Action | Amend Definitions of Supervision, SDS Experience and Document Requirements for Installers |
Stage | Fast-Track |
Comment Period | Ended on 11/7/2012 |
I object to the proposed regulation changes be “fast tracked”. They should be reviewed in a public forum.
18VAC 160-20-97C. (5) 3a inserts the term “authorized VDH employee”. These type of general, undefined terms, need to deleted, at the very least the public should be allowed to comment.
I fully agree with previous comments, such as,
(Could these changes be subject to interpretation in the future and applied to field EHS’s under the “supervision” of an “authorized VDH employee”?.)