection (3), before a worker enters a confined space where adjacent piping contains a harmful substance that is neither
(a) a liquid with sufficient volatility to produce a hazardous concentration of an air contaminant, nor
(b) a gas or vapour,
the harmful substance in the adjacent piping must be controlled by either disconnecting the adjacent piping or isolating it using blanks or blinds that meet the requirements of section 9.20 or using a double block and bleed system that meets the requirements of section 9.21.
(3) Before a worker enters a confined space where adjacent piping contains a substance that is harmful only because of the temperature, pressure or quantity of the substance, the harmful substance must be controlled
(a) by either disconnecting the adjacent piping or isolating it using blanks or blinds that meet the requirements of section 9.20 or using a double block and bleed system that meets the requirements of section 9.21,
(b) by isolating the adjacent piping in a manner that a professional engineer has certified will make the confined space safe for a worker to carry out the intended work, or
(c) if there is no head pressure in the adjacent piping, by de-energizing and locking out each pressure source for the adjacent piping and depressurizing the adjacent piping.
(4) Where a confined space is
(a) subject to the ingress of gases from a gravity-flow municipal or domestic sanitary sewer system or storm sewer system, and
(b) protected from the ingress of gases by a p-trap,
a worker may enter the confined space only if the atmosphere of the confined space has been tested immediately before entry and the test results confirm that the confined space contains clean respirable air.
(5) If a worker enters a confined space of the type referred to in subsection (4), the following must be undertaken:
(a) the operational integrity of the p-trap must be confirmed immediately on the entry of the worker;
(b) while the worker is inside the confined space, the atmosphere of the confined space must be continuously monitored and confirmed to contain clean respirable air.
Purpose of guideline
Section 9.18 of the Regulation addresses the isolation of harmful substances that exist in adjacent piping. Isolation is intended to address hazards arising from fluids (typically liquids, vapours, and gases) and other flowable materials such as slurries, dust, and powders.
This guideline clarifies when section 9.18 applies, and provides interpretive information for each of its subsections.
Adjacent piping
The definition of adjacent piping in section 9.1 of the Regulation is
"adjacent piping" means a device such as a pipe, line, duct or conduit which is connected to a confined space or is so located as to allow a substance from within the device to enter the confined space;
Under this definition there are two general types of adjacent piping.
Under the definition there are two types of circumstances where piping or conduit in or near a confined space is not adjacent piping.
However, the employer must ensure that workers are protected against any hazards associated with orifices under other provisions such as section 9.4 (Control of hazards). The application of section 9.4 means that the potential for fluid discharge into the confined space must be controlled so that the hazards to workers are eliminated or minimized.
Examples of controls might include a gate over the orifice designed to prevent any leakage and secured in place so that it could not be dislodged from the closed position. For fluids that do not pose a vapour or gas hazard it may be appropriate to use a device to control fluid level in one of the spaces so that it does not rise to and flow through an orifice into the confined space where workers are present.
In the remainder of this guideline the isolation measures permitted under the various provisions of section 9.18 are described. Section 9.18(1) provides for the most general circumstances for adjacent piping and the subsequent subsections provide for more specific circumstances.
Application of section 9.18(1) - Basic isolation options
This provision specifies three basic options for isolating adjacent piping: disconnection, blanks, and blinds.
"blank" means a solid plate installed through the cross-section of a pipe, usually at a flanged connection;
"blind" means a solid plate installed at the end of a pipe which has at that point been physically disconnected from a piping system;
"blanking or blinding" means the absolute closure of adjacent piping, by fastening across its bore a solid plate or cap that completely covers the bore and that is capable of withstanding the maximum pressure of the adjacent piping;
The goal of a blank or blind is to eliminate any possibility of fluid entering a confined space. Since a conventional blank bisects flanges, if any fluid leakage were to occur it would discharge directly into the atmosphere. Fluid leakage cannot be allowed to pressurize an enclosed area, resulting in the possible entry of leakage into the downstream portion of the pipe. Requirements for blanks and blinds are specified in section 9.20 and described in the WorkSafeBC publication Confined Space Entry Program: A Reference Manual.
Application of section 9.18(2) - Harmful substances that are not volatile liquids, gases, or vapours
This provision applies to substances in adjacent piping that cannot result in worker exposure to a gas or a vapour in the confined space. For this circumstance, another isolation measure is permissible - a double block and bleed system. This provision involves closing valves in the piping by locking out a drain or vent valve in the open position in the line between two valves that are locked out in the closed position. Requirements for a double block and bleed system are specified in Regulation section 9.21 and described in Confined Space Entry Program: A Reference Manual.
Application of section 9.18(3) - Materials hazardous only because of pressure, temperature, or quantity
This provision applies to materials that are not toxic or corrosive, and are harmful only because of pressure, temperature, or quantity. Typically this requirement applies to systems carrying water or steam. Three isolation options are outlined in the Regulation.
For this option to apply, the layout of the adjacent piping has to be such that if all of the valves are opened with pumps locked out, fluid would not flow into the confined space. In such cases, locking out the pumps and depressurizing the line provides sufficient control.
Prohibition on the use of valves
The use of one or more valves as a means of isolation is not permitted except in certain specified cases for substances that are not volatile liquids, gases, or vapours or are harmful only because of pressure, temperature, or quantity. If a substance is corrosive, toxic, or has poor warning properties, then the use of valves as a means of isolation is not permitted.
