Comment from John E. Darney

Document ID: OSHA-2007-0032-0019
Document Type: Public Submission
Agency: Occupational Safety And Health Administration
Received Date: July 09 2007, at 09:09 AM Eastern Daylight Time
Date Posted: July 9 2007, at 12:00 AM Eastern Standard Time
Comment Start Date: April 13 2007, at 12:00 AM Eastern Standard Time
Comment Due Date: July 13 2007, at 11:59 PM Eastern Standard Time
Tracking Number: 8026405a
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This is comment on Proposed Rule

Explosives; Extension of Comment Period

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Re.: Docket No. OSHA-2007-0032 (Explosives?Proposed Rule) I am writing in strong opposition to OSHA?s proposed rules on explosives. These proposed rules would impose severe restrictions on the transportation and storage of small arms ammunition?both complete cartridges and handloading components such as black and smokeless powder, primers, and percussion caps. I have used such components for reloading ammunition for 45 years with absolutely no safety problems of any sort. As a person who uses ammunition and components, I am very concerned that these regulations will have a serious effect on my ability to obtain these products. OSHA?s proposed rules would impose restrictions that very few gun stores, sporting goods stores, or ammunition dealers could comply with. (Prohibiting firearms in stores that sell ammunition, for example, is absurd?but would be required under the proposed rule.) The proposed transportation regulations would also affect shooters? ability to buy these components by mail or online, because shipping companies would also have great difficulty complying with the proposed rules. There is absolutely no evidence of any new safety hazard from storage or transportation of small arms ammunition or components that would justify these new rules. I also understand that organizations with expertise in this field, such as the National Rifle Association, National Shooting Sports Foundation, and Sporting Arms and Ammunition Manufacturers? Association, will be submitting detailed comments on this issue. I hope OSHA will listen to these organizations? comments as the agency develops a final rule on this issue. Please reconsider these rules, which I believe are totally unnecessary. Sincerely, John E. Darney John E Darney, self

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