Post on 22-Dec-2015
HSE, Health and Safety Law and HSE, Health and Safety Law and Appointed/Approved DoctorsAppointed/Approved Doctors
Dr Nerys Williams
DWP Medical Policy Advisor/
Principal Occupational Health Physician
IOEH Feb 2011
IntroductionIntroduction
Structure and organisation of HSE
Overview of basic principles of UK H&S Law with specific mentions of COSHH, IRR, CAW, CLAW,
DAW Regulations
Recent changes, difference of opinion and new legislation
Appointed doctors (who, what, why)
In 2010……..In 2010…….. 28.5 million working days (equivalent to 1.2 days
per worker) were lost to injury and ill health last year
5.1 million days due to injury 23.4 million days due to ill-health 233,000 People reported being injured at work Over 4,000 died from asbestos related diseases
HSEHSE
Mission “to prevent death injury and ill-health in Great Britain's workplaces”
HSE administers the Health and Safety at Work Act (HASAWA), proposes regulations and approved codes of practice, makes arrangements for research and appoints Advisory committees.
It enforces HASAWA (with local authorities). Also provides policy advice to ministers and conducts licensing and approvals.
HSEHSE
The BIGGER picture : Reports to Secretary of State for Work and Pensions
The Board Consists of 9-12 non-executive directors from
employer, employee, local authority and consumer interests
Has a part-time Chair Gives strategic direction to the HSE Chief Executive
and Senior Management Team Gives advice to ministers
HSEHSE
Strategic direction by HSE board responsible for enforcement, research, publicity and advice divided into directorates including policy, hazardous
installations and communications. It has a research laboratory (HSL). Most enforcement is done by the Field Operations Division (FOD) with separate divisions for some sectors such as nuclear, off-shore, and hazardous installations.
It shares enforcement with local authorities.
Field Operations DirectorateField Operations Directorate
Proactive routine inspection (single/multiple issue)
incident investigation complaint follow up special projects e.g. blitzes
Field Operations DivisionField Operations Division
FOD, the largest operational inspectorate in HSE, covers many employment sectors including construction and agriculture, general manufacturing, engineering, food and drink, quarries, entertainment, education, health services, local and central government and domestic gas safety.
Field Operations DirectorateField Operations Directorate
Action is based on risk and principles of: proportionality consistency transparency targeting
Field Operations DirectorateField Operations Directorate
An inspector’s options: Verbal advice Written advice Improvement notice Prohibition notice (immediate or deferred) Prosecution
Field Operations DirectorateField Operations Directorate
Penalties Fines – up to £20,000 in Magistrates Courts,
unlimited in Crown Court Imprisonment Manslaughter, including corporate manslaughter
(Corporate Homicide in Scotland) – dealt with by Crown Prosecution Service or Procurator Fiscal.
Powers of inspectorsPowers of inspectors
Appointed under HASAWA ( Section 19) Can only exercise powers in their area of responsibility (cf
LA) and use powers only for the purposes of the Act Must be appointed in writing and be suitably qualified Can enter and take a constable or authorised person Examine and investigate Require discovery of books and documents Measure and sample Leave undisturbed, take possession and dismantle Require a signed statement of truth
FOD arrangementsFOD arrangements
It has seven geographical divisions
Each FOD division typically has: operational groups, each with teams of inspectors carrying out
inspection and enforcement work; A sector group with the national lead for one or more industries, eg
construction, agriculture and wood; access to a specialist group of engineers, scientists, medical inspectors
and occupational hygiene inspectors providing expertise for the operational and sector work; and
Other staff who act as Workplace Contact Officers, deal with complaints and undertake publicity and promotional work
EMASEMAS
Employment Medical Advisory Service set up by HASAWA (Sections 55-60) legal duties to advise on gaining and retaining
employment run appointed doctor and appeal systems advise, inspect, investigate, research and enforce same powers as regulatory inspectors
EMASEMASEMAS staff provide an expert, independent and consistent service to a wide range
of people and organisations by: ● investigating complaints and concerns of ill health raised by employers,
employees, trade unions, members of the public and other health care professionals;
● investigating ill health reports received from employers under the Reporting of Injuries Diseases and Dangerous Occurrences Regulations 1995 (RIDDOR);
● helping other HSE inspectors and local authorities to make sure that people comply
with health and safety law. This is an important part of its statutory duties; ● providing advice at the workplace to employers, employees and trade
unions; ● providing expert advice to other doctors and nurses, in general health care
and occupational health; and ● providing support for HSE’s occupational health campaigns.