The Regulation permits the use of valves as a means of isolation in the following two circumstances:
Application of section 9.18(4) and (5) - Gravity flow sewer systems
This provision could apply to an industrial or sewage system confined space facility that has a sink or other plumbed device that connects to a sewer system.
Retired on February 1, 2011
Some of the information in this guideline is not applicable after the OHS Regulation amendments of February 1, 2011 and has been retired. Other information from the guideline has been moved to new guideline G9.18(3)(b).
Issued February 1, 2011
Regulatory excerpt
Section 9.18(3)(b) of the OHS Regulation ("Regulation") states:
(3) Before a worker enters a confined space where adjacent piping contains a substance that is harmful only because of the temperature, pressure or quantity of the substance, the harmful substance must be controlled...
(b) by isolating the adjacent piping in a manner that a professional engineer has certified will make the confined space safe for a worker to carry out the intended work, or...
Purpose of guideline
This guideline provides general information on the application of section 9.18(3)(b) and specific information on two circumstances where an employer might choose for a professional engineer to certify that the adjacent piping is isolated in a manner that makes it safe for a worker to carry out the intended work inside the confined space.
Application of section 9.18(3)(b)
This section applies to substances that are harmful only because of the temperature, pressure, or quantity of the substance (and are not classified as harmful by virtue of their toxic, irritant, corrosive, or other harmful properties). Section 9.18(3)(b) does not apply if the substance can create a hazard while at the same time providing poor warning of the hazard. The lack of warning that a potential hazard exists is an additional hazard. For instance, this section does not apply to nitrogen or inert gases.
Mainly this section will apply to water or steam. WorkSafeBC recognizes that, for these substances, there are circumstances where it is impracticable to isolate the substance by disconnecting, blinding, blanking, or using double block and bleed technology, and this section provides for an alternative manner of isolation.
An example of a situation where this means of isolation might apply is where an employer uses an inflatable bladder in a water line to stop the flow of water into the confined space. Another example is where, in a waterworks system, an engineered shutoff float in a chamber is used as a means to prevent water from rising to a height where it would be discharged via a pipe to a confined space. If the rate of flow could endanger workers if the float failed, a professional engineer must certify that the adjacent piping is isolated in a manner that will make the space safe.
Engineering certifications specifically need to address worker safety and should typically include consideration of the amount of leakage, age, and maintenance history of the piping components and any other means in place to make the confined space safe for a worker to carry out the intended work. Certifications are expected to be site specific and time limited, and the engineer will need to make the determination of the applicable time period as part of the certification process.
A professional engineer may not always have sufficient information about a valve that is to be used to control potential flow into the confined space and may not be able to examine it. In this case, the engineer could consider information such as the age, history, and maintenance records for the adjacent piping system, leakage rates, and measures such as leak control or line pressure reductions that can be accomplished etc.
Certifications by engineers under section 9.18(3)(b) will need to be available for review by a WorkSafeBC prevention officer where necessary to assess compliance with the requirements. If a prevention officer has concerns about an engineering certification under this section, the prevention officer should discuss the concerns with the WorkSafeBC Engineering Department (refer to OHS Guideline G1.1).
Two common circumstances where section 9.18(3)(b) applies are public water supply systems (e.g., valve and meter chambers where work may affect the integrity of piping systems passing through the confined space) and dam water passageways.
Public water supply systems provide water for domestic uses such as human consumption, food preparation, and cleaning purposes. They also provide water distribution networks for fire suppression, which are typically an integral part of public water supply systems.
Note: In some cases, public water will be used downstream for industrial uses, for example in a process industry or a manufacturing facility. Section 9.18(3)(b) does not apply to such industrial systems if chemical additives could be present or the spaces present hazards other than just temperature (e.g., hot or cold), pressure (e.g., force of the flow), or quantity (immersion hazard).
The system of isolation may be one or more closed valves, use of inflatable bladders, or some other means of isolation. The professional engineer must certify that the adjacent piping is isolated in a manner that makes it safe for a worker to carry out the intended work. The engineer will need knowledge of the valves or other closure devices as well as the nature of the substance in the adjacent piping.
Dam water passageways: At a dam and associated hydroelectric station there may be a number of confined spaces, for example, fuel storage tanks, which are not part of the dam water flow system, and for which this section would not apply. The application of section 9.18(3)(b) is restricted to dam water passageways at the site.
Issued August 1, 1999; Editorial Revision October 2004; Editorial Revision February 7, 2006; Editorial Revision June 6, 2006; Editorial Revision June 22, 2007; Revised April 9, 2008; Editorial Revision to include February 1, 2011 regulatory amendments
Regulatory excerpt
Section 9.22 (Alternative measures of control or isolation of adjacent piping) of the
OHS Regulation ("Regulation") states:
Section 9.18 does not apply if
(1) (a) a measure specified in section 9.18 to control or isolate harmful substances contained in adjacent piping from a confined space is not practicable, and
(b) the employer implements alternative measures of control or isolation that are acceptable to the Board.
(2) All workers affected by measures implemented under subsection (1) must be informed of the measures taken and instructed in any applicable work procedures.
Purpose of guideline
This guideline outlines who an employer should contact at WorkSafeBC to determine if alternate measures under section 9.22 of the Regulation are acceptable, and the types of information to include in the submission. It also provides information on how WorkSafeBC will issue its decisions.
