Regulatory Comment Letter
Coalition Comments on OSHA Proposed Rule
Regulatory Comment Letter
Coalition Comments on OSHA Proposed Rule
RILA as a member of the Employers Heat Illness Prevention Coalition has submitted comments and testified before OSHA on its proposed Heat Illness Rule. These recent comments reiterate retailers’ key priority namely that OSHA should not set prescriptive, unduly burdensome, one-size fits all heat triggers and instead should propose a rule that is flexible, performance oriented and centered around a job hazard analysis.