EMASEMAS
Now medical and occupational health inspectors Part of Corporate Medical Unit New types of work – national inspection programmes e.g.
animal allergy, stress in social workers, MSD in printers Investigation of RIDDOR reports of disease Expert witness in Court Networking with key stakeholders and academic
department Specific portfolios both sector and topic – opportunity to
develop expertise
HSE StrategyHSE Strategy
In 2009 the HSE published a strategy The Health and Safety of Great Britain which outlined its vision for dealing with health and safety and emphasised a number of key points including
the need for strong leadership and partnership working, that the control of risks lies with those that create the risks, that health is just as important as safety, that worker involvement was essential and that the emphasis must be on real risk.
HSE Strategy – reasons for itHSE Strategy – reasons for it
The need for renewed momentum to improve health and safety performance. The need to respond to a wide range of risks – from more small businesses,
from new sectors and new technologies, as well as traditional industries and long-standing risks.
The need to find new ways of engaging workforces in all workplaces of all shapes and sizes, using the knowledge we have gained from the past that properly involved unionised safety representatives achieved better health
The need for leaders who are committed to promulgating a common-sense, practical approach to health and safety in their own organisations and throughout the supply chains they work with, motivated by the real business benefits, not exemption from regulatory scrutiny.
The need to regain the value of the brand for what is real health and safety and challenge its devaluation as a synonym for unnecessary bureaucracy and an excuse for not doing things.
Strategy - AimsStrategy - Aims
The goals set out in the strategy have four clear objectives: to reduce the number of work-related fatalities, injuries
and cases of ill health; to gain widespread commitment and recognition of what
real health and safety is about; to motivate all those in the health and safety system as to
how they can contribute to an improved health and safety performance;
to ensure that those who fail in their health and safety duties are held to account.
Strategy – goals - 1Strategy – goals - 1
To investigate work-related accidents and ill health and take enforcement action to prevent harm and secure justice when appropriate.
To encourage strong leadership in championing the importance of, and a common-sense approach to, health and safety in the workplace.
To motivate focus on the core aims of health and safety and, by doing so, to help risk makers and managers distinguish between real health and safety issues and trivial or ill-informed criticism.
To encourage an increase in competence, which will enable greater ownership and profiling of risk, thereby promoting sensible and proportionate risk management.
Strategy – Goals - 2Strategy – Goals - 2
To reinforce the promotion of worker involvement and consultation in health and safety matters throughout unionised and non-unionised workplaces of all sizes.
To specifically target key health issues and to identify and work with those bodies best placed to bring about a reduction in the incidence rate and number of cases of work-related ill health.
To set priorities and, within those priorities, to identify which activities, their length and scale, deliver a significant reduction in the rate and number of deaths and accidents.
To adapt and customise approaches to help the increasing numbers of SMEs in different sectors comply with their health and safety obligations.
Strategy – Goals - 3Strategy – Goals - 3
To reduce the likelihood of low frequency, high impact catastrophic incidents while ensuring that Great Britain maintains its capabilities in those industries strategically important to the country’s economy and social infrastructure.
To take account of wider issues that impact on health and safety as part of the continuing drive to improve Great Britain’s health and safety performance
Occupational Health and Safety LawOccupational Health and Safety Law
General philosophy “Duty holders” responsibility Co-operation and consent Goal setting not prescriptive Concept of SFAIRP
SFAIRPSFAIRP
“so far as is reasonably practicable” legal term widely used in GB H&S law aims to ensure control measures giving most risk
reduction are taken but at a cost which is not grossly disproportionate to the benefit achieved.
Legal dutyLegal duty
SRAIRP can be complied with by meeting : Relevant good practice or otherwise reduce risks ALARP (as low as
reasonably practicable) * (campbell-fitzpatrick case)
“Relevant good practice ? “ based on technical feasibility, balance of costs and
benefits, societal concerns, acceptable residual risk
H&S Law CoverageH&S Law Coverage
HASAWA 1974 places duties on : employers employees self employed manufacturers others (covers the public where work activities
affect them)
Acts, Regulations, Approved Codes Acts, Regulations, Approved Codes of Practice and Guidanceof Practice and Guidance
Act is the law (umbrella) Regulations are laws, usually made under HASAWA
Usually goal setting, though sometimes have an absolute requirement. They implement EU directives.
