Integrated Pest Management Plan 2020-21
Integrated Pest Management Plan
| PLAN REVIEW | |
| Reviewer | Date |
| Eileen Carlson | 9/2/20115 |
Contact: Laurie Nord
507-629-3270
EMERGENCY ACTION PLANNING
Purpose
The purpose of this program is to provide the needed tools to respond to emergencies that may occur in the school setting. St. Mary’s School has developed a specific response plan for use to prevent and/or respond to emergencies that could occur. The plan is based on the requirements established by Minnesota Executive Order 93-27 and Model Crisis Management Plan. The plan was developed in coordination and cooperation of community leaders, local units of government, and State of Minnesota agencies.
A copy of the plan may be obtained from the school principal’s and/or district office.
| PLAN REVIEW | |
| Reviewer | Date |
| Eileen Carlson | 9/25/2015 |
Contact: Ron Louisiana
507-557-2251
INDOOR AIR QUALITY
Purpose
The purpose of this program is to provide the needed tools to maintain or restore the air quality of the working and learning environment of school facilities. The step-by-step process includes investigation, response, communication, and training.
Policy of School
Franklin Elementary Public School’s Indoor Air Quality Plan is based on the US EPA’s “Tools For Schools” packet. This packet is available for review upon request. Please contact The Indoor Air Quality Contact Person, or Advanced Health, Safety, and Security for more information.
| PLAN REVIEW | |
| Reviewer | Date |
| Eileen Carlson | 9/25/2015 |
Contact: Ron Louisiana
507-557-2251
HEARING CONSERVATION
Purpose
Conservation of hearing is an important preventative measure at Franklin Elementary Public School. To reduce occupational hearing loss, all employees, who work in potentially noisy areas, are provided hearing protection, training and annual hearing tests. OSHA’s hearing conservation standard is covered in 29 CFR 1910.95.
Responsibilities
Management
Use Engineering and Administrative controls to limit employee exposure
Provide adequate hearing protection for employees
Post signs and warnings for all high noise areas
Conduct noise surveys annually or when new equipment is added
Conduct annual hearing tests for all employees
Conduct hearing conservation training for all new employees
Conduct annual hearing conservation training for all employees
Employees
Use school provided, approved hearing protection in designated high noise areas
Request new hearing protection when needed
Exercise proper care of issues hearing protection
Training
At time of hire and annually thereafter, all affected Employees must attend Hearing Conservation Training. The initial training is conducted as part of the New Hire Orientation Program by the Human Resource Department and consists of:
Engineering Controls
After it is determined that noise exposure above 85 dB (A) are present, engineering controls should be evaluated and implemented to reduce the noise exposure before administrative controls are initiated. Some examples of engineering controls include:
When new equipment or machinery are evaluated for purchase, the District’s Hearing Conservation contact should be consulted to conduct an evaluation from a safety and health standpoint. One criteria of the evaluation should include the amount of noise the equipment will produce and how it will affect the overall noise exposure.
Administrative Controls
After engineering controls are evaluated for effectiveness or feasibility, administrative controls should be considered to reduce noise exposure. Administrative controls include restricting exposure time or using personal protective equipment (PPE).
Personal Protective Equipment, such as earplugs or muffs, may be used to reduce the amount of noise exposure. Each plug or muff has a noise reductions factor (NR) as evaluated by ANSI Standards (S3.19 – 1974 or Z24.22 – 1957). For example, if a work area has an ambient noise exposure of 96 dB (A), the hearing protectors should be rated 6 NR or better to be effective.
According to OSHA Regulations, each location with noise exposures of 85 to 89 dB (A) will provide hearing protectors for the Employee’s optional use. Noise exposures at 90 dB (A) or above require the mandatory use of hearing protection. Further, OSHA requires that a variety of hearing protectors be available for Employees to choose (both a variety of plug and muff type hearing protectors).
Types of Hearing Protectors
Hearing protection devices are the first line of defense against noise in environments where engineering controls have not reduced employee exposure to safe levels. Hearing protective devices can prevent significant hearing loss, but only if they are used properly. The most popular hearing protection devices are earplugs which are inserted into the ear canal to provide a seal against the canal walls. Earmuffs enclose the entire external ears inside rigid cups. The inside of the muff cup is lined with acoustic foam and the perimeter of the cup is fitted with a cushion that seals against the head around the ear by the force of the headband.
Use of Hearing Protectors
Management, Supervision and Employees shall properly wear the prescribed hearing protectors while working in or traveling through any section of a Location that is designated a High Noise Area. (excluding offices, break rooms, and rest facilities). The following rules will be enforced:
Personal stereos, such as Walkman’s, etc., will not be permitted in any operating area of school property.
Hearing protectors, at least two types of plugs and one type of muffs, will be provided and maintained by the School.
Pre-formed earplugs and earmuffs should be washed periodically and stored in a clean area, and foam inserts should be discarded after each use. It is important to wash hands before handling pre-formed earplugs and foam inserts to prevent contaminants from being placed in the ear that may increase your risk of developing infections.
| PLAN REVIEW | |
| Reviewer | Date |
| Eileen Carlson | 9/25/2015 |
Contact: Ron Louisiana
507-557-2251
HAZARDOUS WASTE MANAGEMENT
Introduction
This document serves as a guide to the Hazardous Waste Management Program for Franklin Elementary Public School. It combines rules, regulations and guidelines set forth by a number of state and federal regulatory agencies and will be used to ensure that hazardous waste produced by Franklin Elementary Public School is handled, stored and disposed of properly.
