poses a risk to the distributors’ employees. Their coverage, custom name buffalo bills baseball shirt however, is already limited by the sealed container provisions (paragraph ) of the rule to maintaining information received,
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OSHA invited comment on suggestions for dealing with this issue for non-solid drugs. One commenter suggested that each facility should develop an appropriate method for dealing with the issue custom name buffalo bills baseball shirt in conjunction with a training program (Ex. 11-92). The other indicated that dispensed drugs do not need to be labeled (Ex. 11-96). A third suggested that although the commenting organization supported such labeling, it appeared to be more beneficial to the patient than to health care workers (Ex. 11-69). OSHA has decided that the containers of drugs dispensed by a pharmacist to a health care provider to give to a patient will be considered to be exempted under the portable container provisions of the rule.
This exemption has been added to paragraph . Although the employee administering the drugs may not be the person performing the transfer, it appears that the necessary information is readily accessible to them, and that labeling the individual containers is not necessary in this situation. As previously stated in the preamble to the revised final rule, if a product is exempted downstream, a distributor has no responsibility for providing a MSDS on that product to the retail distributor. “In addition, since these products are exempted, employers which package them for retail sale would not have to furnish material safety data sheets to distributors receiving the products.” 52 FR 31862. Several commenters suggested that wholesale distributors be exempted (Ex. 11-39), or that the packaged materials be exempted at the wholesale level as well (Exs. , , ). OSHA disagrees. The large volume of chemicals handled in these types of workplaces, and the fact that they may readily spill or leak,