ACOPs are practical e.g.s of good practice and provide advice on how to comply (e.g. on what is reasonably practicable). Special legal status. Burden of proof on duty holder.
Guidance interprets the law, helps people comply, gives technical advice but is not compulsory.
LawLaw
Criminal versus Civil HASAWA is criminal law so no insurance against
prosecution. Main duty is on the creator of the risk – usually
the employer
HASAWA etc 1974HASAWA etc 1974
Section 2 duties of employers Section 2(1) “to ensure, so far as is reasonably
practicable, the health, safety and welfare at work of all of his employees”
Section 2(3) 5 or more employees
H&S policy statement detailing organisation and arrangements for carrying it out. Brought to notice of employees (usually by poster)
HASAWA etc 1974HASAWA etc 1974
Section 3 “ persons not in his employ… not exposed to risks to their health or safety”Section 6 manufacturers, suppliersSection 7 duties of employees to look after themselves and others acts and omissions co –operate with the employer as necessary
Section 8 interference and misuse of anything provided in the interests of health,safety or welfareSection 9 duty not to charge
HASAWA etc 1974HASAWA etc 1974
Section 36 offences due to the fault of others. No need to prosecute employer
Section 37 offences by the body corporate – consent or connivance or neglect of a director, manager etc e.g. Harvestime Bakery. Implicit prosecution of company
Management of Health and Safety at Management of Health and Safety at Work Regulations 1999Work Regulations 1999
Management Regs are probably the most influential of the regulations. They provide that an employer does the following:
Make suitable and sufficient assessment of risks to the health and safety of the employees.
Take suitable protective and preventative measures to reduce those risks.
Employ competent individuals to assist in the assessment and reduction of risks in the workplace.
Provide health surveillance appropriate to the risks in the workplace.
Control of Substances Hazardous to Control of Substances Hazardous to HealthHealth
COSHH is the law that requires employers to control substances that are hazardous to health and to prevent or reduce workers' exposure to hazardous substances by:
finding out what the health hazards are; deciding how to prevent harm to health through risk assessment; providing control measures to reduce harm to health; making sure they are used; keeping all control measures in good working order; providing information, instruction and training for employees and
others; providing monitoring and health surveillance in appropriate cases; planning for emergencies.
Other main regs under HASAWA Other main regs under HASAWA
19741974 - 1 - 1 Workplace (Health, Safety and Welfare) Regulations 1992: cover a
wide range of basic health, safety and welfare issues such as ventilation, heating, lighting, workstations, seating and welfare facilities.
Health and Safety (Display Screen Equipment) Regulations 1992: set out requirements for work with Visual Display Units (VDUs).
Personal Protective Equipment at Work Regulations 1992: require employers to provide appropriate protective clothing and equipment for their employees.
Provision and Use of Work Equipment Regulations 1998: require that equipment provided for use at work, including machinery, is safe.
Manual Handling Operations Regulations 1992: cover the moving of objects by hand or bodily force.
Other main regs under HASAWA Other main regs under HASAWA
19741974 - 2 - 2 Safety representatives and Safety Committees Regulations 1977:
Require employers to consult with employees or safety representatives.
Health and Safety (First Aid) Regulations 1981: cover requirements for first aid.
The Health and Safety Information for Employees Regulations 1989: require employers to display a poster telling employees what they need to know about health and safety.
Reporting of Injuries, Diseases and Dangerous Occurrences Regulations 1995 (RIDDOR): require employers to notify certain occupational injuries, diseases and dangerous events.
Health surveillanceHealth surveillance
Under which regulations is health surveillance a legal requirement ?