Regulatory Overview
The Resource Conservation Recovery Act (RCRA) laws were enacted to monitor and regulate the generation and disposal of hazardous, non-hazardous (solid), and medical wastes, and to develop underground storage tank standards. Nationally, the Environmental Protection Agency (EPA) is authorized by RCRA to regulate activities relating to waste management, develop waste minimization policies, and enforce underground storage tank standards.
In Minnesota, the Minnesota Pollution Control Agency (MPCA) has received authorization from the EPA to enforce the state’s hazardous, non-hazardous, medical waste management, and underground storage tank laws. The MPCA, in turn, has authorized each county in the seven-county metropolitan (Minneapolis-St. Paul) area to license hazardous waste generators. All hazardous waste generators must be licensed regardless of the quantity produced. Minnesota regulations include all the EPA regulations plus additional limitations, restrictions, and requirements.
References
40 Code of Federal Regulations (CFR) 260 to 270
MR Chapter 7045
MR Chapter 7046
Definitions
°F—Degrees Fahrenheit
EPA—Environmental Protection Agency
Generator—A person or organization that produces hazardous waste. Information concerning the determination of generator status can be found in “Generator Size” below.
MNDOT—Minnesota Department of Transportation
MPCA—Minnesota Pollution Control Agency
NPDES—National Pollution Discharge Elimination System
POTW—Publicly Owned Treatment Works
RCRA Solid Waste—Any unwanted material that is not discharged through exhaust stacks to the atmosphere or municipal sewer. NOTE: Intentionally discharging hazardous wastes to the atmosphere or sewer does not change the material’s hazardous classification and is illegal.
RCRA Hazardous Waste—Any material that poses a threat to human health or the environment. Waste materials are hazardous if they can be placed into one of the categories listed in “Waste Evaluation” below.
RCRA Acutely Hazardous Waste—Hazardous materials that are listed in regulations under 40 CFR 261.33(e).
TCLP—Toxic Characteristic Leaching Procedure; determines the quantity of hazardous material that is leachable.
TDSF—Treatment, Disposal, and Storage Facility
Waste—Unwanted material. Non-hazardous waste typically includes garbage, refuse, etc. The generator of the waste is responsible for determining if waste components are hazardous or non-hazardous. Methods for determining if the waste is hazardous are located in the “Hazardous Waste Classification” section of this program.
Hazardous Waste Compliance Overview
In general, a waste is a hazardous waste if it exhibits one or more of the following characteristics:
Procedure
Waste Evaluation
In order to determine if any hazardous waste is produced, all wastes will need to be inventoried and then evaluated for certain characteristics that make it hazardous. Examples of wastes that may be produced by a facility and should be evaluated include:
Information needed to evaluate a waste can be obtained from the following sources:
Exemptions
Certain wastes are exempted from the hazardous waste rules. Therefore, the first step in evaluating a waste should be to determine if a particular waste is exempt. The following list gives most of the wastes that are exempted from the hazardous waste rules:
For additional details on wastes that are exempted from the hazardous waste rules, see MR 7045.0120. If the waste that is being evaluated is not exempt, then proceed to evaluate the waste for any hazardous characteristics.
Residues in Empty Containers and Empty Inner Liners (MR 7045.0127)
Hazardous wastes remaining in an empty container or empty container liner are exempt from MR parts 7045.102 to 7045.1030 and 7045.1300 to 7045.1380 if the following conditions have been met.
Hazardous Waste Containers
Acutely Hazardous Waste Containers
Empty Compressed Gas Cylinders
Listed Wastes
A waste is a hazardous waste if it is listed under MR 7045.0135 Subparts 2 through 5.
F-listed wastes (subpart 2)
These are wastes that are listed by name from nonspecific sources.
K-listed wastes (subpart 3)
These are wastes from specific sources such as wastewater treatment sludge from wood preserving processes using creosote and/or pentachlorophenol.
P-listed wastes (subpart 4)
This list includes chemicals that are discarded chemical products, off-spec products, spill residues, and materials remaining in containers.
U-listed wastes [subpart 4(F)]
This list includes hazardous wastes from commercial chemical products that are listed alphabetically by chemical name.
PCB wastes (subpart 5)
Wastes containing PCBs at a concentration of 50 ppm or higher are hazardous wastes.
Ignitable Wastes (MR 7045.131 subpart 2)
A waste is an ignitable hazardous waste if a representative sample has any of the following properties:
Oxidizers (MR 7045.131 subpart 3)
A waste is an oxidizing hazardous waste if it exhibits the following properties:
Corrosive Wastes (MR 7045.131 subpart 4)
A waste is a corrosive hazardous waste if a representative sample has any of the following properties:
Reactive Wastes (MR 7045.131 subpart 5)
A waste is a reactive hazardous waste if a representative sample has any of the following properties:
Lethal Wastes (MR 7045.131 subpart 6)
A waste is a lethal hazardous waste if a representative sample causes death to half of the test animals exposed to the following amounts:
A waste is also classified as a lethal hazardous waste if its lethal hazardous waste number is MN01.
