UCS COMMENTS ON PROPOSED REVISION TO 10 CFR PART 26
UCS believes that the working hour limits rulemaking is needed to adequately protect against worker impairment caused by fatigue. However, we have strong concerns that the wording in the proposed rulemaking falls short of providing that adequate protection. We have identifed those shortfalls in our comments and, whenever possible, recommended ways to close these loopholes.
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