Missed the first session of our Seamlessly Connect Requirements into Your Model-Based Engineering Workflows webinar series? You can still catch up on-demand before the live second session in April. Register now to watch on-demand: https://t.co/NcwfqOYROP
Excited to collaborate with @AccurisCo to integrate regulatory intelligence into EWB and Accuris Thread. A major step toward seamless compliance!
#digitaltransformation#innovation
Standards. Regulations. Now, all in one unified platform.
Accuris is thrilled to partner with Citation Compliance Inc to bring #regulatory content directly into Engineering Workbench and Accuris Thread.
Read more: https://t.co/a3kj9jSJRI
#Compliance#Regulations
Avoid the surveillance chaos! With our compliance solution, you'll never feel like you're being watched by a thousand regulations.
👁️Feel like this person, surrounded by a whirlwind of updates and looming #regulations? Our platform is the clarity in the eye of the storm!
The US EPA proposes revisions to the Toxic Substances Control Act regulations for two chemicals: decabromodiphenyl ether (decaBDE) and phenol, isopropylated phosphate (3:1) (PIP (3:1)). 📷For more details: https://t.co/81J1J60Z96
"As you gather around the Thanksgiving table, trust us with the compliance details. Enjoy the good times, be grateful for safety and well-being, and know regulations are keeping us safe. Happy Thanksgiving, everyone!"
🚫⚡ DANGER ALERT ⚡🚫
A reminder of WHY safety always comes first. An electrician attempted to cut a LIVE wire – and needless to say, it didn't end well.
⚡❌ Always double-check and NEVER take risks when it comes to electricity. Safety first, always! 🚫🔌
#SafetyFirst
The U.S. Pipeline and Hazardous Materials Safety Administration (PHMSA) intends to revise its pipeline safety regulations.
Interested parties may submit comments until 6 November 2023.
https://t.co/BrgIqF6ROT
necessary to the conduct of a CSHO’s physical inspection of the workplace.
The proposed rule appeared in the 8/30/23 Federal Register and the agency offers a 60-day comment period.
There have been lots of changes and proposals by OSHA this summer, here is another...
OSHA is proposing to amend its “Representatives of Employers and Employees” regulation.
https://t.co/ZZXKxS1iJk
Trump administration. #OSHA is also proposing clarifications of the relevant knowledge, skills, or experience with hazards or conditions in the workplace or similar workplaces, or language skills of third-party representative(s) authorized by employees who may be reasonably
🚀 #CompliancePainPoints - Overcoming Challenges for Success! 🚀
It's crucial for individuals and organizations to identify and develop effective strategies to overcome these common compliance pain points in order to drive success! 🔝
#Success#EHS#BusinessChallenges
to mitigate these risks. ⚠️💸🚨 6️⃣ Multiple locations: Ensuring consistent compliance across different locations and teams is a challenge for global companies with diverse EHS requirements. 🌍📍🏢 By acknowledging these challenges and proactively developing solutions,
OSHA is proposing to revise its Personal Protective Equipment (PPE) standard for construction, at 29 CFR 1926.95(c), to explicitly state that PPE must fit properly to protect workers from workplace hazards.
The rule, which appeared in the 7/20/23 Fed. Reg., has a 60-day comment period (by 9/18/23).
https://t.co/cH3kXlKg06
This revision would align the language in the PPE standard for construction with the corresponding language in OSHA’s PPE standards for general industry and