Toxic Wastes (MR 7045.131 subpart 7)
A waste is toxic hazardous waste if it releases (leachable) toxic metals, pesticides, or volatile organic chemicals above specified limits as determined by test methods described in 40 CFR 261 appendix II (TCLP) or alternate methods approved by the MPCA.
If the waste material contains any of the contaminants in the TCLP List, the waste is a hazardous waste if:
Used Oil
Used oil is exempt from hazardous waste regulations if it does not contain a listed hazardous waste and if it is recycled or reclaimed in an approved manner.
Used oil filters must be recycled or disposed of as hazardous waste.
Lead-acid Batteries
Used lead-acid batteries are banned from deposit into sanitary landfills and must be recycled. Retailers and wholesalers are required to exchange lead-acid batteries.
Polychlorinated Biphenyls (PCBs)
A waste material containing PCBs at a concentration greater than 50 ppm is a hazardous waste.
Fluorescent and High-intensity Discharge (HID) Lamps
Fluorescent and HID lamps contain small amounts of mercury, lead, and cadmium. Therefore, these lamps must be recycled or disposed of as hazardous waste.
Generator Size (MR 7045.0206)
All hazardous waste generators must determine how much hazardous waste is produced per month. This is usually done by totaling the amount of hazardous waste produced for the year and then dividing by 12. The following wastes should not be used when determining generator size:
Large Quantity Generator (LQG)
A LQG:
Very Small Quantity Generator (VSQG)
Hazardous waste quantity determinations must include the amount of acutely hazardous waste generated.
Generator Requirements
The amount of hazardous waste generated by a facility determines the level of regulation that pertains to the generator. For example, a LQG is required to develop and implement a hazardous waste training program whereas a VSQG is not required to have a training program. However, employees of VSQGs should be familiar with safe hazardous waste handling procedures and spill response.
General Requirements
All generators are required to comply with certain hazardous waste regulations. These requirements are listed as follows:
Generator Identification Number (MR 7045.0221)
All generators must obtain an identification number from the U.S. Environmental Protection Agency. The completed form should be mailed to:
U.S. EPA, Region 5
RCRA Activities
P.O. Box A-3587
Chicago, IL 60604
Generator License (MR 7045.0225)
All generators of hazardous waste must be licensed regardless of the quantity produced. Since the license is only good for one year, it must be renewed annually.
Generators located within the Twin Cities seven-county metro area should obtain the license from their respective county hazardous waste staff. Besides licensing, these county staffs also monitor and regulate hazardous waste generation.
The telephone numbers for the seven-county hazardous waste staffs are provided below:
Anoka County………………………. 422-7064
Carver County……………………… 361-1800
Dakota County……………………… 891-7020
Hennepin County…………………… 348-4919
Ramsey County…………………….. 292-7898
Scott County……………………….. 496-8177
Washington County………………… 430-6655
Generators located in Greater Minnesota (outside the seven-county metro area) must obtain their license from the MPCA. To apply for a license, call the MPCA at (612) 296-6300 or (800) 657-3864.
Hazardous Waste Containers (MR 7045.0626)
Hazardous wastes must be placed in appropriate containers. The containers must meet the following requirements:
Container Marking and Labeling
NOTE: For additional information, see table in 49 CFR 172.101.
Transport Vehicle Placards
The generator is responsible for supplying or assuring that the transporter’s vehicle displays the proper DOT hazard placard. For additional information on DOT labels and placards, contact MNDOT at (612) 296-7109.
Hazardous Waste Storage Area
Hazardous wastes must be stored in designated areas. These storage areas must be designed according to EPA, MPCA, county, and municipal requirements. The EPA and MPCA requirements are listed as follows:
Hazardous Waste Storage Time
The length of time a generator may store hazardous waste is dependent upon the generator’s size as determined by “Generator Size” above. The storage time limitations are provided below:
VSQGs
SQGs
LQGs
Satellite Accumulation
Under certain conditions, a generator may completely fill a container with waste before the storage time limit “start date” begins. The conditions under which satellite accumulation is allowed are:
Exceeding Accumulation Limits
Exceeding accumulation time and quantity limitations will result in losing current status and require licensing at a higher (more restrictive) level.
Transportation and Disposal of Hazardous Waste
Transporting Hazardous Waste
The hazardous waste transporter does not assume ownership of the hazardous waste when it is loaded for shipment. The generator is responsible to make sure the hazardous waste is transported and disposed of properly. To ensure that the waste is handled properly, the generator must choose a transporter that fulfills the requirements listed as follows:
VSQGs
A VSQG may transport its own hazardous waste to a collection site (MR 7045.0320). The collection site must be licensed by the MPCA and the generator must comply with the following requirements:
Treatment, Storage, or Disposal Facilities (TSDF)
The generator of the hazardous waste must ensure that the waste is delivered to a TSDF that meets the following requirements:
The generator should contact the TSDF to ensure that the waste was received and treated and/or disposed of properly.
In addition, the generator should check with regulatory agencies in the TSDF’s state for fines or citations against the TSDF. Information about a Minnesota TSDF can be obtained from the MPCA.
