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Signed: ........................................................ 30 September 1997 A.M. Riyamy, TSEM Corporate Functional Discipline Head Safety and Environment
Keywords: Hazard, Risk, Contract Management Plan, HSE Assessment, HSE Specification, Hazard and Effects, HEMP This document is the property of Petroleum Development Oman, LLC. Neither the whole nor any part of this document may be disclosed to others or reproduced, stored in a retrieval system, or transmitted in any form by any means (electronic, mechanical, reprographic recording or otherwise) without prior written consent of the owner.
CONTENTS
1 INTRODUCTION.........................................................................................................................................2
1.1 Background.....................................................................................................................................................................................2 1.2 Purpose.............................................................................................................................................................................................2 1.3 Distribution / Target Audience....................................................................................................................................................3 1.4 Document Structure......................................................................................................................................................................3
3 APPENDICES..............................................................................................................................................12
Appendix I Appendix II Appendix III Appendix IV Appendix V Appendix VI Appendix VII Appendix VII Revision History
Glossary of Terms, Definitions, Abbreviations Checklist for HEMP in the CMP HEMP in detail Managing HSE Risk Generic Hazard Listing HSE Cases currently active in PDO Templates for recording Hazards and Effects User Feedback Sheet
Revision number 0 1
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1 Introduction
1.1 Background
This document has developed from SRD/G/03 Guidelines for Hazard Management. The revision was required to reflect: change from Safety Management Systems (SMS) to Health, Safety and Environment Management Systems (HSE-MS); introduction of the Hazard and Effects Management Process (previously, the Hazard Management Process had been described) in to the HSE-MS; increased emphasis on risk management within HSE-MS; progression of Company Safety Cases to HSE Cases describing only major hazards; introduction of EP 95-0000 series of documents which reflect best practice in HSE management; introduction of the Corporate Management Framework (CMF); introduction of a new document hierarchy into PDO.
1.2 Purpose
This guideline supports the procedure 'HSE Management of Contracts' HSE/97/02. It has been produced to record best practice and to give help and assistance on how the requirements of the procedure can be achieved. The guideline contain no mandatory requirements. This guideline: describes the Hazard and Effects Management Process (HEMP); recommends when and how it is best practice to apply HEMP, related to the Contract Management Plan (CMP); describes the HSE Risk Matrix and expands upon best practice for managing HSE risk; recommends when and how to use the HSE Case for managing risk in contracted activities; directs the reader to further information on structured tools for use in HEMP; provides a listing of some generic hazards to aid application of HEMP.
This guideline provides general guidance for all contracted activity within PDOs operations. Because of this not all of the issues covered will be relevant for all contracts. Users should select those issues which are most appropriate to their needs and which are most relevant to their particular contract. The guidelines can not be definitive; the omission of an issue from a guideline should not be taken to imply that the issue is unimportant and can be neglected. The guidance follows the chronological sequence of events in the Contract Management Plan. In particular it refers to: Contract Strategy; Contract Scope definition; HSE Assessment; HSE Specification; Preliminary Contract HSE Plan; HSE Performance Reports.
The HSE Management of Contracts Flowchart from HSE/97/02 is repeated in Figure 1 with those areas that this document provides guidance upon, highlighted in red.
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Establish: Contract strategy Contract Scope & Schedule HSE Assessment & HSE Specification Pre-qualify Contractors (if required) PLANNING AND INVITATION TO TENDER
TENDER PERIOD
Review tender
CONTRACT AWARD
MOBILISATION
EXECUTION
Maintain same level of vigilance as during execution Feedback to Work Category Custodian for update of register and future pre-qualification
DE-MOBILISATION
CLOSE-OUT
Guideline
Appendice s
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Reference documents used in the writing of this document and to be consulted if more information is required are listed below. SIEP EP 95-0000 series HSE Management Systems Management of Contractor HSE Competence Assurance for HSE Critical Activities Overview Hazard and Effects Management Process Implementing and documenting an HSE Management System and HSE Cases Guide to Occupational health and safety management systems Guidelines for the Development and Application of Health, Safety and Environmental Management Systems Risk Assessment Matrix EP 95-0100 EP 95-0110 EP 95-0120 EP 95-0300 EP 95-0310 BS 8800 6.36/210 March 1996
British Standards Institute E&P Forum Shell Health, Safety and Environment Committee
Definition of HEMP The Hazards and Effects Management Process (HEMP) is defined as;"The structured hazard analysis
methodology involving hazard identification, assessment, control and recovery and comparison with screening and performance criteria." (Source EP 95-0300).
