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| Plan B
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The deadline for having a Safety and Environmental Management Systems (SEMS)
program in place is November 15th 2011.
By now all 3000+ facilities operating on the U.S. Outer Continental
Shelf (OCS) should have a complete SEMS program in place. |
The reality is, of course, that many facilities will not have all 13 elements of
SEMS fully up to date and ready to be audited. And some companies will have
serious catch-up work to do. To help those companies we have written this ebook
to help you prioritize your SEMS work using various approaches,
including one that is risk-based.
By following a program such as this, a company is audited they will be able to show that they
were addressing the requirements of SEMS in a professional and defensible manner.
Publishing and Purchasing Details
Table of Contents
-
Introduction
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Time Required
- Precedents
- Types of Operator
- High Activity Companies
- Moderate Activity Companies
- Low Activity Companies
- Companies Already “In Compliance”
- Contractors
- The
Regulatory Agencies
- Minerals Management Service (MMS)
- Bureau of Ocean Energy Management, Regulation
and Enforcement (BOEMRE)
- Bureau of Safety and Environmental
Enforcement (BSEE) Compliance
- INCs
- SEMS Rule
- Audit-Based
- The MMS
“Top Four”
- Risk and Experience-Based
- Update Safety-Critical
Documentation
- MOC System
- Major Hazards Analysis
- Other
Elements
- Risk/Consequence Analysis
- Training
- Conclusions
- Blog
- Citations
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