RESULTS
OR WE RE-SURVEY
AT ZERO COST
How a Survey Becomes
a Compliance Program
Four phases. Methodical execution. A case file that assembles itself, evidence by evidence, until the conclusion is inevitable.
Walkthrough & Hazard Identification
Our CIH-certified team arrives with a pre-survey questionnaire completed, a process-flow map in hand, and calibrated direct-reading instruments already zeroed. Every job task, chemical in use, and noise source gets catalogued against OSHA PELs and ACGIH TLVs before a single pump is deployed.
- Process inventory against SDS library
- Noise screening with Type II SLM
- Initial LEV and ventilation walk-down
- Regulatory citation cross-reference

Instrumentation Deployment & Sampling
Sampling strategy is written before the technician leaves the office. Personal sampling pumps are flow-checked to ±5% before clip-on. Noise dosimeters are calibrated with a reference sound source. Every sample follows NIOSH or OSHA method — not a modified shortcut — so the data survives cross-examination.
- NIOSH 7500 / OSHA ID-125G for silica
- OSHA 1910.1026 wipe sampling for Cr(VI)
- NIOSH 1501 for toluene / aromatic solvents
- ANSI S1.25 noise dosimetry protocol
AIHA-Accredited Laboratory Analysis
Samples travel under chain of custody to an AIHA-accredited laboratory. GC/MS for organics, ICP-OES for metals, gravimetric for nuisance and respirable dust. Turnaround is standard 5-day unless the citation letter sets a shorter deadline — in which case we trigger 48-hour rush analysis.
- AIHA LQAP-accredited partner labs only
- Chain-of-custody documentation retained
- GC/MS · ICP-OES · Gravimetric methods
- 48-hour rush option for active citations

Defensible Report & Compliance Program
The final report reads like the exposure assessment OSHA would write about your facility — if they were on your side. Every result is tabulated against applicable standards. Exceedances get an engineering control recommendation, an interim PPE specification, and a written respiratory protection program if required by 1910.134.
- Results vs. PEL / TLV / REL table
- Hierarchy-of-controls recommendations
- Written Respiratory Protection Program
- Re-survey schedule and monitoring plan

The Inspector Asks.
We Already Have the Answer.
Every credential, every lab accreditation, every method reference — documented in the appendix before you ask for it.
Certified Industrial Hygienists
All lead assessors hold ABIH-issued CIH credentials. Re-examined every 5 years. No exceptions.
AIHA LQAP Accreditation
Partner laboratories maintain AIHA Laboratory Quality Assurance Program accreditation for all analytes we sample.
Certified Safety Professionals
Our compliance program writers hold BCSP CSP credentials — the same standard OSHA VPP auditors carry.
NIOSH-Approved Methods Only
Every sampling method maps to a published NIOSH or OSHA analytical method. No modified or proprietary protocols.
Ready When the
Citation Letter Arrives.
Fill out the form and a CIH will contact you within one business day. If you received an OSHA citation in the last 30 days, note it in the message field — we prioritize active enforcement actions.
What Happens Next
Our Guarantee: If your assessment data fails to hold up under OSHA review, we re-survey your facility at zero cost. No disclaimers. No fine print.
OSHA Audit Prep Checklist
47 Items. No Surprises.
The same pre-audit checklist our CIHs run through before every VPP application and OSHA inspection. Covers written programs, exposure records, training documentation, and equipment calibration logs.
- Written Hazard Communication Program (1910.1200)
- Respiratory Protection Program compliance (1910.134)
- Noise monitoring records & audiometric testing logs
- Calibration records for all air sampling equipment
- SDS library completeness and accessibility
- PPE hazard assessment certifications (1910.132)
The Citation Letter Is Already
on Someone's Desk.
Every day without a defensible exposure assessment is a day the OSHA compliance officer has more leverage than you do. Let's change that.
Active OSHA citation? Call directly — we prioritize enforcement timelines.