n the full version of the LOLER Approved Code of Practice (ACOP), which gives The Lifting Operations and Lifting Equipment Regulations (LOLER), the. (a) the LOLER 98 Regulations in full;. (b) the Approved Code of Practice (ACOP); and. (c) guidance material that has been written to help people use these. Safe use of lifting equipment Approved Code of Practice and guidance, associated with the Lifting Operations and Lifting Equipment.

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The guidance clarifies which equipment is subject to the provisions of the regulations and the role of the competent person. Skip to content Skip to navigation. Although LOLER has a wide application, any lifting equipment used on ships is generally excluded because there are other provisions for the safety of this equipment under merchant shipping legislation.

Skip to content Skip to navigation. Such equipment must loker been subject to conformity assessment and be appropriately CE marked and accompanied by a Declaration of Conformity DoC before being placed on the market or brought into use. All lifting operations involving lifting equipment must be properly planned by a competent person, appropriately supervised and carried out in a safe manner.

Therefore, businesses allowing the public to use lifting equipment, such as passenger lifts primarily intended for use by people not at work, should still be managing the risks from this equipment – and will generally need to be to the same stringent standards as required loelr LOLER and PUWER.

A – switch qcop normal size A – switch ller large size A – switch to larger size. Health and Safety Executive. Records must be kept of all thorough examinations and any defects found must be reported to both the person responsible for the equipment and the relevant enforcing authority.

The complexity of the plan and the extent of the resources used to manage risk must reflect the acpp and difficulty of the lifting operation. HSE aims to reduce work-related death, injury and ill health.

Is this page useful? These Regulations often abbreviated to LOLER place duties on people and companies who own, operate or have loller over lifting equipment.

Lifting Operations and Lifting Equipment Regulations (LOLER) – Work equipment and machinery

The DoCwhich must accompany the new product, is an important document, which should be retained by the user. This website uses non-intrusive cookies to improve your user experience. Approved Code of Practice and guidance Date of publication: You can visit our cookie scop page for more information.

LOLER also requires that all equipment used for lifting is fit for purpose, appropriate for the task, suitably marked and, in many cases, subject to statutory periodic ‘ thorough examination ‘.


This may include employees of other organisations who undertake maintenance and other work on equipment – who will usually be at work and may even need to test and use the lifting equipment during their work. Lifting equipment which is not designed for lifting people – but which might be used this way in error – must be clearly marked acoop indicate it should not be used to lift people.

Lifting equipment What is lifting equipment Planning and organising lifting operations Lifting persons Thorough examination of lifting equipment Passenger lifts and escalators Vacuum lifting equipment Powered gates The basics for safety Legal responsibilities Ensuring powered doors and gates are safe Manufacture and supply of new work equipment UK supply law EU supply law CE marking Essential requirements Standards Conformity assessment Notified bodies Technical files Declaration of Conformity Declaration of Incorporation User instructions New machinery Machinery Directive: Other equipment, such as lifts in shopping centres, may be installed primarily for the use of customers who are not at work.

The context and examples have been expanded to show that LOLER applies across every sector using lifting equipment.

In any case, insurers may require a similarly high standard of protection to manage public liability in these situations. In planning any lifting operation, the identification and assessment of risk is key to identifying the most appropriate equipment and method for ller job.

A – switch to normal size A – switch to large size A – switch to larger size. In some cases, the information should be kept with the lifting machinery, eg the rated capacity indicator fitted to a crane, showing the operator the SWL for any of the crane’s permitted lifting configurations. Records of thorough examinations should be made and, where defects are identified, they should be reported to both the person using the equipment and to any person from whom it has been hired or leasedand the relevant enforcing authority HSE for industrial workplaces; local authorities for most other workplaces.

Revised Edition of LOLER ACOP published Dec 2014

This includes all businesses and organisations whose employees use lifting oller, whether owned by them or not. Regulation 8 2 of LOLER defines a lifting operation as ‘… an operation concerned with the lifting or lowering of a load’.

Examples of work equipment which does not come under LOLER but still comes under the provisions of PUWER include escalators and moving walkwaysmany conveyor systems and simple pallet trucks that only raise the load just clear of the ground so it can be moved. This includes lifting accessories and attachments used for anchoring, fixing or supporting the equipment examples of lifting equipment.


You can xcop our cookie privacy page for more information. Some work equipment – particularly continuous types that transport people or goods, often from one level to another – is not considered lifting equipment and so is not subject to LOLER’s specific provisions.

Other more specific legislation may also apply, for example the Personal Protective Equipment at Work Regulationswhen safety harnesses aco; being used for rope access work axop activities such as window cleaning. New examples show the impact on the health and social care sector. A simple guide for employers Lifting equipment at work: Furthermore, employers and the self-employed have responsibilities, so far as reasonably practicable, for the safety of people they do not employ that qcop be affected by the employer’s work under section 3 of the HSW Act.

Health and Safety Executive. Conventional passenger lifts must meet the requirements of the Lifts Directive. The DoC may avoid the need for an initial thorough examination before first use in those cases where the safety of that equipment does not depend on the conditions of its installation or assembly. Lo,er includes lifting equipment whose only source of power is directly applied human effort eg manually operated chain blocks and car jacks. A brief guide Thorough examination of lifting equipment: However, when used at work, the provisions of PUWER still apply including selection, inspection, lpler, and training.

Safe use of lifting equipment. Lifting Operations and Lifting Equipment Regulations – L

Where equipment is to be used to lift peopleit should be marked to indicate the number of people that can be lifted in addition to the SWL of the equipment. Work equipment and machinery Frequently asked questions Are you a? This may include the weight of the parts, where their weight is significant. Where the SWL of any equipment or accessory depends on its configuration, the information provided on the SWL must reflect all potential configurations for example, where the hook of an engine hoist can be moved to different positions, the SWL should be shown for each position.

The new text for paragraph 28 c reads:. For example, stair lifts and platform lifts mainly used for people with impaired mobility come under the Machinery Directive and those over 3 m vertical distance require third party conformity assessment by a notified body.