Greetings Folks:
I'm new here and I'm not an electrician nor do I work specifically in the electrical field, but I do work in heavy construction safety with many large highway and bridge contractors in California and other states.
Cal-Osha recently change their rule for the grounding of portable and vehicle mounted generators by doing away with long time grounding requirements for those portable and vehicle mounted generators of more then 5kW. This change was made as recently as two weeks ago on 11-6-09.
Since then I'm getting numerous calls from contractor safety reps asking if that means "any" portable generator of any output rating is not required to be grounded if used with a cord and plug application. Here are a few examples of the questions I've received:
1. I have a 250 kW "portable" generator mounted on a skid and lifted by crane. Under this new rule, is it really true that I don't have to ground the generator if I use a cord and plug application connected directly to the generator?
2. We have a 500kW Caterpillar genset mounted in a 40 ft trailer van pulled by a 3 axle Kenworth truck tractor. If we were to plug a cord into this generator at a receptacle on the generator or the trailer and run a hand tool, is Cal-Osha saying we "[don't]have to ground it even though it has an output rating of 500kW?
3. Suppose I have a spider (distrubution) box connected by a cord with a twist lock plug that connects directly to a portable generator mounted on a trailer pulled by a 3/4 ton foremans truck. Cords and hand tools are plugged into the various outlets on the box.
Is the distribution box a "cord and plug application" which under the new rule does not require this portable generator to be grounded (?) or;
Is this a [separately derived system]? If it is a separetely derived system wouldn't that require the portable generator, regardless of output rating, to be grounded.
4. What is the definition of portable generator"?
Here is a link to the Cal-Osha website (if I did it correctly-bear with me)
[http://www.dir.ca.gov/Title8/2395_6.html/URL]
Otherwise it can be located at tha main Cal-Osha site.
Subchapter 5 Electrical Safety Orders
Group 1. Low-Voltage Electrical Safety Orders
Article 11. Grounding
Subsection 2395.6 Portable and Vehicle-Mounted Generators
I'd appreciate any comments you guys would have to further educate me on this. My contractors are currently sending letters to Cal-Osha to ask for clarification.
Thanks,
Bandaid33
I'm new here and I'm not an electrician nor do I work specifically in the electrical field, but I do work in heavy construction safety with many large highway and bridge contractors in California and other states.
Cal-Osha recently change their rule for the grounding of portable and vehicle mounted generators by doing away with long time grounding requirements for those portable and vehicle mounted generators of more then 5kW. This change was made as recently as two weeks ago on 11-6-09.
Since then I'm getting numerous calls from contractor safety reps asking if that means "any" portable generator of any output rating is not required to be grounded if used with a cord and plug application. Here are a few examples of the questions I've received:
1. I have a 250 kW "portable" generator mounted on a skid and lifted by crane. Under this new rule, is it really true that I don't have to ground the generator if I use a cord and plug application connected directly to the generator?
2. We have a 500kW Caterpillar genset mounted in a 40 ft trailer van pulled by a 3 axle Kenworth truck tractor. If we were to plug a cord into this generator at a receptacle on the generator or the trailer and run a hand tool, is Cal-Osha saying we "[don't]have to ground it even though it has an output rating of 500kW?
3. Suppose I have a spider (distrubution) box connected by a cord with a twist lock plug that connects directly to a portable generator mounted on a trailer pulled by a 3/4 ton foremans truck. Cords and hand tools are plugged into the various outlets on the box.
Is the distribution box a "cord and plug application" which under the new rule does not require this portable generator to be grounded (?) or;
Is this a [separately derived system]? If it is a separetely derived system wouldn't that require the portable generator, regardless of output rating, to be grounded.
4. What is the definition of portable generator"?
Here is a link to the Cal-Osha website (if I did it correctly-bear with me)
[http://www.dir.ca.gov/Title8/2395_6.html/URL]
Otherwise it can be located at tha main Cal-Osha site.
Subchapter 5 Electrical Safety Orders
Group 1. Low-Voltage Electrical Safety Orders
Article 11. Grounding
Subsection 2395.6 Portable and Vehicle-Mounted Generators
I'd appreciate any comments you guys would have to further educate me on this. My contractors are currently sending letters to Cal-Osha to ask for clarification.
Thanks,
Bandaid33