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This post was last edited by *nht1 on 2024-8-3 08:02. A terrifying set of regulations – the \"General Specifications for Fire Protection of Flammable Material Storage Tanks, Installations, and Yards (Draft for Comment)\\" – are currently open for feedback; these specifications are mandatory in their entirety, and many things are restricted strictly, which is why they’re considered terrifying. In future process design, there will be many more troublesome issues.
This specification does not specify what the definitions of storage tanks, installations, and yards referred to in it are.
I’m not sure if the warehouse counts as a storage yard
Do the 1m3 and 0.5m3 transfer tanks qualify as storage tanks? If storage tanks are required to meet these standards, it is clearly unreasonable. So without defining a range, there are many problems.
I have seen “drafts for public comment” that remain unfinished after several years. However, it provided some opportunities for the relevant management personnel, design departments, and marketing teams. . . . . . It’s better to take a look at the seal of the issuing entity; I’ve seen \"drafts for comments\" without any seal being used to regulate businesses.
Create conditions for turning rights into value. Plunder the present, overdraw the future
There are more and more regulations, which only create opportunities for some people to make money while reducing their responsibilities; accidents do not decrease as a result
It’s indeed terrifying. One of the requirements regarding storage is that large packaging drums should be stacked in a single layer. Does this refer to drums with a capacity of 1 ton, or those weighing over 500 kg?
It is no stricter than the \"Code for Fire Protection Design of Petrochemical Enterprises\" GB50160