Preventing Spills With Countermeasures
Every manufacturing facility that is dealing with potentially hazardous or toxic materials should, in all good faith, have a Spill Prevention, Control and Countermeasures (SPCC) plan. There are several key components of such a plan, including dedicated phone numbers for emergency and specific personnel responsible for answering them. (EPA, 2002). Having such a plan should be considered just another operating expense for the manufacturing entity, much like any other cost associated with maintaining such a plant. In fact, the pros of such a plan drastically outweigh the cons. Disadvantages of such a plan are primarily centered around its cost. That cost both pertains to the initial construction of the plan and the updates to it that are necessary to account for every process change. Moreover, that cost factors both into monetary factors as well as those pertaining to time, energy, and human labor to revise the plan and keep it up-to-date.
Nevertheless, many of these disadvantages can be nullified if they are simply considered as ongoing operating expenses and are allotted in the initial business plan for a manufacturing facility as such. The EPA has played a role in helping to...
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