Regulatory Update
current standard reference devices approved by NRTL( Nationally Recognized Testing Laboratory), an independent third-party organization recognized by OSHA, even though no such approvals exist for certain equipment.
Rather than forcing employers into an impossible situation, OSHA intends to correct those references. Several missing definitions from the original rule are also expected to be added.
What This Means
These aren’ t headline-grabbing changes. They’ re simply good regulatory housekeeping. From my perspective, these amendments should not create panic. I don’ t see anything suggesting companies will need to completely redesign their crane programs.
Competent employers who already emphasize these practices are unlikely to see dramatic operational changes:
• Qualified personnel
• Proper planning
• Thorough inspections
• Power line hazard management
• Communication
• Lift planning
Instead, they’ ll probably find that portions of the standard become easier to understand and apply.
Compliance Isn’ t the Competitive Advantage
Every few years, standards change. Technology changes. Equipment changes. Documentation changes. As someone who has spent decades in crane safety, operator training, and workforce development, I think there’ s another lesson hidden inside OSHA’ s regulatory agenda.
Companies that build their safety programs around checking regulatory boxes spend their time reacting to those changes. Companies that build their organizations around developing competent people adapt naturally. A well-developed operator doesn’ t become safe because OSHA changed a paragraph in the Code of Federal Regulations. A competent lift director doesn’ t suddenly
become effective because a definition was clarified.
Those professionals succeed because they understand the equipment, recognize hazards, communicate effectively, and make sound decisions before the regulation ever becomes part of the conversation.
The proposed amendments to OSHA’ s crane standard are worth watching. Every contractor should review them when they’ re released and determine whether updates to policies, procedures, or training are necessary.
But the companies that will benefit the most won’ t be the ones scrambling after the final rule is published. They’ ll be the ones that have already invested in developing their people.
That’ s workforce development. Safety isn’ t the product. Safety is the byproduct.
Troy L. Clark is the president of MSC, Inc. and its family of companies— MSC Safety Solutions, Colorado Crane Operator School( CCOS), CraneQualified. com, MSC Workforce Develpment, and ProLevari.
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www. cranehotline. com • September 2026 17