180 likes | 311 Vues
Energy Division’s Proposed Policy on Targeting and Prioritisation. WIG Conference 18 September 2013 Susan Mackenzie [2013/326517]. HSE’s Intervention Policy. Enforcement Policy Statement Targeting, Proportionality, Consistency, Transparency , Accountability HID guiding principle (2012)
E N D
Energy Division’s Proposed Policy on Targeting and Prioritisation WIG Conference 18 September 2013 Susan Mackenzie [2013/326517]
HSE’s Intervention Policy • Enforcement Policy Statement • Targeting, Proportionality, Consistency, Transparency, Accountability • HID guiding principle (2012) • Major hazard intervention programme should be based on a systematic approach based on • inherent hazard and • performance of duty holder in controlling risk
Major Hazard Sites in UK 288 operational installations + 800 “COMAH” Sites 500 Biohazard Laboratories 500 Licensed Explosive Sites 300 Major Hazard Pipelines 50 Gas Distribution Networks 6 Major Hazard Mines
Inherent Hazard Model Offshore Offshore Working Group (March 2013) Principles • Broad classification • Information readily available • Preferably based on industry’s own information • Major hazard focussed
Broad Classifications on Inherent Hazard • High • Medium • Low • Pictorial view • Not based on a mathematical algorithm • Will require some professional judgement
Operator Performance • Operator’s performance in complying with the law to control Major Hazard risk will influence the depth and frequency of regulatory scrutiny. • Operator Performance against single inspection topics • Strategic areas • Key risk control systems • Based on standards
Inspection guides • Cover strategic and sector topics • Define what we look at • The standard/benchmark against we rate performance • Performance score • Enforcement expectations • How we record (COIN requirements)
Overall Operator Performance • Work in progress across HID • Individual scores of 30-60 are compliance gaps • Do not intend to “average” out compliance gaps. • A full picture of performance will be built up over a number of years • We will continue to feedback performance at each inspection in usual way
Other intelligence may include [Nothing New] • Time since last inspection • Issues arising out of other regulatory contact such as • safety case assessment • incident investigations • complaints • Incident data • Emerging issues