This guideline is the first in a series of guidelines on section 9.22. Additional guidelines (e.g., G9.22-2) provide guidance for developing submissions on alternate measures in specific situations. Further guidelines in this series will be developed as required.
Contacting WorkSafeBC for acceptance of alternate measures
If an employer develops a set of alternate measures for a type of confined space covered by one of the guidelines in the G9.22 series, the employer should contact the regional office of WorkSafeBC to determine acceptability. The applicant may be an employer who owns or operates the confined space, or may be a contractor doing work on or in it.
If an employer wants to implement alternate measures in circumstances that are not covered by one of the guidelines in the G9.22 series, the employer will need to contact the Regulatory Practices Department of the Worker and Employer Services Division of WorkSafeBC.
What to include in the submission
A submission may cover a single confined space or a group of confined spaces that share similar characteristics. It should focus on the issues associated with isolation of the confined space, and cover the elements outlined below.
Main elements of the submission
The submission should address matters that include the following elements:
The submission should also include information from the joint OHS committee, or worker health and safety representative, as applicable, indicating their comments on the proposal, or other information that indicates the affected party has been consulted on the alternate measures. (Section 9.11(1)(b) of the Regulation requires consultation with these parties on confined space hazard assessments and written procedures.)
Information needed for Element #4 - hazards to be addressed
Hazards associated with the isolation of the confined space typically involve those arising from fluids such as liquids, gases, and vapours, and other materials such as slurries, dusts, and powders that could flow into the space. The submission should address matters such as the following, where applicable:
Information needed for Element #5 - alternate measures to be used
The measures chosen should be based on careful consideration of the hazards, and provide the most effective means of dealing with them. The submission should cover matters such as the following, where applicable:
Issuing a decision
Decision made by a WorkSafeBC prevention officer: Where the circumstances of the confined space(s) for which the application is made are addressed by a guideline in the G9.22 series, a prevention officer responsible for the firm may make the decision on behalf of WorkSafeBC. As needed, the prevention officer may contact Engineering Department or Regulatory Practices Department for advice. The prevention officer will record his/her decision, including the terms of the decision and time period for which it is issued, in the text of an inspection report for the firm. The prevention officer will provide a copy to the employer, who must post a copy at the worksite as required by the Regulation. Once the decision is made, the prevention officer will forward the request and decision to the Regulatory Practices Department.
Decision made by the Regulatory Practices Department: Where an application for acceptance involves a situation not covered by a guideline in the G9.22 series, the Regulatory Practices Department will issue the decision to the applicant using the standard format for Acceptance Request (AR) decisions. The applicant will post a copy of the acceptance and ensure copies are distributed to workplace parties, as required by the terms of the acceptance. Copies will be sent to the WorkSafeBC regional prevention manager and prevention officer responsible for the firm, and to others who contributed information to the decision-making process.
Note: All decisions will focus on the issue of alternate measures for isolation of the confined space under section 9.22 of the Regulation. They will not, as a rule, address the issue of compliance with other provisions of the Regulation and must not be taken as an endorsement of the overall confined space program for the site.
Issued April 9, 2008; Editorial Revision June 10, 2010; Editorial Revision to include February 1, 2011 regulatory amendment; Revised September 21, 2011
Regulatory excerpt
Section 9.22 (Alternative measures of control or isolation of adjacent piping) of the OHS Regulation ("Regulation") states:
(1) Section 9.18 does not apply if(a) a measure specified in section 9.18 to control or isolate harmful substances contained in adjacent piping from a confined space is not practicable, and
(b) the employer implements alternative measures of control or isolation that are acceptable to the Board.
(2) All workers affected by measures implemented under subsection (1) must be informed of the measures taken and instructed in any applicable work procedures.
Purpose of guideline
This guideline outlines some issues to consider when developing alternate measures for municipal storm and sanitary sewage systems under section 9.22(1), where the isolation of adjacent piping under section 9.18 is not practicable.
Among other things, the guideline discusses
This guideline should be used in conjunction with OHS Guideline G9.22-1, which outlines elements that need to be addressed in any submissions to WorkSafeBC. Also, note that OHS Guideline G9.18, which provides interpretive information on terminology used with isolation procedures, may be of assistance.
NB: None of the information in this guideline is to be used as a substitute for the conduct of a site-specific hazard assessment and development of associated safe procedures by a qualified person, as required under sections 9.9 - 9.11 of the Regulation.
Making a submission
A submission may cover a single confined space or a group of confined spaces that share similar characteristics. After developing proposed alternate measures for a space or spaces in a municipal sewage system, the employer will need to contact the local regional office of WorkSafeBC to have the measures reviewed by a prevention officer for acceptability.
The focus of any submission on alternate measures should be on the fluids (including liquids, gases, and vapours), and other flowable materials that would be controlled by the isolation measures listed under section 9.18.
For details on what information should be included in the submission to a prevention officer with regards to alternate measures for municipal storm and sanitary sewage systems, please refer to OHS Guideline G9.22-1.
For other land-based sewage systems, such as industrial systems which are not connected to municipal sewers, submissions should be made to the Regulatory Practices Department of the Worker and Employer Services Division of WorkSafeBC in Richmond.