Shipment Manifest
A school or generator who transports or offers for transportation hazardous waste for off-site treatment, storage, or disposal must prepare manifest before transporting the waste off-site. This requirement also includes hazardous waste shipped for recycling or reclamation. The manifest is a shipping form that must be filled out for all off-site shipments of hazardous waste. This document originates with the generator and must accompany the hazardous waste en route to its final destination. The manifest form can be obtained from the state, transportation school, or the TSDF.
The manifest is a one-page form with several carbon copies. Each party handling the waste must sign and keep a copy of the manifest form. The manifest provides a way of “tracking” the waste and ensures that the waste is handled properly. Requirements for preparing a manifest are listed below:
The Minnesota manifest has 8 copies. These copies are to be distributed as follows:
— Copies 1-5 are given to the transporter.
— Copy 6 is sent to the state where the TSDF is located if not in Minnesota.
— Copy 7 is sent to the MPCA within 5 days of shipment.
— Copy 8 is retained by the generator.
— Copy 3 is returned to the generator by the TSDF.
If the generator does not receive a copy back from the TSDF within 35 days, check with the TSDF to check on status of the shipment. If the copy is not received within 45 days, notify the MPCA in writing that the TSDF copy has not been received and what efforts have been made in resolving the issue.
Manifests from Other States
When a generator in Minnesota uses another state’s manifest, the generator must provide the MPCA photocopies of the following manifest copies:
Emergency Planning and Response
The extent to which a generator must comply with emergency planning and response requirements depends upon the generator’s size.
LQGs
Large quantity generators are required to have a written Contingency Plan, formal Emergency Response Plan, and a designated Emergency Response Coordinator. These plans must contain the following elements:
— A copy of the Contingency Plan must be sent to fire and police departments, local hospital, hazmat team, and MPCA.
— The Emergency Response Coordinator must notify the National Response Center, MPCA, and local authorities when the plan has been implemented.
— A copy of the plan must be located on-site for review by personnel at any time.
— The Contingency Plan must be updated when the rules change, the plan fails in an emergency, the Emergency Coordinator changes, the emergency equipment changes, or the facility’s construction, design, operation, or maintenance changes.
— The name and telephone number of the Emergency Coordinator, other emergency numbers, and the location of emergency response equipment must be posted by the telephone located near the hazardous waste storage area.
— The Emergency Response Coordinator must notify the National Response Center (800) 424-8802, Minnesota Duty Officer (612) 649-5451, and local authorities in the event a spill threatens human health or the environment.
SQGs
Small quantity generators are required to have a formal Emergency Response Plan and an Emergency Response Coordinator. The emergency response plan must include the following information:
The following information must be posted next to the telephone on the premises:
VSQGs
Very small quantity generators must comply with the following emergency response requirements.
Very small quantity generators are not required to have an Emergency Response Plan or Emergency Response Coordinator. However, personnel working with hazardous waste should know the proper handling techniques, what personal protection is needed, and the proper response to a spill or other emergency. Telephone numbers of emergency response agencies must be posted.
Contingency Plans
VSQGs are not required to have a designated Emergency Response Coordinator or a formal contingency plan, but are required to have the necessary emergency response equipment, comply with hazardous waste storage requirements, develop accident prevention procedures, and notify local authorities of hazardous waste activities.
Contingency plans are written documents that describe how a facility will respond to an emergency situation. These plans must contain procedures and step-by-step instructions that are designed to protect human health and the environment in the event of an explosion, fire, natural disaster, or spill which may result in releasing hazardous materials and/or waste to the environment.
Contingency plans and Emergency Response Plans are closely related. However, contingency plans address the issues and concerns surrounding hazardous materials or wastes. A contingency plan must contain the following minimum information:
— Instructions to follow in the event an emergency situation involves a hazardous material or waste
— A listing of hazardous materials and wastes and the potential hazards associated with these materials
— Arrangements with emergency response agencies
— Name and telephone numbers of the Emergency Response Coordinator
— Names and telephone numbers of the members of the emergency response team, if applicable
— A list and location of emergency and spill response equipment
— Evacuation plan including methods of notification and escape routes
— Emergency phone numbers and emergency response equipment list and locations must be posted by a telephone(s) that will be used in the event of an emergency
Contingency plans must be submitted to:
Once the contingency plan has been implemented, the Emergency Coordinator must notify the National Response Center, MPCA, and the local authorities listed above.
Hazardous Waste Personnel Training
Training requirements for employees handling hazardous waste vary according to generator size. LQGs’ training requirements are much more comprehensive than the requirements for SQGs and VSQGs.
Training must be documented and the training records kept for five years.
NOTE: Hazardous waste training can be combined with OSHA’s Right-To-Know training if the requirements of MR 7045.0558 are met.
Large Quantity Generators
Small Quantity Generators
Very Small Quantity Generators
Record Keeping
Hazardous waste generators must maintain the records listed below for a minimum of three years. However, since the liability associated with the hazardous waste never ceases, the generator should maintain the following records for an indefinite period of time:
Land Disposal Rules
All hazardous wastes destined for land disposal must be pretreated so that any toxins present in the waste are destroyed or degraded. All generators, transporters, and TSDFs who want to dispose of hazardous waste on or in the land must comply with MR 7045.1300.
Exceptions
Small Quantity Generators
Small quantity generators are required to prepare and submit the same paperwork as the large quantity generators. However, SQGs may use an alternate manifest system as specified in MR 7045.0075 subpart 5.