2.3.1
Objective of HEMP
To provide a structured approach towards the analysis of hazards throughout the life cycle of an asset. This is achieved through use of structured tools and techniques that allow hazards to be identified, assessed, and when fully understood in both situation and context, to be controlled and if necessary recovered from if control is lost.
2.3.2
HEMP should always be applied at the following times: At the start of each life cycle phase for an asset; Prior to any major change (structural, operational, or maintenance) to an asset; Prior to the execution of an activity; Prior to the introduction of a new hazard to the operation; Prior to the start of any contracted operation.
Further triggers for the application of HEMP should be when: hazards appear to pose a significant threat or; established controls are known to be inadequate to meet standards or; continuous improvement in HSE performance is required.
In relation to HSE Management of Contracts, when to use HEMP is described in detail in section 2.4. Demonstration of HEMP in its most complex form is an HSE Case. This is required only when the risks from the hazard are assessed as being extreme. For all other levels of risk, HEMP is demonstrated through application of procedures, checklists and structured ways of working. At its simplest HEMP is no more than a site HSE discussion, commonly called a 'toolbox talk'.
2.3.3
HEMP explained
The HEMP process originally consisted of four steps, Identify, Assess, Control, Recover. These have now been expanded to five steps which better focus the process on the management of risk, rather than the management of the hazard in isolation. The five steps are summarised below: 1. Identification of Hazards and Effects A systematic search for hazards and their effects, to include hazardous events, hazards, threats, escalation factors 2. Evaluation of risk Assessment of hazard and effects to establish probability of occurrence and severity of exposure 3. Recording of Hazards and Effects Formal record of assessment using pre-defined forms 4. Comparison with Objectives and Performance Criteria Gap analysis between assessed risk and acceptable risk (against PDO standards) 5. Risk Reduction Criteria Decision on best approach to reduce risk based upon cost benefit analysis HEMP in general is explained in Table 1 and shown in Figure 2. For a more detailed explanation refer to Appendix III. A template for Contract Holders experienced in applying HEMP is provided in Appendix II. Hazards, which have to be identified, assessed, controlled and recovered from, are the starting point for the HEMP process and can be identified and assessed in a number of ways. These are: experience / judgement checklists standards structural review techniques
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lev el o
fd eta il
Experience / Judgement
Evaluate Risks
ASSESS
HEMP
RECOVER CONTROL
Figure 2. Approaches to hazard assessment which support HEMP Experience / judgement The knowledge of experienced staff provides a sound basis for hazard identification and assessment. They can draw on experience gained from different aspects of Company operations and the E&P business in general in different locations. Practical staff experience gained in the field and feedback from incidents, accidents and near misses is invaluable. Checklists These are a useful way of ensuring that known hazards and threats have all been identified and assessed. The use of checklists (such as provided in Appendix V) however, must not be allowed to limit the scope of review as the situation and context in which they were compiled may not be directly applicable to the situation currently under review. They are normally drawn up from standards and operational experience and focus on areas where the potential for mistakes is high or where problems have occurred in the past. Hazard Registers taken from the life cycle of previous developments are particularly useful as a basis for checklists. Standards These reflect collective knowledge and experience, accumulated on the basis of national or international operations. They generally focus on hazard assessment and control, since the hazard is inherent and recognisable. Standards usually contain information on hazards applicable to a particular type of operation. The designer of a pressure vessel relief system, for example, can use an ERD or ISO Standard to find detailed guidance on the relief cases that should be considered. In some cases compliance with prescriptive standards alone will reduce risk 'as low as reasonably practicable'. Similarly, the acceptability or otherwise of emissions or discharges to the environment, or release of agents harmful to health can be assessed by reference to environmental quality standards and occupational health exposure limits. Standards can provide guidance on all four steps of identify, assess, control and recovery. Where new or non-standard designs are concerned, especially ones containing configurations with multiple interfaces, it is unlikely that all the possible interactions can be identified using standards alone. In more complex facilities other hazard management tools will be required. Structured review techniques A range of structured review techniques to support all of the above are described in the EP 95-0000 series of documents. Some of these techniques were initially developed for use in safety management others have been specifically developed for environmental and occupational health management often using similar principles as for safety management. One example is HAZID (Hazard Identification) and another is HAZOP (Hazard and Operability Study). With interpretation, these techniques are also capable of addressing emissions, discharges, waste generation and occupational exposure to hazardous substances, etc. Many of these techniques also contain screening and acceptance criteria for Controls.