Acceptance by a prevention officer
As stated above, after developing proposed alternate measures for a confined space or spaces in a municipal sewage system, the employer will need to contact the local regional office of WorkSafeBC to have the measures reviewed by a prevention officer for acceptability.
When an application for acceptance is made under section 9.22(1) of the Regulation, the prevention officer may request additional information from the employer. For instance, the prevention officer may ask for a written statement justifying why the measures specified in section 9.18 of the Regulation are not practicable. The prevention officer may also request copies of the confined space procedures and the name of the qualified person involved in the preparation of the procedures. The prevention officer may also request any other information that is necessary for making a decision under section 9.22(1) of the Regulation.
If the alternate measures are accepted, the prevention officer's decision will state that the measures set out in the application package must be followed. It may also include additional terms. Some of the matters that are covered by the additional terms may include:
When making a decision, the prevention officer may consider whether the acceptance will apply to one firm or to multiple firms depending on the specific circumstances.
General comments on hazards and alternate control measures in sewage systems
1. Hazards
For any sewage system, storm or sanitary, hazards that can be encountered include engulfment or immersion, exposure to toxic gases or vapours, oxygen deficiency, flammable atmospheres, slipping or tripping hazards, and electrical hazards where energized conductors or electrical equipment are exposed to damp conditions or liquid contact.
The potential for immersion will vary depending on factors including the frequency and volumes of discharges to the system, precipitation, and the relationship between the rate of possible fluid flow into the confined space to the dimensions of the space. For example, if the space is relatively small, and the diameter of inlet piping is substantial, there may be a relatively high potential for immersion. The contrary is the case where the floor area and volume of the space is large relative to possible fluid flows into it.
Water in sewage systems may be contaminated by materials such as oils from roadway runoff or industrial discharges, and in some cases materials such as ferrous chloride or other substances may be added for purposes of corrosion or odour control.
Air contaminants of concern in sewage systems include hydrogen sulfide, carbon monoxide, carbon dioxide, methane, ammonia, and organic vapours from oils or fuels that have entered the systems from roadway runoff. Decomposition gases such as hydrogen sulfide and methane can be a particular issue where sludge and other organic matter have been allowed to accumulate, and can be off gassed, particularly when the materials are disturbed. The term "sewer gas" is often used to refer to gases in sewage systems. It is an imprecise term, sometimes used in reference to hydrogen sulfide, but also to the complex mixture of gases that can be present.
In sanitary sewage systems, fluids may contain waterborne organisms that may cause disease (for example, hepatitis, giardiasis, and leptospirosis). Diseases affecting the gastrointestinal or respiratory systems have been reported among sewage workers.
Hazards from exposure to fluids and gases in piping may be complicated by other issues such as restricted visibility, limits to communication, and distance from exit points.
2. Alternate control measures
Various aspects of alternate control measures are discussed below, from fluid control to instruction and training.
The choice of method for fluid control will depend on what is feasible in the situation. In all cases the basic principle is that the most effective of the feasible methods should be chosen. Wherever manufactured devices are used, manufacturer's instructions and safe work practices must be followed. For example, the safe use of bladders will typically include measures such as cleaning the piping into which the bladder is placed, inflating the bladder only to permitted pressures, and securing the bladder so that it is not displaced in the pipe by a buildup of pressure behind it.
If devices that control the fluid flow are capable of being locked out then the requirements of Part 10 (De-energization and lockout) of the Regulation apply.
The analysis of valves as a control measure should assume that all valves leak. However, there is no expectation that a properly installed and maintained valve will fail catastrophically if no work is being performed on it.
Ventilation must be adequate, and be provided in conformity with the requirements in Part 9 (Confined spaces) of the Regulation.
It is recognized that in some cases catastrophic failure of the control system could lead to immediate danger to workers from fluid flow. For that reason isolation measures need to provide a high level of assurance that such circumstances will not occur. Evacuation measures need to be designed to minimize the time needed to exit, and rescue plans must be in place
Evacuation times in the event of development of harmful atmospheres may be more difficult to predict, and steps must be taken to ensure that personal protective equipment and rescue measures are up to the task. Depending on the potential exposure, workers in the confined space may be required to be permanently attached to a lifeline.
Some considerations are provided in the remainder of this guideline for three typical parts of sewage systems: piping, pumping stations and sewage treatment plants.
Specific comments on piping, pumping stations, and treatment plants
1. Storm and sanitary sewage piping
When a worker enters a sewage pipe, the pipe itself is the confined space, not "adjacent piping" from which the space must be isolated as required by section 9.18. However, the feeder pipes that discharge into the pipe that is entered can be considered to be adjacent piping.
Often in such cases it may be impracticable to isolate the adjacent piping. In some cases partial or complete isolation may be possible with temporary dams, inflatable bladders, or other means such as rerouting of fluid flow.
However, in most cases alternate measures to ensure worker safety will involve a set of occupational hygiene and safety precautions other than or in addition to isolation.
When dealing with piping systems, there may be limits on the practicability of some standard occupational hygiene control measures. For example, ventilation as a means of assuring a safe atmosphere may not be practicable if the work must be done over a length of the piping system a substantial distance away from access points. However, wherever ventilation is feasible, it should be used, and it must always be provided where required by the Regulation. If ventilation cannot assure a safe atmosphere, reliance may need to be placed on air monitoring and respiratory protection, including air supplied respirators where the circumstances warrant.
