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The National Fire Protection Association (NFPA) deadline for completing a dust hazard analysis is September 7, 2020. The analysis must be repeated every five years. This is in conjunction with the Combustible Dust National Emphasis Program that was initiated after the Imperial Sugar dust explosion which occurred on February 7, 2008.
There is no OSHA standard for combustible dust but OSHA will be use NFPA 654 in conjunction with the OSHA’s General Duty Clause (GDC) for enforcement. OSHA includes the wholesale recycling industry (NAICS 42393) to be one of the targeted industries in the National Emphasis Program and has conducted 58 comprehensive site inspections at scrap yards between January 1, 2013 and today. The overall compliance rate for those 58 facilities was 16.7%.
The Combustible Dust National Emphasis Program (NEP) began on March 11, 2008 and has been renewed and is still in effect. This means OSHA will focus more of its energy and resources on education and enforcement of standards related to combustible dust. The focus of the NEP is to give instruction to enforcement officers regarding inspection site selection, inspection procedures, and citation guidance. During the emergency phase of the pandemic, all programmed inspections, including Dust NEP inspections are on hold.
A copy of the NEP can be found online.
NFPA guidelines and the OSHA NEP state that a dust layer 1/32 inch thick (about the thickness of a dime) spread over just 5% of the floor area of a facility is sufficient to pose a combustible dust hazard. Dust that settles on rafters and piping above the floor can account for as much as 10% of the floor area of a building. Cleaning these overhead and relatively inaccessible areas can be difficult and even dangerous. Instead of removing accumulations of combustible dust, preventing the escape of fugitive dust from process equipment is the safest, most effective method of reducing the risk of a combustible dust explosion.
According to Jeff Wanko, the EPA subject matter expert on combustible dust who recently spoke at ISRI’s ISEC meeting in June, explosion events have occurred in a wide range of industries and involved many types of combustible dusts, including:
Mr. Wanko also stated:
Combustible dust is a particulate solid, 420 - 500 µm or smaller, that presents a fire or deflagration hazard when suspended in air or oxidizing atmosphere over a range of concentrations, regardless of particle morphology. Approximately 80% of dust events are fires and dust explosions are considered low likelihood/high consequence events with many of the worst events occurring in industries that were not considered at high risk to dust explosions.
In addition to the three parts of the traditional fire triangle (oxygen, heat, & fuel) a dust event also requires confinement and dispersion. A common occurrence in a dust explosion is the presence of a secondary explosion. The first explosion creates the dispersion necessary for a greater, and more catastrophic, secondary explosion.
Example: https://www.youtube.com/watch?v=3d37Ca3E4fA&t=300s
The following questions come from NEP Appendix B as instructions to enforcement officers