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U.S. Department of Labor | ![]() | ||||
Occupational Safety & Health Administration |
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Standard Interpretations 08/01/2000 - Scissor lifts are not aerial lifts, are considered scaffolds. |
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• Standard Number: | 1926.451; 1926.453 |
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August 1, 2000 W. Shaun Rainey RE: Subpart "L" - Scissor Lifts Dear Mr. Rainey: This is in response to you September 1, 1999, letter in which you ask several questions relating to how the requirements in 29 CFR 1926 Subpart L (Scaffolds Used in Construction) apply to scissor lifts with platforms that can extend beyond the equipment's wheelbase, specifically with respect to fall protection. We apologize for the lateness of this response. Question (1): What standards cover scissor lifts that have extendable platforms? Answer Scissor lifts, including those with platforms that extend beyond the equipment's wheelbase, do not fall within any of these categories. Therefore, scissor lifts are not addressed by the aerial lift provisions of Subpart L. While there are no OSHA provisions that specifically address scissor lifts, they do meet the definition of a scaffold (§1926.451 - general requirements for scaffolds). Employers must therefore comply with the other applicable provisions of Subpart L when using scissor lifts. For example, since scissor lifts are mobile, the specific requirements for mobile scaffolds in the scaffold standard (§1926.452 (w) - mobile scaffolds) must be met. NOTE: On January 7, 1997, OSHA issued a Directive (CPL 2-1.23) titled "Inspection procedures for Enforcing Subpart L, Scaffolds Used in Construction - 29 CFR 1926.450-454." In that directive, OSHA erroneously stated that "scissor lifts are addressed by §1926.453." This letter revokes and supercedes that statement; we are in the process of marking the 1997 directive that is on the Internet accordingly. Question (2): Are employees required to be tied-off when working on a guardrail-equipped scissor lift platform that extends beyond the wheelbase of the lift? Answer If you require any further assistance, please do not hesitate to contact us again by writing to: Directorate of Construction - OSHA Office of Construction Standard and Compliance Assistance, Room N3468, 200 Constitution Avenue N.W., Washington D.C. 20210. Sincerely, Russell B. Swanson, Director |
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