Hazards in piping will vary somewhat depending on whether the piping is a storm or sanitary sewer, or both. Often the piping will carry both storm and sanitary sewage in a combined system.
Sanitary sewers will have hazards associated with organic matter, including biological hazards, as well as air contaminants such as hydrogen sulfide or methane from the decomposition of organic matter. Such gases may be particularly an issue where sludge and other materials have been allowed to accumulate, and are subsequently disturbed. Where sewage flows at a rate of 2-3 feet per second (2-3 km/h) sedimentation and sludge build up is less likely. However, in such cases blockages can still occur where objects impede flow, or the diameter of the piping is an issue.
Flow volumes and rates will vary according to sewage discharge patterns in the catchment area and precipitation. Predicting patterns of flow will assist with worker safety.
Storm sewers will typically include hazards associated with water flows, which will vary with precipitation and drainage patterns in the area. Drainage from streets and parking areas is likely to be contaminated with oil and other hydrocarbon residues from vehicles. Also, where access locations to the sewers are in proximity to idling vehicles, for example at intersections and parking areas, there is the potential for exposure to exhaust gases including carbon monoxide.
Both sanitary and storm sewers may be contaminated with industrial or household chemicals, and with potentially harmful objects such as needles.
2. Sewage pumping stations
For pumping stations that are confined spaces the adjacent piping will typically be the sewer lines that feed into a reservoir or sump and the pipes used to discharge the sewage. There may also be drains that are arranged so that the contents of the drain could enter a sump and merge with the general sewage flow. Gases must be considered as well as liquids. Various means of controlling fluid flow may be possible. Given the proximity to a point of access, and the limited space involved, it should always be possible to provide effective ventilation into a pumping station.
The timing of events must also be considered in the hazard analysis. For instance the level and composition of off-gassing may depend on how long it has been since a channel or pipe has been emptied of residue. It may also be affected by the extent of liquid agitation and the surface area in contact with the atmosphere in partially filled pipes.
Knowledge of historical flow patterns and contamination problems could be of assistance in performing the required hazard analysis. Anticipated weather patterns may also affect the scheduling of the work inside of the confined space in order to minimize worker exposure to hazards of fluid flow.
3. Sewage treatment plants
Many of the hazards from fluid flow in sewage treatment plants are similar to those encountered elsewhere in sewage systems. Treatment plants offer certain advantages in terms of hazard control given that work activities occur at fixed sites and often above ground. The design of the system at the site may help ensure that the need for alternate measures is minimized.
Some of the hazard issues at the plants include chemicals used to treat sewage, potential for exposure to tidal water for facilities on the coast, and hazards arising from the treatment system. For example, the potential for hydrogen sulfide and methane to develop from the decomposition of organic material may be a particular issue in desludging operations in secondary sedimentation tanks, on the tops of sewage digesters, and in any tanker loading or unloading operations.
Sewage treatment plants may have channels that are connected by orifices or weirs. Such connections are not necessarily "adjacent piping." However, any hazards created by these adjacent channels need to be addressed. The hazards to workers from entry into channels will vary somewhat depending whether or not the channels are open or closed.
A means of fluid control that is possible in some circumstances is to channel fluid flow around the space in which worker entry is required. Alternate fluid control measures that can be used include sealing devices that are installed through holes drilled in the side of pipes and inflatable bladders. In such cases ensure that the manufacturer's instructions and other necessary safe procedures are followed.
Where discharge occurs into tidal water it may be possible to plan the timing of work so that ocean tides do not create a liquid hazard from the outlet side.
Issued August 1, 1999
Section 9.24 of the OHS Regulation states "Before a worker enters a confined space, pre-entry testing and inspection must be conducted to verify that the required precautions have been effective at controlling the identified hazards and that it is safe for a worker to enter".
Section 9.25 of the OHS Regulation requires the atmosphere in a confined space to be tested in a number of circumstances before a worker enters the confined space. The requirements of section 9.24 are not limited to atmospheric testing. Other hazards, such as entrapment, radiation, heat stress, noise and cold stress may also be present. These require assessment regarding the degree of risk to workers.
In addition, it is necessary to inspect before entry to ensure that all required controls are in place. These are similar to requirements for supervisor responsibility stated in section 9.7(2).
Issued August 1, 1999; Revised November 17, 2003
Additional testing
Section 9.25(4) of the OHS Regulation states "While a worker is inside a confined space with a moderate or high hazard atmosphere, additional testing must be conducted as necessary to ensure the worker's continuing safety"
.
The intervals at which additional testing should occur depends on the outcome of the hazard assessment, the operations being performed in the space and the risk of the atmosphere changing substantially. In addition, the selection of appropriate instrumentation for testing of the space, together with the requirement of section 9.25(5) for continuous monitoring, may determine the frequency of testing that is practicable.
Continuous monitoring
Section 9.25(5) states "Whenever practicable, continuous monitoring of the atmosphere must be done".
"Practicable" is defined in section 1.1 of the OHS Regulation as meaning "that which is reasonably capable of being done". In determining what is "practicable", the relevant factors include:
Low hazard atmospheres
Section 9.25(7) permits entry into low hazard atmospheres without pre-entry atmospheric testing if the conditions listed in paragraphs (a) to (d) are met. Condition (c) is that "prior representative sampling has demonstrated that the atmosphere within the space or group of similar spaces meets the low hazard atmosphere definition".
