How does my practice fall under these guidelines? Any person who prepares RMW for transport and anyone who signs the medical Waste manifest is signing on behalf of the generator (your facility) and is subject to DOT requirements (49 CFR 172 Subpart H and 172 Subpart C). Your employees are therefore considered hazmat employees and the requirements are applicableAny person who transports medical waste is signing a manifest on behalf of the transporter and is subject to DOT requirements and therefore is considered a hazmat employee
How does my practice fall under these guidelines?
Any person who prepares RMW for transport and anyone who signs the medical Waste manifest is signing on behalf of the generator (your facility) and is subject to DOT requirements (49 CFR 172 Subpart H and 172 Subpart C). Your employees are therefore considered hazmat employees and the requirements are applicable
Any person who transports medical waste is signing a manifest on behalf of the transporter and is subject to DOT requirements and therefore is considered a hazmat employee
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