U.S. Department of Labor | ||||||
Occupational Safety & Health Administration |
Standard Interpretations
03/13/1990 - Clarification explaining that chest X-rays be retained in their original form. |
Standard Interpretations - Table of Contents |
Standard Number: | 1910.1020(c)(6)(i)(B); 1910.1020(d)(2) |
March 13, 1990 Ruth Michaels, Director Quality Assistance Risk Management Phelps Memorial Hospital Center North Tarrytown, New York 10591 Dear Ms. Michaels: This is in response to your February 1 letter addressed to the former Director of the [Directorate of Enforcement Programs], Thomas J. Shepich. You requested clarification of the Occupational Safety and Health Administration's (OSHA) requirement that chest x-rays of employees be retained. The definition of "employee" covered by this standard specifies workers whose occupation includes exposure to toxic substances or harmful physical agents (paragraph 1910.1020(c)(4)). Thus employees who have no hazardous exposures, such as clerical staff in some circumstances, are not covered under the scope of this standard. Their medical records are, therefore, also not covered. 29 CFR 1910.1020 ("Access to Employee Exposure and Medical Records") was revised on September 29, 1988. The previous final rule included all employee x-rays in the definition of employee medical records, regardless of the purpose for which they were taken. The new rule modifies this requirement by considering only those x-rays taken for purposes of establishing a baseline or determining specific occupational illness as part of the medical record (paragraph 1910.1020(c)(6)(i)(B)). This revision removes from coverage x-rays taken to detect or treat broken bones due to falls or other traumatic occurrences. [Paragraph 1910.1020(d)(2)] allows an employer to preserve the records in any form, manner, or process he or she chooses as long as the information contained in the record is preserved and retrievable. Chest x-ray films, however, are exempted from this section and must be preserved in their original form and may not be microfilmed. I hope this information is helpful to you. If I can be of further service please contact me. Sincerely, Patricia K. Clark, Director Designate [Directorate of Enforcement Programs] February 1, 1990 Mr. Thomas J. Shepich Director [Directorate of Enforcement Programs] Assistant Secretary for Occupational Safety and Health U.S. Dept. of Labor - OSHA 200 Constitution Ave. NW Washington, D.C. 20210 Re: HCS, 29 CFR 1910.1020 - X-ray Film Retention Dear Mr. Shepich, Request clarification of the required retention of chest X-ray films of employees as it relates to the above captioned standard. It is understood that X-rays done for other reasons not associated with hazardous material exposure need not be retained. Are all hospital employee chest X-rays required to be retained in their original state for the duration of their employment plus 30 years. Is there any latitude in the standard which allows microfilming of chest X-rays, or maintaining chest X-rays of those employees who have limited material exposure i.e.: clerical staff. A response is appreciated. Sincerely, Ruth Michaels, Director Quality Assurance Risk Management [Corrected 05/28/2004] |
Standard Interpretations - Table of Contents |
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