Although not yet included in Shark ESMS all Asphalt plants are required to be assessed, will have Hazardous Area zones and Hazardous Area equipment which requires routine maintainance inspections over and above non hazardous area inspections..

More detailed informationon regarding hazardous areas can be found at Hazardex.com both generally and specifically for Asphalt plant and Bitumen Silos.

Since Brexit, the ATEX Directive is no longer applicable in the UK1. The correct legislation is
Equipment and Protective Systems Intended for Use in Potentially Explosive Atmospheres Regulations 2016 as amended by
The Product Safety and Metrology etc. (Amendment etc.) (EU Exit) Regulations.

DSEAR Assement

A Hazardous area should be conducted for the site the steps2 are:

  1. Identify all substances with a flashpoint of <=60 °C capable of being the source of an explosive mix including the gas group and Temperature category and lower explosive limit (LEL)3.
  2. Assess if the potential source release is likely to release enough vapour to form an explosive atmosphere.
  3. If so, assess each source to establish 3D zones of risk according to EN 60079-10-1. based on grade of release taking into consideration the nature of the vapour and local physical environment i.e. direction of outlet, barriers and ventilation, and is therefore specific to the source location.
    The extent of the zones is based on the distance that the release could be above the LEL taking into consideration physical boundaries, ventilation and the physical properties of the gas.
    Unless there are a physical boundary, generally there will be a Zone 2 around the Zone 1 volume.
  4. Each zone must have a corresponding Gas group and Temperature rating based on the source.
    All DSEAR reports should be very specific for the site and not generic including exact details of the zone extents

Site Responsibilities.

Based on the DSEAR assessment findings it is the sites responsibility to:-

  1. Clearly identify on site the boundary of the zones, this can be with signage, local maps/drawings or possible line marking on the ground when there is no discernible physical boundary. The hazardous area boundary must be visibly obvious locally to prevent accidental entry to the zone.
  2. Keep a record of zones types with Gas groups and Temperature classification for each zone to enable equipment assessment. This is usually done with a site map or drawings and should identify precise hazardous area limits including height if relevant.
  3. Appoint a site responsible (competent) person
  4. Employ a system of procedures and permits for Hazardous area work
  5. Put procedures in place to ensure no uncertified ignition source e.g. electrical equipment, radios etc. are taken into the zone unless a hot work permit has been issued
  6. Conduct a detailed survey of all fixed equipment within the hazardous area.

Hazardous Area Equipment Assessment

After the DSEAR assessment is complete the equipment in the zone needs to be assessed as compliant with the protection level and type suitable for the zone.
Non compliant equipment must be replaced or moved outside the marked zone.

Putting physical barriers in place to shape the extent of the zone to exclude non compliant equipment can be a simple solution
Sites with Asphalt plant will generally have several types of Hazard source4


Bitumen

The flashpoint of Bitumen is >=230°C and therefore is not considered under the Hazardous area regulations which only apply to materials with a flashpoint of <=60 °C. This has known to be overlooked in some misinformed DSEAR reports. Unfortunately, if that report is accepted there are potential consequences if it is not implemented with the 'erroneous' zoning being treated as any other hazardous zone with gas group5 and T rating specified.

When heated Bitumen in a silo can be a source of other flammable gases which do need to be considered (as below).

Bitumen Silo

Vapour can be released Bitumen stored in a Silo when heated even though it below the flashpoint temperature. This vapour is not Bitumen, simple monitoring and research suggests it is primarily Carbon Monoxide (CO) with Hydrogen Sulphide (H2S), bitumen particulate and possibly other gases.
It has been reported that traces of Hydrogen could present, this could cause issues with the equipment certification so it is critical the vapour is correctly identified.

As well as in the silo headspace the gas is expelled from the exhaust pipe, which becomes a source for a Hazardous Area zone. It is extremely unlikely that general leakage of Bitumen from flanges etc would generate enough vapour to create an explosive mix however, under certain circumstances,the bitumen could be a fire hazard6 Zoning the area and using Hazardosu area certified equipment does not neccesarily solve this issue.

Carbon Monoxide is classed as gas group IIB by EN 60079-20 and therefore IIA equipment would be unsafe. Of more serious consideration is both CO and H2S re highly toxic many orders of magnitude below the LEL which is a greater hazard for personnel.

Diesel

Prior to 2015 the flashpoint cutoff was 55°C excluding Diesel (flashpoint 55-60°C) from the scope of EU ATEX directive (now replaced by the UKEX regulations). This was then raised to 60°C so all diesel storage tanks installed after June 2015 must comply with the hazardous area standards.

However, the government guidelines are pragmatic regarding the change in status for Diesel. If the equipment was installed prior to 2015 then a risk assessment can be applied. it is not mandatory to replace with equipment certified to EN 60079.
In simple terms if the equipment was specifically designed and supplied for Diesel use prior to 2015 use the risk is minimal and it can be continued to be used with an appropriate risk assessment. Other equipment within the zone must be suitably certified.

As Diesel is such a low risk the zone, even within the bund the zone can be limited, even negligible. Certainly, if good housekeeping is in place, then routine drips from nozzle and filling point or flanges are generally accepted to be unlikely to create an explosive atmosphere. Each storage tank must be assessed individually.

Burner Fuel

This can be Mains Gas, LPG or Kerosene. The pipework, pumps and storage (if any) all should be assessed as they represent very real explosion risks. All tanks and electrical equipment must be compliant , particularly if in an enclosed space where pumps and all associated equipment must be suitably certified with Earth bonding for metal storage tanks.

General Storage

Area where solvents or flammable gases are stored will need to be assessed. This can include cages for gas bottles or cabins storing solvents.
Non flammable substances such as oils, lubricant, adblue & water based paints do not need to be considered, generally oil based paints are unlikely to be a source of sufficient flammable vapours to create an explosicve atmosphere.
Low volumes of solvents in containers may not be a sufficient source unless decanting is being done in a confined space.
The zone evaluation is based on the volume that an explosive mix could occur, not just because the material is present.

Hazardous Area Requirements

When the DSEAR Hazardous area report is implemented all measure should be put in place for that site forthwith, or at least a credible short term plan for addressing the issues. Failure to comply can be subject to large fines for the company and potentially the site responsible person with minimal legal action.

Equipment

Once the Zones with associated Gas groups and Temperature rating is established a survey should be done for compliance requirements covering
  Electrical equipment
  All cables within the zone – even if connected to equipment outside the zone.
  Moving Mechanical components. – e.g. motor gearbox, fans, pumps etc


KRA Brown offer the following Hazardous area compliance services
• Site survey for Equipment & installation compliance • Routine inspection • Training • Equipment Supply • Equipment Installation

For further information please contact us


Notes


  1. With the exception of Northern Ireland where the 'Northern Ireland Protocol' makes the European Directives valid 

  2. For gas only, Dust assements are slighting different but the principles are the same 

  3. The terms Gas and Vapour are interchangeable.
    As are Lower Explosive limit (LEL) and lower flammable Limit (LFL) 

  4. Excluding dust. 

  5. Bitumen does not have a gas group so it is difficult to see how it can be specified. 

  6. The ignition temperature of Bitumen can fall as low as 100°C when it mixes with insulation.
    This is a flammability rather than an explosive issue. 

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