Very Small Quantity Generators
Very small quantity generators may use an alternate manifest system as specified in MR 7045.0075. Also, a VSQG may transport hazardous waste without a manifest if transportation is in the generator’s vehicle and if the waste is transported to a very small quantity waste collection program under MR 7045.0320.
Annual Reports
All generators must renew their hazardous waste license each year. When the license application is prepared, generators must report on their hazardous waste activities for the past year.
Other Requirements
Fees
The MPCA requires generators to pay annual fees to recover the costs associated with administering the hazardous waste program. The fees are based on the generator’s size, the volume of hazardous waste, and the method of waste management.
Miscellaneous
Forms
In addition to the forms mentioned previously in this regulation, the Hazardous Waste Emergency Response and Contingency Plan consists of the following six forms which must also be completed and kept on file to maintain compliance with this regulation:
| PLAN REVIEW | |
| Reviewer | Date |
| Eileen Carlson | 9/25/2015 |
Contact: Redwood Public Health
FIRST AID/CPR
Introduction
Medical advice and consultation on work-related health matters and first aid services to treat work related injuries must be readily available to employees. In addition, if the workplace contains materials that may be corrosive or injurious to the eyes or the body, a method of quickly drenching or flushing the eyes or body must be provided in the work area. This program assists Franklin Elementary Public School in meeting those requirements.
References
OSHA Subpart K 1910.151
MN OSHA Instruction CPL 2-2.53
Applicability
Do any situations arise that require advice or consultation on matters of workplace health?
Could any situations arise that may result in injuries requiring first aid in the workplace?
Does the workplace contain materials that could injure the eyes or body?
Regulatory Requirements
— Near proximity to the workplace means four to eight minutes. If there is no hospital or clinic within this distance, the employer must designate a first aid provider on site.
— If medical services are available within four to eight minutes, and the employer decides to use these services, a determination must be made as to whether or not a special agreement needs to be made with the medical facility in order to ensure the ready availability of medical personnel.
— First aid training needs to be evaluated in relation to workplace hazards.
— A recommended first aid kit list follows (employer still needs to seek a physician’s opinion). Contact the First Aid program manager, «First_Aid», for kits and replacement supplies
A first aid kit shall contain sufficient quantities of individually sealed packages of at least the following types of items:
| RECOMMENDED FIRST AID KIT CONTENTS | |||
| ITEM | NUMBER OF EMPLOYEES | ||
| 1-50 | 51-100 | 101-200 | |
| Gloves, 4-pack | 1 | 2 | 2 |
| Gauze roller bandage 1” and 2” x 10 yds | 2 | 2 | 2 |
| Gauze compress bandage 3” x 3” individually packaged | 10 | 20 | 30 |
| Adhesive bandages, assorted sizes, individually packaged | 16 | 32 | 64 |
| Adhesive tape rolls | 2 | 2 | 3 |
| Scissors, blunt-nosed | 1 | 1 | 1 |
| Tweezers | 1 | 1 | 1 |
| Packaged antiseptic, aqueous mercury preferred (mercurochrome) | 1 | 1 | 1 |
| Mild soap, capped squeeze bottle | 1 | 1 | 1 |
| Elastic bandage, 4” | 1 | 1 | 1 |
| Resuscitation mouthpiece | 1 | 1 | 1 |
| Eyewash container (sterile) and neutral sterile solution (to wash eyes) | 1 | 1 | 1 |
| Empty plastic bag for application of ice (include “chemical ice” is ice is not available) | 1 | 1 | 1 |
| ABC’s of First Aid (handout on how to construct splint) | 1 | 1 | 1 |
| Bold instructions on how to call 911 | 1 | 1 | 1 |
| Telephone numbers of the Poison Information Center and the consulting health care provider (include coin if pay phone may be used) | 1 | 1 | 1 |
Please Note: This is not an all-inclusive list.
Written Plan
Purpose
The purpose of this plan is to provide fundamental information to enable employees to protect themselves from various hazards and provide basic emergency procedures. Questions regarding this plan should be addressed to the Program Manager.
Elements–First Aid/CPR
NOTE: Rescue breathing and CPR should be performed ONLY by qualified personnel.
There are many situations which occur during the work/school day that could potentially require first aid, including:
Franklin Elementary Public School will notify the parent or guardian of the student, or a designated contact of an employee, whenever there has been an accident, injury, or illness that requires either further medical attention or home rest. Typically, the first aid provider (school nurse/health aide) will make the decision to contact the above-mentioned persons.
There are some basic procedures to follow in each type of emergency situation. These procedures are designed for children and adults. Following are some basic steps to take in different emergency situations.
Procedures (in Alphabetical Order)
Abdominal Pain
Causes
Abdominal pain can be the result of a number of things like menstrual cramps, food poisoning, etc.
Care
Breathing Emergencies and Choking
Detection
Some signs of emergency breathing situations include:
Care
Emergency breathing situations may include victims who are choking, hyperventilating, or unconscious. For choking victims, determine if the victim is able to cough or speak; encourage him/her to continue coughing. If object does not come up, call for emergency medical assistance. Be prepared to initiate rescue breathing and/or CPR (if trained).
