![]() Section 1926.452(w)(2) requires the casters and wheels to be locked when in use. We apologize for the delay in this response.īaker scaffolds, sometimes referred to as Perry scaffolds, are covered by the mobile scaffold section of subpart L. In the Holman letter, we stated: Your questions related specifically to Baker style scaffolds and whether a person could move and work from this type of scaffold without dismounting, with the casters in the unlocked position. In your April 8 letter and telephone conversations with my staff, you have submitted court documents and have described two accidents that you assert are illustrative of your assertion. Specifically, you assert that the guidance we provided in the letter is contrary to the manufacturers' instructions on their use and is not safe. The type of scaffold in question is commonly referred to as a "Perry" or "Baker" scaffold. This issue was addressed in OSHA's letter to Mr. Question: The issue you raise concerns an OSHA interpretation letter regarding whether OSHA construction standards allow employees to stay on a certain type of scaffold with the casters in the unlocked position. We apologize for the delay in responding to your request. ![]() This is in response to your December 26, 2001, and April 8, 2002, letters addressed to the Occupational Safety and Health Administration (OSHA) and a subsequent phone conversation with a member of my staff, Mr.
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