"Representative sampling" is acceptable if the sampling data is
Issued August 1, 1999
Section 9.26(4) of the OHS Regulation states "Test results, other than continuous monitoring results, must be posted without delay at all points of entry to the confined space".
Continuous monitoring provides continuous feedback to the personnel entering and working in the confined space. In effect, this provides better feedback than the posting of test results at all entrances to the confined space. However, the section does not exempt the employer from recording continuous monitoring test results at appropriate intervals as required by section 9.26(3). Many instruments used for this purpose are equipped with a data logging capability that makes it easy to record test results and to interpret the data. Otherwise, readings can be manually recorded at appropriate time intervals.
Keeping records of continuous monitoring will be particularly important for employers wanting to eliminate pre-entry atmospheric testing for a low hazard atmosphere confined space, as it may be a source for the data required by paragraph 9.25(7)(c).
Issued consequential to February 1, 2012 Regulatory Amendment
Regulatory excerpt
Section 9.26(2) of the OHS Regulation ("Regulation") states:
Each confined space test must be carried out by a qualified person who has training and experience to calibrate, operate and monitor testing equipment and interpret readings from the testing equipment.
Section 4.3(2) states:
Unless otherwise specified by this Regulation, the installation, inspection, testing, repair and maintenance of a tool, machine or piece of equipment must be carried out
(a) In accordance with the manufacturer's instructions and any standard the tool, machine or piece of equipment is required to meet, or
(b) as specified by a professional engineer.
Purpose of guideline
The purpose of this guideline is to provide guidance on the qualifications necessary to perform calibration of confined space atmospheric testing equipment.
Calibration in accordance with manufacturer's instructions
Under section 4.3(2) of the Regulation, employers must ensure that the calibration of confined space testing equipment is done in accordance with the manufacturer's instructions or the instructions of a professional engineer.
Qualifications for confined space tester performing calibration
When atmospheric testing is performed in a confined space as required under section 9.25, section 9.26(2) specifies that it be performed by a qualified person who has training and experience to calibrate the equipment. Calibration of testing equipment is a rigorous process and may require laboratory equipment or specialized procedures available only to the manufacturer or manufacturer's representative. The Regulation does not require that the qualified person identified in section 9.26(2) perform laboratory or factory calibration of the equipment. However, the qualified person (tester) needs to understand the calibration process in order to understand instrument setup and performance.
The manufacturer's instructions will usually also specify more frequent field calibrations and calibration checks (bump tests) than a periodic laboratory or factory calibration. In this case, the qualified person must be trained to perform this field calibration or calibration check.
Issued August 1, 1999
Section 9.27(1) of the OHS Regulation states "When practicable, the employer must ensure that a confined space to be entered contains clean respirable air".
Section 9.27(2) states "If a confined space is known, or shown by pre-entry testing to contain other than clean respirable air, the hazard must be controlled by cleaning, purging or venting the space and the atmosphere must be retested before a worker enters the space".
More than one cleaning, purging or venting may be required to achieve a confined space with clean respirable air. It depends on what is practicable and reasonable in the circumstances. If continued cleaning, purging or venting will further the objective of having a clean respirable atmosphere, these processes should be repeated. If continuing these processes will not effectively improve the residual atmospheric quality, then the employer may proceed with entry in accordance with section 9.28 of the OHS Regulation.
Issued August 1, 1999; Revised May 9, 2006; Editorial Revision to include February 1, 2011 regulatory amendment
Regulatory excerpt
Section 9.29 (Inerting) of the OHS Regulation ("Regulation") states:
(1) The employer must notify the Board in writing, and submit a copy of the proposed work procedures, at least 7 days before a worker enters a confined space which has been inerted.
(2) The employer must follow any additional precautions that are prescribed by the BoardBoard after review of the notification.
(3) If a confined space has been inerted
(a) all entry precautions for high hazard atmospheres must be followed, except the requirement for continuous ventilation,
(b) every worker entering the confined space must be equipped with a supplied-air respirator meeting the requirements of Part 8 (Personal Protective Clothing and Equipment),
(c) all ignition sources must be controlled, and
(d) the atmosphere inside the confined space must remain inerted while workers are inside.
(4) Subsection (1) does not apply to entry for the purpose of performing emergency rescue duties.
Purpose of guideline
This guideline provides information for employers on how to notify WorkSafeBC prior to inerting a confined space, and the types of information to include in the submission. It also provides information to WorkSafeBC prevention officers to assist with reviewing applications.
How to notify WorkSafeBC
Section 9.29(1) of the Regulation requires an employer to notify WorkSafeBC in writing of an intent to enter an inerted confined space, and to submit a copy of proposed work procedures at least seven days before entry. As noted in section 9.29(4), this obligation does not apply if the entry is in an emergency situation for the purpose of performing rescue duties.
Information can be sent by post, fax, or by e-mail. However, regardless of the means of communication, the written communication must be received by WorkSafeBC at least seven calendar days before planned entry. It is not sufficient to call WorkSafeBC seven days or more before entry and then submit the written request in less than the required time.
The request should be sent to the nearest WorkSafeBC office, to the attention of the Prevention Regional Manager, or to the Occupational Hygiene Officer responsible for the worksite where the entry will occur. Notifications often arise from refining and fuel manufacturing operations in the oil and gas sector. Typically such operations are found in Northeast or Northwest B.C., or in the Lower Mainland. For these locales, inspectional programs are handled, respectively, from the Prince George, Terrace and the Burnaby/Coquitlam offices of WorkSafeBC.
