SAINT JAMES, NY —
OSHA Inspection: PRC INDUSTRIES, INC.
Complaint inspection · Safety discipline
At a glance
On , OSHA opened a complaint safety inspection of PRC INDUSTRIES, INC. in 500 MIDDLE COUNTRY ROAD, SAINT JAMES, NY 11780 (NAICS 811412). OSHA activity number 340673631.
Where did this inspection happen?
- Establishment
- PRC INDUSTRIES, INC.
- Site address
- 500 MIDDLE COUNTRY ROAD
- City
- SAINT JAMES
- State
- NY
- ZIP
- 11780
- Mailing
- 500 MIDDLE COUNTRY ROAD, SAINT JAMES, NY 11780
What kind of inspection was it?
- Inspection type
- Complaint (B)
- Scope
- Partial (B)
- Discipline
- Safety
- Advance notice
- No
- Union status
- B
When did the case open and close?
- Opened
- Closing conference
- Case closed
- Last modified
- Data loaded
Establishment context
- NAICS code
- 811412
- Employees
- 150
- Ownership type
- A
Citations
4 citations on file for this inspection.
1910.134 K06
- Issued
- Penalty
- Initial $2700.00 · Current $1800.00 Reduced
General-duty citation text
29 CFR 1910.134(k)(6): The employer did not provide the basic advisory information on respirators, as presented in Appendix D of 29 CFR 1910.134, in written or oral format to employees who wear respirators when such use was not required by the employer: a) Client Product Line(s) - The employer fails to protect employees from potential respiratory hazards associated with the use of N95 respirators. Employees are exposed to respirable dust while cleaning items along client production line(s) and voluntarily wear N 95 respirators without the employer having briefed them in accordance with Appendix D of this subpart; on, or about, 06/03/2015. Note: Because abatement of this violation is already documented in the case file, the employer need not submit certification or documentation of abatement for this violation as normally required by CFR 1903.19.
Recent events (2)
- — I (S) $1800
- — Z (S) $2700
1910.242 B
- Issued
- Penalty
- Initial $3600.00 · Current $2400.00 Reduced
General-duty citation text
29 CFR 1910.242(b): Compressed air used for cleaning purposes was not reduced to less than 30 p.s.i.: a) Client Product Line(s) - Each workspace was outfitted with air line(s) and nozzle(s) used for cleaning product. Air pressure exiting each nozzle was approximately 120 psi; on, or about, 06/03/2015. Note: Because abatement of this violation is already documented in the case file, the employer need not submit certification or documentation of abatement for this violation as normally required by CFR 1903.19.
Recent events (2)
- — I (S) $2400
- — Z (S) $3600
1910.1200 E01
- Issued
- Abate by
- Penalty
- Initial $2700.00 · Current $1800.00 Reduced
General-duty citation text
29 CFR 1910.1200(e)(1): Employer had not developed or implemented a written hazard communication program included the requirements outlined in 29 CFR 1910.1200(e)(1)(i) and (e)(1)(ii): a) Operations Area - Paint Area: Employees use hazardous materials, including compressed nitrogen, and paints, solvents, adhesives containing substances such as, but not limited to: DISTILLATES (PETROLEUM); TOLUENE; ACETONE; METHYL ETHYL KETONE and; ISOHEXANE; on, or about, 06/03/2015. Note: Because abatement of this violation is already documented in the case file, the employer need not submit certification or documentation of abatement for this violation as normally required by CFR 1903.19. ABATEMENT NOTE: The written Hazard Communication Program must include descriptions of how the following program elements, required by this regulation, will be developed, implemented, and conveyed to the employer's employee(s) who are exposed to hazardous materials: a. Labeling and other forms or warning: Labels shall include at least the identity of the hazardous chemical(s), the appropriate hazard warnings, the target organs, and the name and address of the chemical manufacturer, importer or other responsible party; b. A list or inventory of all hazardous materials known to be present in the workplace must be compiled and be maintained as part of the employer's written Hazard Communication Program; c. Material Safety Data Sheets (MSDSs) for all materials used by employee(s) in the workplace must be maintained and readily available all employee(s) on all shifts. d. The employer's Hazardous Materials Information and Training Program must be based upon the employer's written Hazard Communication Program. The training for employee(s) must include at least: Methods and observation that may be used to detect the presence or release of hazardous chemicals in the work area. The physical and health hazards of the chemicals in the work area. The measures employee(s) can take to protect themselves, such as, specific procedures, appropriate work practices, emergency procedures, and personal protective equipment to be used. The details of the employer's Hazard Communication Program including an explanation of the labeling systems used, Material Safety Data Sheets and how employees can obtain and use the appropriate hazard information; e. Methods used to inform employees of the hazards associated with non routine tasks must also be addressed in the employer's written program; and f. The employer's written Hazard Communication Program must be made available upon request. For Multi Employer Work places, the employer's Written Hazard Communication Program must also specifically address how: a. Material Safety Data Sheets for each hazardous material on the job site will be provided to other employers in the event the other employer's employee(s) may be exposed to these materials. b. The methods the employer will use to inform other employer(s) of any precautionary measures that need to be taken to protect employee(s) during normal operating conditions and in foreseeable emergencies. c. The methods the employer will use to inform the other employer(s) of the labeling system used in the workplace.
Recent events (2)
- — I (S) $1800
- — Z (S) $2700
1910.1200 H01
- Issued
- Abate by
- Penalty
- Initial $0.00 · Current $0.00
General-duty citation text
29 CFR 1910.1200(h)(1): Employees were not provided effective information and training on hazardous chemicals in their work area at the time of their initial assignment and whenever a new hazard that the employees had not been previously trained about was introduced into their work area: a) Operations Area - Paint Area: Employees use hazardous materials, including compressed nitrogen, and paints, solvents, adhesives containing substances such as, but not limited to: DISTILLATES (PETROLEUM); TOLUENE; ACETONE; METHYL ETHYL KETONE and; ISOHEXANE. Employees used the substances without being provided training; on, or about, 06/03/2015. Note: The employer is required to submit abatement certification for this item in accordance with 29 CFR 1903.19.
Recent events (2)
- — I (S) $0
- — Z (S) $0
More inspections at PRC INDUSTRIES, INC.
HENDERSON, NV—2023-11-07 00:00:00
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WEST CHESTER, OH—2019-03-05 00:00:00
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SPRUCE PINE, NC—2014-02-20 00:00:00
PRC INDUSTRIES, INC.
SPRUCE PINE, NC—2013-09-03 00:00:00
PRC INDUSTRIES, INC.
SPRUCE PINE, NC—2013-07-25 00:00:00
PRC INDUSTRIES, INC.
View PRC INDUSTRIES, INC.'s full OSHA safety record →
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Source
This record is reproduced from the U.S. Department of Labor Open Data API (OSHA inspection dataset). The original IMIS detail view is available at OSHA's Establishment Search for activity number 340673631.