ARTBA sent a letter to the Assistant Secretary of Labor at the U.S. Occupational Safety and Health Administration (OSHA) requesting the agency rescind a proposed rule that would expand eligibility of those who could accompany jobsite inspectors as part of the Worker Walkaround Representative Designation Process. The association stated OSHA’s proposed revision is not needed and does not help enhance workplace safety becuase:

  • OSHA must retain language that demonstrates the purpose for having the third party on site.
  • OSHA must retain defined parameters for third parties that are granted access to jobsites.
  • Third parties with inadequate expertise can endanger a jobsite.

Related Resources

Coalition Comments on EPA’s Draft Meaningful Involvement in Rulemaking Policy

ARTBA and its coalition partners sent a letter encouraging the Environmental Protection Agency (EPA) to actively engage trade associations in the rulemaking process.

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Coalition Comments on White House Office of Science and Technology Policy Environmental Justice Notice

ARTBA and its coalition partners sent a letter to the White House Office…

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Coalition Comments on EPA’s Draft Guidance for Clean Water Act Section 402 Permits

ARTBA and its coalition partners filed comments regarding the Environmental Protections Agency’s (EPA) draft guidance on application of the Supreme Court’s decision in County of Maui v. Hawaii Wildlife Fund.

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