Information on how to contact offices of WorkSafeBC is found on the web site at www. worksafebc.com. Click on the "Contact Us" button on the home page. Or alternatively, the information is available by calling the Prevention Information Line at 604-276-3100, or toll free in B.C. at 1-888-621-7233.
Preparing the submission
While section 9.29 of the Regulation deals with requirements specific to inerting, other requirements of Part 9 (Confined spaces) also apply. Of central concern is that the necessary hazard assessment has been done and associated work procedures developed, as required by sections 9.9 to 9.11. Under these provisions the hazard assessment and work procedures must be prepared by a qualified person(s) and, as applicable, the joint occupational health and safety (OHS) committee or worker OHS representative must be consulted.
The work associated with inerting is often highly specialized, and may involve the services of a contractor. Where a prime contractor or owner arranges for a contractor to conduct the work, then the contractor's joint OHS committee or worker OHS representative will need to be consulted. Where workers of the prime contractor will be engaged in any of the work associated with the confined space, for example, in preparation of the space, work in it or in an emergency rescue, then consultation with the prime contractor/owner's joint OHS committee or worker OHS representative will also be needed.
To permit proper assessment by WorkSafeBC, the submission will need to include the following:
Reviewing the submission
The assigned prevention officer will be responsible for reviewing the application and making a determination of any concerns or issues with the proposed procedures to be addressed by the applicant. Precautionary information should be entered into inspection text on an Inspection Report and communicated to the employer prior to entry. Where work is being done by a contractor, both the prime contractor and contracted employer will need to be advised.
To assist with the review, the prevention officer may wish to examine previous decisions related to inerting confined spaces, or consult with persons who have been involved with such decisions. This may include the Occupational Hygiene Variance Coordinator or Senior Occupational Hygienist, the Senior Prevention Adviser or, as applicable, other prevention officers and the Regional Manager. Consultation may be particularly appropriate in circumstances such as reviewing procedures for types of spaces not previously considered by WorkSafeBC.
If the applicant is a visiting contractor, it may be necessary for the contractor to do a final hazard assessment after arrival on site. It is expected in such cases that the assessment process will ensure that all significant hazards are addressed in the submission to WorkSafeBC, and that a final hazard assessment would only be for the purposes of fine tuning work procedures on minor issues. The hazard assessment and work procedures submitted to WorkSafeBC should be as specific as possible to the conditions on the site where the work will be done.
For example, if the contractor had previously done inerting work in a confined space, then the assessment and procedures should, at minimum, be based on the specific circumstances of that previous work, coupled with any adjustments arising from additional information received from the prime contractor or owner prior to the present job. Any final minor adjustments to the hazard assessment and procedures will be done by a qualified person in consultation with workplace parties, as required by section 9.11.
The prevention officer may, in these or other circumstances, attend the site prior to the confined space being inerted.
Copy to Regulatory Practices
Once the prevention officer's review is complete, materials will be entered into a firm file following normal procedures. A copy of the submission, any additional relevant materials, and the prevention officer's determination regarding the need for further precautions will also be forwarded to the Regulatory Practices Department of WorkSafeBC.
Issued August 1, 1999
Sections 9.34 to 9.36 of the OHS Regulation require that, whenever a worker enters a confined space, another worker or workers must be assigned as the standby person(s). The positioning and functions of the standby person differ, depending on whether the atmosphere in the confined space has been determined through the hazard assessment under section 9.9 to be low, moderate or high.
Depending on the rescue procedures, a stand-by person may also be trained and serve as a rescue person for the purpose of sections 9.37 to 9.41(3) of the OHS Regulation. In accordance with section 9.41(3), the stand-by person may not enter the space to effect rescue until at least one other worker is present and prepared to render assistance to the rescue worker.
Issued August 1, 1999
The requirement for low hazard atmosphere confined spaces in section 9.34 allows the stand-by worker to effectively serve as a person-check for a worker working alone in the space. The standby person does not have to be located at or near the entrance to the space if there is a "continuous means of summoning the standby person". However, the standby person cannot be located inside the confined space. The stand-by person must check on the well being of the worker inside the confined space every 20 minutes or more frequently if required by the entry procedures.
Issued August 1, 1999
A moderate hazard atmosphere confined space requires a stand-by person to be located at or near the entrance. At least every 20 minutes, the standby must visually observe or otherwise check the well being of the workers in the space. The standby can have other duties if they do not interfere with the standby person remaining at or near the entrance to the space, or interfere with the checking of workers in the space. See also OSH Guideline G9.34-1.
Issued August 1, 1999
A high hazard atmosphere confined space requires the stand-by person to be stationed at the entrance to the space and dedicated to the task of monitoring the workers in the space. The standby worker cannot have other duties. See also OHS Guideline G9.34-1.
Issued August 1, 1999
Section 9.39 of the OHS Regulation requires the notification of rescue persons before workers enter a confined space. Section 9.39(3) states "If more than one confined space is to be entered at the same time, notification of rescue personnel to be on alert status at the commencement of work is adequate".