Health SurveillanceHealth Surveillance
Health surveillance is indicated : COSHH Schedule 6 substances and processes
Reg 11 when indicated and criteria met
performed by responsible person, nurse or doctor
Aim: to provide information on the control of residual risk through examination, BM, BEM, enquiry/inspection, periodic review of records
Feedback to company and records essential
Health SurveillanceHealth Surveillance
Plus Reg 6 of Management Regs health surveillance for physical hazards such as noise and
vibration ( whole body and hand arm) was a requirement pre-2006
Now implementation of the EU physical agents directive (see later)
Other law relevant to OHOther law relevant to OH
Employers Liability (Compulsory Insurance) Act 1969
Equalities Act 2010 Employment Rights Act 1996 Human Rights Act 1998 Access to Medical Reports Act 1988 Access to Medical Records Act 1990 (then Data
Protection Act 1998)
““NEW” LEGISLATIONNEW” LEGISLATION
Physical agents directiveNoiseHAVSWhole Body Vibration
Physical Agents Physical Agents
NoiseNAW effected 1/1/1980
EC 86/188/EEC – which came into effect in 2006
Before:
1st action level 85 dB(A)
2nd action level 90 dB(A)
peak sound pressure 200 pascals
Since 2006:
1st action level 80dB(A)
(peak value 112 pascals)
2nd action level 85 dB(A)
(peak level of 140 pascals)
Limit value 87 dB(A) and 200 pascals
( takes into account hearing protection)
Physical AgentsPhysical Agents
VibrationCurrent situation – no
specific regs but covered by MHSW regs
EC directive Before:Action level of 2.8 m/s2
(HS(G)88)3 directions but magnitude
from dominant direction
Now: Exposure action value
(EAV) 2.5 m/s2 Exposure limit value
(ELV) 5 m/s2. Total vibration value –
m/ment in 3 directions Current action level of
2.8= about 4 m/s2 (total vibration value TVV)
Changes to exposure standardsChanges to exposure standards
First there were:
Occupational exposure levels– OES (occupational
exposure standard)– MEL (maximum
exposure standard)
Now there are :
Workplace exposure limits (WELs)
Apply 8 principles of good practice for control of substances
Ensure the WEL is not exceeded
Ensure that substances that cause cancer, asthma, genotoxic is reduced ALARP
Appointed and Approved DoctorsAppointed and Approved Doctors
Appointed by HSE ( SMI) to undertake statutory medical examinations under specific regs for specific companies.
Approved to undertake medical examinations of divers for the divers ( not the companies/employers)
Appointed with certificate Up to 5 years Subject to satisfactory performance ( admin and technical
knowledge of regs) No employer, no appointment
Appointed DoctorsAppointed Doctors
Application ( MS38A and MS38B). DOM = basic requirement.
Visit to ensure competence and understanding of the role and requirements
Responsibility by SMI for App Dr with support with manual, telephone advice
Fees at discretion of doctor Duties to employee, employer and EMAS/HSE. Right of
access to employees for medicals in work time CLAW visits to workplace essential, for all regs an
understanding of work processes very important
Appointed DoctorsAppointed Doctors
May advise suspension ( CLAW or IRR) Must advise of right of appeal Has right to be paid for service Must maintain currency and attend updates as
advised. ( for IR needs to have attended one day course
before appointment)
Approved DoctorsApproved Doctors
Approved under DAW regs 1987 Must have attended basic course (4 days) 2 days in 5 years for update Equipment must be calibrated/serviced Doctor must be prepared to complete documentation and
issue diver with certificate to dive. Prefer doctors who dive Applications via Mrs Barbara Bell, HSE Glasgow
Sources of Information Sources of Information ( on areas not covered)( on areas not covered)
L5 COSHH ACOP and COSHH indg136.pdf HSG 97 Step by step guide to COSHH assessment HSG110 7 steps to successful substitution of hazardous substances HSG 37 introduction to local exhaust ventilation HSG53 selection, use and maintenance of respiratory protective
equipment HSG54 maintenance, examination and testing of local exhaust
ventilation EH40 Occupational exposure limits ( updated annually )
All these can be downloaded from HSE website
Sources of informationSources of information
HSE info line 0845 345 0055 HSE Books 01787881165 Incident Contact centre (info on RIDDOR reportable
conditions) 0845 300 9923 HSE web page www.hse.gov.uk for information searches
and copies of all regulations, guidance and codes of practice
http://www.hpa.org.uk - general information various health issues including radiation
www.hmso.gov.uk for statutory instruments
THE ENDTHE END
Thank you