Asthma Attack
Blisters and Burns
Care for Blisters
Determining Severity of Burns
First Degree—reddened
Second Degree—blistered
Third Degree—white or charred
Critical burns include those burns:
Care for Mild Burns
Care for Deep or Extensive Burns
Care for Chemical Burns
Care for Electrical Burns
Cuts, Scrapes, and Bruises
Explanation
These types of injuries generally damage the soft tissue of the body. This tissue includes skin, fat, and muscles.
Types of Injuries That Generally Require Stitches
The following injuries generally require stitches:
Care for Bruises
Internal Bleeding
Some closed wounds can be very serious and need immediate medical attention. If a victim is in severe pain or can’t move a body part without hurting, this may indicate a serious wound. While waiting for medical help, watch for signs of shock and keep the victim from getting chilled or overheated.
Care for Minor and Small Scratches
Care for a Major Open Wound
Care for a Major Wound with Minimal Bleeding
Drug-Induced Crisis
Care
Important Points of Emergency Care
Earache
Care
Exposure to the Elements
Heat-related Illnesses
Heat-related illnesses include heat cramps, heat exhaustion, and heat stroke. Heat cramps are painful muscle spasms. Heat cramps are the least severe of these illnesses and should be thought of as warning signs of a possible emergency. Cramps usually occur in the legs and abdomen.
Heat exhaustion is more severe than heat cramps and signs include cool, moist, pale, or flushed skin; headache; nausea; dizziness; weakness; and exhaustion.
Heat stroke is the most uncommon but most severe heat emergency, with signs including hot, dry skin; changes in consciousness; rapid, weak pulse; and rapid, shallow breathing.
Care for Heat-related Illnesses
Cold-related Illnesses
Cold-related illnesses include frostbite and hypothermia. Frostbite can cause the loss of fingers, hands, arms, toes, feet, and legs. Signs of frostbite include lack of feeling in the affected area and skin that appears waxy, is cold to the touch, or is discolored (flushed, white, yellow, or blue).
Care for Frostbite
Care for Hypothermia
To Avoid Heat or Cold Emergencies:
Eye Injuries
Care for Inflamed or Discharging Eyes
Care for Foreign Body Embedded in Lid or Eyeball
Care for Foreign Body on the Eye
Care for Injury to the eyeball (if the eyeball has been cut or injured)
Care for Sties in the Eye
Head and Spine Injuries
Detection
Some signals of head or spine injuries may include:
Care for Spine Injuries
Care for Headaches
Care for Head Injuries–Minor
Care for Head Injuries–Severe or Unconsciousness
Heart Problems
Detection and General Care
The signals of potential heart problems include pain or discomfort in the chest that does not go away (ranging from discomfort to an unbearable crushing sensation), difficulty in breathing, pale skin, and/or sweaty face. Any chest pain that is severe, lasts longer than 10 minutes, or persists even during rest requires medical care at once.
When a victim shows signs of a possible heart attack, the victim should be told to sit down. Try to determine what problems the victim is having. Some victims will have medication and you can assist the person by getting the medicine. It is important to be calm and reassuring to the victim. If the victim is conscious, loosen tight clothing, keep the person quiet (do not allow them to walk), and do not give them liquids.
When the heart stops beating or beats too poorly to circulate blood properly, it is called cardiac arrest. A person in cardiac arrest is unconscious, not breathing, and has no pulse. When this happens, the victim needs cardiopulmonary resuscitation (CPR) immediately. This includes rescue breathing and chest compressions.
Care When the Heart Stops Beating and Breathing and Pulse are Non-Existent
Injuries to Muscles, Bones and Joints
Detection and General Classification
The four basic types of injuries to muscles, bones and joints are:
Signs of these types of injuries may include pain, swollen, red, or bruised skin. The area may be twisted or bent strangely. There may be abnormal lumps, ridges, or hollows. The victim may hear a snap or pop or grating bones. Hands and fingers or feet and toes may feel numb or tingly.
Care for Injuries to Muscles, Bones, and Joints
Care for Sprains and Strains
Nose Injuries
Care for Nosebleeds
Care for foreign body in the nose
Poisoning
Causes
Poisoning can be caused by many items, including foods, alcohol, medications, cleaning products, pesticides, plants, toxic fumes, fertilizers, insects, spiders, ticks, some marine life, snakes, and other animals.
There are four ways in which poisons may enter the body:
Detection
Some signs of poisoning may include:
Care when you suspect someone has swallowed a poison
Care for Insect Bites and Stings
Serious collapse can occur within just five minutes; be prepared.
Care for Food Poisoning, Reactions, or Allergies
Food reactions and allergies usually occur within one hour of eating, and the most common reactions will be respiratory difficulty or hives.
Care for Poison Ivy or Poison Oak
Recognizing Lyme’s Disease
Lyme’s disease is commonly carried by the deer tick, and the risk of contracting the disease is greatest between May and late August. Signs of an infection may appear a few days or weeks after a tick bite. It starts as a rash at the small red area at the site of the bite. It may spread up to 7 inches across. Sometimes the appearance may be like a bulls-eye. In dark-skinned people, the area may look black and blue like a bruise. Other signs include fever, headache, weakness, and joint and muscle pain similar to the pain of flu. In advanced stages, it may cause arthritis, numbness, memory loss, problems in seeing or hearing, high fever and stiff neck.