Hazard Management in Contracts Guideline (HSE/97/05) revision 1, September 1997 Page 7 of 12
Source of Information
Individual knowledge Group knowledge Contractor knowledge Established activity documentation (business reports, inspections, audits, incident investigations etc.) Specialist reports (HAZAN, HAZID, SAFOP etc.) Specialist tools (QRA, HAZID, etc.) HSE Cases Task Hazard Control Sheets Generic hazard and effects listing (TSE/1) EP 95-0300 HSE Risk Matrix Incident Reports PDOTRACK HSE Info Tool QRA Datasheets (E&P Forum) Oman Legislation HSE Standard Manual (HSE/96/01) EP 95-0000 series International Standards (BSi, API, ISO etc.)
Identification of To identify, the hazardous events (consequences) to hazards and effects be avoided, to identify the hazards, threats and escalation factors which might contribute to that hazardous event.
Evaluation of risk
To assess the risks to health, safety and environment from the identified hazardous events by consideration of; 1. The likelihood of occurrence; 2. The severity of exposure. Risks are to be assessed against established and demonstrably effective controls (barriers).
For each hazardous event, hazard, threat, escalation factor an evaluation of: The probability of occurrence The severity of exposure List of appropriate standards which are in place and enforced List of hazardous events for which standards are not in place or not acceptable. Hazard Registers Activity Specification Sheets Task Specification Sheets Task Hazard Control Sheets.
Recording of To record the results of the identification and hazards and effects evaluation stage for those hazardous events where risk is significant;, so that; 1. The information can be communicated to others; 2. A record exists when challenged by inspection or audit. Comparison with To establish the gap between the risk as evaluated in Objectives and previous stages and acceptable risk as defined in Performance Company standards. Criteria Risk Reduction To reduce the residual risk to as low as reasonably Criteria practicable
A list of unacceptable risks ranked against severity of exposure and likelihood of occurrence. New standards to be in place and enforced
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2.3.4
HSE Risk
To apply HEMP effectively, the HSE risk presented by the hazard and its effect must be known. Risk is a combination of two components, frequency and consequence. Risk management requires either a reduction in the frequency with which something occurs or a reduction in the consequence if it does occur. In PDO the tool against which risk is assessed is the HSE Risk Matrix shown in Figure 3.
Consequence
A Rating Assets PeopleHealth People- Environment Safety Never heard of in EP Industry B
Increasing Probability
C D E Incident heard Incident heard Incident Incident of in EP of in PDO happens <5 happens >5 Industry times per year times per year in PDO in that location
0 1 2 3 4 5
No No Injury No Injury No effect damage Slight Slight Slight Slight effect Damage Injury Injury Minor Minor Minor Minor effect Damage Injury Injury Local Major Major Localised Damage Injury Injury effect Major Single Single Major effect Damage Fatality Fatality Extensive Multiple Multiple Massive Damage Fatality Fatality effect
Figure 3. The Basic HSE Risk Matrix The matrix plots frequency of occurrence along the top as five separate columns ranging from A to E. Consequence is plotted down the side of the matrix as six separate rows ranging from 0 to 5. The consequence descriptions are expanded upon further in HSE/97/01. Risk therefore plots within the matrix as a combination of probability and consequence. This is known as the risk classification. For example A1 is a lower risk classification than C3. Within Company operations levels of risk have been predefined and these are shown in Figure 4.
Consequence
A Rating Assets PeopleHealth People- Environment Safety Never heard of in EP Industry B
Increasing Probability
C D E Incident happens several times per year in that location Incident heard Incident heard Incident of in EP of in PDO happens Industry several times per year in PDO
0 1 2 3 4 5
No No Injury No Injury No effect damage Slight Slight Slight Slight effect Damage Injury Injury Minor Minor Minor Minor effect Damage Injury Injury Local Major Major Localised Damage Injury Injury effect Major Single Single Major effect Damage Fatality Fatality Extensive Multiple Multiple Massive Damage Fatality Fatality effect
Figure 4. The HSE Risk Matrix as defined by the HSE-MS. Level of risk Discretionary Low Medium High Extreme All action to reduce risk should result in the risk classification decreasing either in consequence (e.g. C4 to C3) or in probability (e.g. C4 to B4). How much effort to expend will be based upon cost benefit analysis. . HSE risk is discussed in more detail in Appendix IV.
