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COMPLIANCEVESSEL TYPE BSEEUSCGOSHA(Regulatory Area)Falls within the scope of 30 CFR 250.1900-.1901 and meets the deÞ nition of ÒfacilityÓ in 30 CFR 250.105Does not fall within the scope of 30 CFR 250.1900-.1901 and does not meet the deÞ nition of ÒfacilityÓ in 30 CFR 250.105Meets the applicability of 33 CFR 96.110, 96.210 (i.e. self-propelled over 500 gross tons, engages on international voyages)Does not meet the applicabil-ity of 33 CFR 96.110, 96.210Mobile Offshore Drilling Unit Well Stimulation Vessel Designated lease operator must have a SEMS based on API RP 75No SEMS directly required but may or may not be subject to a designated lease operatorÕs SEMS Vessel owner/operator must have vessel-Spe-ciÞ c SMS based on ISM CodeNo SMS requiredNo SEMS or SMSFloating Production Storage Ofß oading Unit Shuttle Tanker Offshore Supply Vessel No SEMS directly required but may or may not be subject to a designated lease operator's SEMSAccommodation Vessel Current Safety Management System Regulations on the OCS As They Pertain To Vessels References: 30 CFR- Title 30 of the Code of Federal Regulations / 33 CFR- Title 33 of the Code of Federal Regulations (Source: Federal Register, Sept. 10, 2013) ?We have to make investments in people before we even know if they?re capable of doing the job because train-ing is required before they can go offshore. We?ve seen cases where a new employee is fully trained and ready to start work, looked great on paper, but out on a vessel they can?t perform the job. They might get seasick, not be able to handle the environment or simply not like it. When that happens, we usually lose out.? David Barouse, general manager of Fleet Operators, Inc.November 201334 MNMN November2013 Layout 32-49.indd 34MN November2013 Layout 32-49.indd 3410/28/2013 3:18:07 PM10/28/2013 3:18:07 PM