Care for Ticks
Shock
Detection
Signs of shock include:
Care
Slivers
Care
Sudden Illnesses
Detection
Although there are many types of sudden illnesses, they often have similar signals. Some of these signs include:
Some sudden illnesses may also include:
Care
NOTE: Maximum stay in the health office is one hour unless home contact cannot be made, and no child shall be sent home to be alone unless the legal guardian assumes full responsibility.
Care for Vomiting
Care for Fainting
NOTE: If a person feels faint, have him/her sit and lower head between the knees.
Care for a Diabetic Emergency
Every person with diabetes should be known to nurse, or health service aid, and teacher so that emergency treatment can be carried out.
Care for a Seizure
Tooth Problems
Care for Toothache
Care for an Abscess
Care for a Chip or Fracture
Throat Problems
Care for a Sore Throat
Unconsciousness
Causes
Unconsciousness can be the result of asphyxia, deep shock, poisoning, head injury, heat stroke, heart attack, stroke, epilepsy, and chemical intoxication.
Care for Unconsciousness
| PLAN REVIEW | |
| Reviewer | Date |
| Eileen Carlson | 9/25/2015 |
Contact: Robert Tews, Ron Louisiana
507-557-2251
EMPLOYEE RIGHT-TO-KNOW/HAZARD COMMUNICATION
Purpose
This document serves as a guide the Hazard Communication Program for Franklin Elementary Public School. It provides detailed safety guideline and instructions for receipt, use and storage of chemicals at our facility by employees and contractors. Reference: OSHA Standard 1910.1200.
Responsibilities:
1. Management
2. Shipping & Receiving Manager
3. Purchasing Agent
4. Safety Manager
5. School Nurse
6. Supervisors
7. Employees
8. Contractors
General Program Information
This written Hazard Communication Plan (HAZCOM) has been developed based on OSHA Hazard Communication Standard and consists of the following elements:
Some chemicals are explosive, corrosive, flammable, or toxic. Other chemicals are relatively safe to use and store but may become dangerous when they interact with other substances. To avoid injury and/or property damage, persons who handle chemicals in any area of the School must understand the hazardous properties of the chemicals. Before using a specific chemical, safe handling methods and health hazards must always be reviewed. Supervisors are responsible for ensuring that the equipment needed to work safely with chemicals is accessible and maintained for all employees on all shifts.
Employee Training
2. Job Specific Training
3. Annual Refresher Training
4. Immediate On-the-Spot Training
Non-Routine Tasks
Non-routine tasks are defined as working on, near, or with unlabeled piping, unlabeled containers of an unknown substance, confined space entry where a hazardous substance may be present and/or a one-time task using a hazardous substance differently than intended (example: using a solvent to remove stains from tile floors).
Steps for Non-Routine Tasks
Step 1: Hazard Determination
Step 2: Determine Precautions
Step 3: Specific Training & Documentation
Step 4: Perform Task
The Department Supervisor and ERTK Contact Person will evaluate all non-routine tasks to determine all hazards present. This determination will be conducted with quantitative/qualitative analysis (air sampling, substance identification/analysis, etc., as applicable). Once the hazard determination is made, the Department Supervisor and Safety Department will determine the necessary precautions needed to remove the hazard, change to a non-hazard, or protect from the hazard (use of personal protective equipment) to safeguard the Employees present. In addition, the Department Supervisor or Safety Department will provide specific safety training for Employees present or affected and will document the training using the Chemical Safety Training Checklist form that shall be marked “Non-Routine Task Training”.
Off-site use or transportation of chemicals
An SDS will be provided to employees for each chemical and each occurrence of use or transport away from the school facilities. All State and Federal DOT Regulations will be followed including use of certified containers, labeling & marking, securing of containers and employee training.
General Chemical Safety
Assume all chemicals are hazardous. The number of hazardous chemicals and the number of reactions between them is so large that prior knowledge of all potential hazards cannot be assumed. Use chemicals in as small quantities as possible to minimize exposure and reduce possible harmful effects.
The following general safety rules shall be observed when working with chemicals:
Task Evaluation
Each task that requires the use of chemicals should be evaluated to determine the potential hazards associated with the work. This hazard evaluation must include the chemical or combination of chemicals that will be used in the work, as well as other materials that will be used near the work. If a malfunction during the operation has the potential to cause serious injury or property damage, a Safe Operational Procedure (SOP) should be prepared and followed. Operations must be planned to minimize the generation of hazardous wastes.
Chemical Storage
The separation of chemicals (solids or liquids) during storage is necessary to reduce the possibility of unwanted chemical reactions caused by accidental mixing. Explosives should be stored separately outdoors. Use either distance or barriers (e.g., trays) to isolate chemicals into the following groups:
Lips, strips, or bars are to be installed across the width of storage shelves to restrain the chemicals in case of earthquake.
Chemicals will not be stored in the same refrigerator used for food storage. Refrigerators used for storing chemicals must be appropriately identified by a label on the door.
Container Labels
It is extremely important that all containers of chemicals are properly labeled. This includes every type of container from a 5000-gallon storage tank to a spray bottle of degreaser. The following requirements apply:
Emergencies and Spills
In case of an emergency, implement the proper Emergency Action Plan
Housekeeping
Contractors
All outside contractors working inside School Facilities are required to follow the requirements of this program.