2.4.1
Contract Strategy
This is a preparatory step in which the approach to managing the contract is decided upon. The decision to be taken at this stage is who will be responsible for executing HEMP? If a hands on approach is chosen, the responsibility for effective application of HEMP at all stages rests with the Contract Holder. If a hands off approach is taken, the responsibility of the Contract Holder for executing HEMP ends after the HSE Specification is completed and then moves to the contractor. However, the Contract Holder still remains responsible for the effectiveness of the contractor application of HEMP at all stages.
2.4.2
Major hazards should be identified and recorded for inclusion in the HSE assessment. During this phase, the Contract Holder should perform a preliminary identification of the hazards and effects, and record this in a note to file.
2.4.3
HSE Assessment
The HSE risk relating to the identified major hazards should be assessed and methods for reduction of that risk agreed. HEMP should focus on: Identifying those hazards which can be eliminated from the workscope; Quantification of the residual HSE risk in the workscope after established standards have been applied; Reduction in the residual risk to as low as reasonably practicable by introduction of risk reduction measures; Specifying as a contractual requirement risk reduction methods as essential controls and clarification of when these should be in place; Providing the contractor with the necessary information to get a full understanding of the hazards involved in the workscope.
The following parties should contribute to the hazard assessment: Contract Holder; The planned activity supervisor(s); An HSE adviser; A representative of the department that the asset holder for the area/facility in which the contractor will be operating. 1.Identification of hazards and effects 2. Evaluation of risks 4. Comparison with objectives and performance criteria 5. Establishment of risk reduction measures
The aspects of HEMP to be considered are: Identification Assessment Assessment, Control Control, Recovery
2.4.4
HSE Specification
The HSE specification is the result of the Contract Holder applying HEMP. It contains requirements identified during the HEMP process. To be effective it should relate to HSE Policy, HSE Objectives, HSE Targets and HSE Standards. Specified performance indicators should then be used to measure compliance to these standards. The aspect of HEMP to be considered is: Control, Recovery 5. Establishment of risk reduction measures
2.4.5
In response to the HSE Specification, the contractor should develop a Contract HSE Plan which details how the HSE risk should be minimised. It should cover the contract phases from mobilisation to demobilisation and clearly indicate the policy, procedures and standards to be adopted during each phase of the contract. The Contract HSE Plan should demonstrate the contractors understanding of the requirements stated in the HSE Specification and indicate how the contractor should achieve compliance. The Contract Holder should at this stage be looking for evidence that the contractor using their specialist skills has applied HEMP independently of the requirements of the HSE Specification with the result that the Contract Holders application of HEMP has either been:
Hazard Management in Contracts Guideline (HSE/97/05) revision 1, September 1997 Page 10 of 12
Confirmed and therefore endorsed as adequate in scope and content by the contractor; Challenged by the contractor, with alternatives and improvements proposed.
The HSE kick-off Meeting or an HSE Workshop can be used to establish the contractors understanding of the HSE Specification. If it is found that the contractors understanding and ability to apply HEMP is lacking then the effectiveness of the HSE pre-qualification should be reviewed. The aspects of HEMP to be considered are: Identification By the contractor 1.Identification of hazards and effects Assessment By the contractor 2. Evaluation of risks Assessment By the contractor 3. Recording of hazards and effects Assessment, Control By the contractor 4. Comparison with objectives and performance criteria Control, Recovery By the contractor 5. Establishment of risk reduction measures
2.4.6
The report contains only factual information on the HSE performance of the Company and contractor throughout the contract against the standards of the HSE Specification. HEMP itself is not applied at this stage but an observation upon how effective HEMP was, as a tool to manage HSE risk is justified. Comments might relate to: What standards were found acceptable / unacceptable? What controls (barriers) were successful / unsuccessful and why? Was the Guidance provided on HEMP useful, if not, why?
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3 Appendices
Appendix I Glossary of Terms, Definitions, Abbreviations
Appendix II Template for application of HEMP to the CMP Appendix III HEMP in detail Appendix IV Managing HSE Risk Appendix V Generic Hazard Listing Appendix VI HSE Cases currently active in PDO Appendix VIITemplates for recording Hazards and Effects Appendix VIII Use Feedback Sheet
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