In determining the rescue services to be provided, the employer should assess the risks from workers entering into more than one space entry at the same time. If the rescue services are called upon for one space, and there is insufficient rescue capacity to deal with emergencies in other confined spaces at the same time, the employer must terminate the entry or use of workers in other spaces during the rescue operations.
Examples of industries that may involve several confined space entries at the same time are petroleum refineries, pulp mills, tank and rail car cleaning operations and bulk storage facilities.
Issued August 1, 1999
Section 9.41(3) of the OHS Regulation states "A rescue worker must not enter a confined space unless there is at least one additional worker located outside to render assistance".
The stand-by person required by sections 9.34 to 9.36 may serve as a rescue worker, or as the backup worker required by section 9.41(3), provided the person is properly trained and adequately equipped. Where this occurs, the confined space rescue situation will involve a minimum of 3 people: the worker in the confined space needing rescue, the standby/rescue worker, and a third worker to meet the requirements of section 9.41(3). Four or more persons may be required if the standby person does not serve as one of the rescue workers required by section 9.41(3).
Paragraph 9.36(e) requires that in a high hazard atmosphere confined space the stand-by worker must be "equipped and capable of immediately effecting rescue using lifting equipment if required, or otherwise performing the duties of rescue persons". Wherever possible, rescue procedures and plans should rely on rescue of workers in a manner that does not require additional personnel to be placed at risk. For example, rescue from outside the space using lifting devices, and the stand-by worker as the rescue worker, puts no rescue workers at risk. In addition, rescue without entry would not necessarily require an additional rescue worker to render assistance under section 9.41(3).
The means of supplying rescue services are part of the hazard assessment under section 9.9 and covered by the written procedures under sections 9.5 and 9.10.
Issued August 1, 1999
Section 9.42(4) of the OHS Regulation states "The use of a lifeline is not required if the risk assessment identifies obstructions or other conditions that make its use impractical or unsafe".
"Risk assessment" refers to the "hazard assessment" done under section 9.9.
Issued August 1, 1999
Section 9.43 of the OHS Regulation states "Harnesses, lifelines and lifting equipment must meet the requirements of standards acceptable under this Regulation".
This primarily refers to the standards accepted under parts 4,8,11 and 32 of the OHS Regulation.
Issued August 1, 1999
Section 9.47 states "Workers entering a confined space which contains a high hazard atmosphere must carry on their person or have within arm's reach an emergency escape respirator sufficient to permit them to leave the confined space without assistance".
The selection and use of appropriate escape respirators for high hazard atmosphere confined spaces must be in accordance to the requirements of part 8 of the OHS Regulation, particularly section 8.36.
Issued May 24, 2002
Section 9.49 of the Occupational Health Safety Regulation states:
When practicable, torches and hoses used for welding, brazing or cutting must be removed from a confined space when not in use and when the confined space is vacated.
A "Note" is included under section 9.49. It states:
It may be impracticable to remove hoses for some short duration breaks of 60 minutes or less, particularly where the confined space is large or where the removal of hoses may create some risks to workers, for example, when hoses are removed from scaffolding. If removal is impracticable, alternate measures must be adopted under sections 9.4 and 9.5. The preferred method in most cases is to disconnect at source with safe venting procedures together with procedures to ensure no inadvertent reconnection while workers are on the break or, if this is not practicable, closing and putting a tag on connections located outside the confined space. Other applicable requirements in Part 9 must also be followed including those on ventilation, standby persons and retesting prior to re-entry. For further information, see the OHS Guideline on section 9.49 on the Board's Internet site.
The intent of section 9.49 is to minimize the possibility of oxygen and/or fuel gas accumulating in the confined space due to leaks or improperly closed valves. Gas can accumulate rapidly in a confined space and present a high risk of fire or explosion when workers return to the space to resume work. An action such as lighting a torch could result in a catastrophic explosion and fire. Hence, when using an oxy-fuel process in a confined space, the priority is to remove the hose and torch from the confined space upon completion of the work or whenever the worker using the equipment leaves the confined space.
Due to the lay-out, size, and complexity of some confined spaces and the number and lengths of oxy-fuel hoses involved, removal of torches and hoses is not always practicable for short duration breaks (such as for coffee or lunch; typically a maximum of 60 minutes). Examples of confined spaces where removal may be impracticable include a pulp mill recovery boiler and a workspace inside the hull of a large ship berthed for repairs in a shipyard. For the latter, oxy-fuel hoses are typically fed from the dock (the usual location of the regulator/manifold), over the sides of the ship, along the deck, and extended down into the ship, to the workspace. Depending on the work required on a large vessel, many (5 - 15) oxy-fuel hoses may be required, each extending up to 45 metres (150 feet) in length.
Where it is not practicable for a worker to remove an oxy-fuel hose and torch from a confined space when taking a short break, the following protocol is acceptable, when it forms part of a confined space entry program (see section 9.5 of the OHS Regulation).
Torches and hoses should be shut off and removed from the confined space when this equipment will not be used for an extended time, such as breaks beyond 60 minutes or overnight, or upon completion of the work.
Additional information can be found in parts 10 and 11 of CSA Standard W117.2-94, Safety in Welding, Cutting and Allied Processes. Refer also to OSHA Regulations (Standards -- 29 CFR) Fire Protection in Shipyard Employment -- 1915 Subpart P available on the Internet at
http://www.osha.gov/pls/oshaweb/owadisp.show_document?p_table=STANDARDS&p_id=10337