Federal Agency Decisions
Workplace-safety cases from the Occupational Safety and Health Review Commission (OSHRC), mine-safety cases from the Federal Mine Safety and Health Review Commission (FMSHRC), and environmental appeals from the EPA's Environmental Appeals Board, each with a plain-English summary, the standards it cites, and whether it counts as precedent. More agencies are coming.
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Carder, Inc.
Mixed citation results with $4,206 in penalties
Carder operated several sand and gravel pits in Colorado, with cases involving crusher, dredge, screening, and related operations. Judge Richard W. Manning affirmed, modified, and vacated citations across ten consolidated civil penalty dockets after evaluating the cited conditions, negligence…
LeBlanc's Concrete & Mortar Sand Company
Ten citations split, with $225 in penalties
LeBlanc's Concrete & Mortar Sand Company operated Dudley's Pit, a Texas dredging and sand operation. MSHA cited ten conditions involving machine guarding, life-jacket use, flammable-liquid cleanup, fire extinguishers, and open-flame work. Judge George A. Koutras affirmed six citations, vacated…
Sulphur Springs Stone Company
26 citations affirmed and $1,530 assessed
Sulphur Springs Stone Company operated a small stone mine in Kentucky with five employees. After the company did not appear at the hearing, Judge James A. Broderick reviewed the Secretary's evidence concerning 26 alleged violations found during an October 8, 1985 inspection. The violations included…
What these documents are
- The agencies: Workplace-safety cases from the Occupational Safety and Health Review Commission (OSHRC), mine-safety cases from the Federal Mine Safety and Health Review Commission (FMSHRC), and environmental permit and penalty appeals from the EPA's Environmental Appeals Board (EAB). Each decision page names its agency.
- Commission and Board decisions: Rulings by the agency's highest review level (the Commission at OSHRC and FMSHRC, the Environmental Appeals Board at EPA). These are citable as precedent, though a decision may have been appealed to a U.S. Court of Appeals after issuance.
- ALJ decisions: Rulings by the agency's Administrative Law Judges after a hearing. When no Commissioner directs review, an ALJ decision becomes a final order that binds the parties in that case but is not binding precedent: under 29 U.S.C. § 661(j) at OSHRC, and after the 40-day window of 30 U.S.C. § 823(d)(1) at FMSHRC.
- Why finality matters: Every page here says which kind of decision you are reading, so you know whether it is precedent you can cite or a final order that only shows how one judge ruled on one set of facts.
- Where they come from: Every page links the official public release from the deciding agency, and the full text on the page is that release. The plain-English summaries are written by Ezel.