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U.S. Department of Labor | ![]() | ||||
Occupational Safety & Health Administration |
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Standard Interpretations 05/21/1992 - Riding manually propelled mobile scaffolds at construction sites. |
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• Standard Number: | 1926.452(w) |
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May 21, 1992 Dr. Richard F. Andree, CSP, P.E., Ph.D. Dear Dr. Andree: This is in response to your April 20 letter to Acting Assistant Secretary Dorothy Strunk requesting an interpretation of the Occupational Safety and Health Administration (OSHA) regulations addressing the riding of manually propelled mobile scaffolds at construction sites. You are correct in noting that 29 CFR [1926.452(w)(6)] does not specify
how a mobile scaffold is to be moved when there is a worker on the
scaffold. Such language is unnecessary because of the requirements in
other provisions such as [1926.452(w)(2)] which states: For one-person operations, these rules require the user to climb down and up between moves. However, as [1926.452(w)(6)(ii)] and the 1982 American National Standards Institute recommended standard A10.8 indicate, only scaffolds with a two to one or less height to base width ratio should be ridden by employees. Therefore, the effort to climb up and down is minimal. If such climbing proves to be an "inefficient use of time" then a co-worker could be used to propel the scaffold. If you require further assistance, please contact Mr. Roy F. Gurnham of Mr. Dale Cavanaugh of my staff in the Office of Construction and Maritime Compliance Assistance at (202) 523- 8136. Sincerely, |
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