The School will provide Contractors information on:
Definitions
Chemical: Any element, chemical compound or mixture of elements and/or compounds.
Combustible liquid: Means any liquid having a flash point at or above 100 deg. F (37.8 deg. C), but below 200 deg. F (93.3 deg. C), except any mixture having components with flash points of 200 deg. F (93.3 deg. C), or higher, the total volume of which make up 99 percent or more of the total volume of the mixture.
Compressed gas: Any compound that exhibits:
(i) A gas or mixture of gases having, in a container, an absolute pressure exceeding 40 psi at 70 deg.F.
(ii) A gas or mixture of gases having, in a container, an absolute pressure exceeding 104 psi at 130 deg. F. regardless of the pressure at 70 deg. F.
(iii) A liquid having a vapor pressure exceeding 40 psi at 100 deg. F.
Container: Any bag, barrel, bottle, box, can, cylinder, drum, reaction vessel, storage tank, or the like that contains a hazardous chemical. For purposes of this section, pipes or piping systems, and engines, fuel tanks, or other operating systems in a vehicle, are not considered to be containers.
Designated representative: Any individual or organization to whom an employee gives written authorization to exercise such employee’s rights under this section. A recognized or certified collective bargaining agent shall be treated automatically as a designated representative without regard to written employee authorization.
Employee: a worker who may be exposed to hazardous chemicals under normal operating conditions or in foreseeable emergencies. Workers such as office workers or bank tellers who encounter hazardous chemicals only in non-routine, isolated instances are not covered.
Employer: A person engaged in a business where chemicals are either used, distributed, or are produced for use or distribution, including a contractor or subcontractor.
Explosive: A chemical that causes a sudden, almost instantaneous release of pressure, gas, and heat when subjected to sudden shock, pressure, or high temperature.
Exposure or exposed: An employee is subjected in the course of employment to a chemical that is a physical or health hazard, and includes potential (e.g. accidental or possible) exposure. Subjected in terms of health hazards includes any route of entry (e.g. inhalation, ingestion, skin contact or absorption.)
Flammable: A chemical that falls into one of the following categories:
Flash point: The minimum temperature at which a liquid gives off a vapor in sufficient concentration to ignite.
Hazardous chemical: Any chemical that is a physical hazard or a health hazard.
Hazard warning: Any words, pictures, symbols, or combination appearing on a label or other appropriate form of warning which convey the specific physical and health hazard(s), including target organ effects, of the chemical(s) in the container(s). (See the definitions for “physical hazard” and “health hazard” to determine the hazards which must be covered.)
Health hazard: A chemical for which there is evidence that acute or chronic health effects may occur in exposed employees. The term “health hazard” includes chemicals that are carcinogens, toxic or highly toxic agents, reproductive toxins, irritants, corrosives, sensitizers, hepatotoxins, nephrotoxins, and neurotoxins, agents which act on the hematopoietic system and agents which damage the lungs, skin, eyes, or mucous membranes.
Identity: Any chemical or common name that is indicated on the material safety data sheet (SDS) for the chemical. The identity used shall permit cross-references to be made among the required list of hazardous chemicals, the label and the SDS.
Immediate use: The hazardous chemical will be under the control of and used only by the person who transfers it from a labeled container and only within the work shift in which it is transferred.
Label: Any written, printed, or graphic material displayed on or affixed to containers of hazardous chemicals.
Safety data sheet (SDS): Written or printed material concerning a hazardous chemical that is prepared in accordance with OSHA Standard 1910.1200 requirements.
Mixture: Any combination of two or more chemicals if the combination is not, in whole or in part, the result of a chemical reaction.
Oxidizer: Means a chemical other than a blasting agent or explosive as defined in 1910.109(a) that initiates or promotes combustion in other materials, thereby causing fire either of itself or through the release of oxygen or other gases.
Physical hazard: A chemical that it is a combustible liquid, a compressed gas, explosive, flammable, an organic peroxide, an oxidizer, pyrophoric, unstable (reactive) or water-reactive.
Pyrophoric: A chemical that will ignite spontaneously in air at a temperature of 130 deg. F. or below.
Specific chemical identity: The chemical name, Chemical Abstracts Service (CAS) Registry Number, or any other information that reveals the precise chemical designation of the substance.
Unstable (reactive): A chemical that in the pure state, or as produced or transported, will vigorously polymerize, decompose, condense, or will become self-reactive under conditions of shocks, pressure or temperature.
Use: To package, handle, react, emit, extract, generate as a byproduct, or transfer.
Water-reactive: A chemical that reacts with water to release a gas that is either flammable or presents a health hazard.
Work area: A room or defined space in a workplace where hazardous chemicals are produced or used, and where employees are present.
Workplace: An establishment, job site, or project, at one geographical location containing one or more work areas.
SDS Information
Safety Data Sheets are provided by the chemical manufacturer to provide additional information concerning safe use of the product. Each SDS provides:
Information Chemical Users must know
1. Fire and/or Explosion Information
2. Chemical Reaction Information
3. Control Measures
4. Health Hazards
5. Spill & Leak Procedures
Employee Use of SDS
For SDS use to be effective, employees must:
About IPM Integrated Pest Management (IPM) is an … Read More...