Shirley Rita Munro
Dangerous Goods Compliance Limited
NZBN:
9429042327455
Certifier number:
TST100248
Authorisation status:
Active
Authorisation start:
Authorisation expiry:
Home region:
Canterbury
Working region:
Auckland, Bay of Plenty, Canterbury, Gisborne, Hawke's Bay, Manawatu-Wanganui, Marlborough, Nelson, Northland, Otago, Southland, Taranaki, Tasman, Waikato, Wellington, West Coast
Contact address:
PO Box 204361
Highbrook
Auckland 2161
Highbrook
Auckland 2161
Website:
http://www.dgcompliance.co.nz
Phone:
09 257 5790
Mobile:
021375437
Email:
shirley@dgcompliance.co.nz
Authorised to issue certificates for
Compliance Plan
Existing Stationary Container Systems for which a compliance plan is in effect [Regulation 17.91 and Schedule 1 Clause 45, Health and Safety at Work (Hazardous Substances) Regulations 2017]
Classes 6 or 8
Locations where classes 6 or 8 substances are present [Regulation 13.38, Health and Safety at Work (Hazardous Substances) Regulations 2017]
Classes 5.1.1 or 5.1.2
Locations where classes 5.1.1 or 5.1.2 substances are present [Regulation 12.17, Health and Safety at Work (Hazardous Substances) Regulations 2017]
Classes 2.1.1, 2.1.2 or 3.1
Locations where classes 2.1.1, 2.1.2 or 3.1 substances are present [Regulation 10.34, Health and Safety at Work (Hazardous Substances) Regulations 2017]
Class 5.2
Locations where class 5.2 substances are present [Regulation 12.42, Health and Safety at Work (Hazardous Substances) Regulations 2017]
Dispensers
Stationary container systems that include dispensers [Regulation 17.91(2)(m), Health and Safety at Work (Hazardous Substances) Regulations 2017]
Burners
Stationary Container Systems that include burners [Regulation 17.91(2)(g) and (h), Health and Safety at Work (Hazardous Substances) Regulations 2017]
Conditions: The authorisation for stationary container systems that include burners is limited to the quantities set out in the conditions for stationary container systems – installation.
Installation
The installation of Stationary Container Systems [Regulation 17.91(2)(b), Health and Safety at Work (Hazardous Substances) Regulations 2017]
Conditions: The authorisation for stationary container systems is limited to above ground tanks up to maximum capacity of 100,000 L per tank used or intended to be used to contain a hazardous liquid.
The authorisation for stationary container systems is limited to below ground tanks with a maximum capacity of 100,000 L per tank used or intended to be used to contain a hazardous liquid.
The authorisation for stationary container systems does not include vapourisers [Regulation 17.91(2)(f), Health and Safety at Work (Hazardous Substances) Regulations 2017.
The authorisation does not include stationary container systems that include transfer line between ship and stationary tank [Regulation 17.91(2)(i)(iii), Health and Safety at Work (Hazardous Substances) Regulations 2017].
The authorisation for stationary container systems does not include certification of a design as per regulation 17.93(1)(a) [Health and Safety at Work (Hazardous Substances) Regulations 2017].
The authorisation of stationary container systems does not include certification of a fabricator for the purpose of constructing a stationary tank or process container in accordance with a design as per regulation 17.93(1)(b) [Health and Safety at Work (Hazardous Substances) Regulations 2017].
The authorisation for stationary container systems is limited to below ground tanks with a maximum capacity of 100,000 L per tank used or intended to be used to contain a hazardous liquid.
The authorisation for stationary container systems does not include vapourisers [Regulation 17.91(2)(f), Health and Safety at Work (Hazardous Substances) Regulations 2017.
The authorisation does not include stationary container systems that include transfer line between ship and stationary tank [Regulation 17.91(2)(i)(iii), Health and Safety at Work (Hazardous Substances) Regulations 2017].
The authorisation for stationary container systems does not include certification of a design as per regulation 17.93(1)(a) [Health and Safety at Work (Hazardous Substances) Regulations 2017].
The authorisation of stationary container systems does not include certification of a fabricator for the purpose of constructing a stationary tank or process container in accordance with a design as per regulation 17.93(1)(b) [Health and Safety at Work (Hazardous Substances) Regulations 2017].
Burning of Class 3.1 substances
Stationary Container Systems that include installations for burning class 3.1 substances [Regulation 17.91(2)(g), Health and Safety at Work (Hazardous Substances) Regulations 2017]
Conditions: The authorisation for stationary container systems that include installations for burning class 3.1 substances is limited to the quantities set out in the conditions for stationary container systems – installation.
Repair, Alteration and Maintenance
The repair, alteration and maintenance of Stationary Container Systems including above ground or below ground tanks [Regulation 17.91(2)(l), Health and Safety at Work (Hazardous Substances) Regulations 2017]
Conditions: The authorisation for stationary container systems does not include the repair, alteration and maintenance of an above ground stationary tank in accordance with API 653 or EEMUA 159 or relevant safe work instrument [Regulation 17.82(1), Health and Safety at Work (Hazardous Substances) Regulations 2017].
Tank Wagon Pre-commissioning
Pre-commissioning of tank wagons [Regulation 16.34, Health and Safety at Work (Hazardous Substances) Regulations 2017]
In Service
Tank wagons meet in-service requirements [Regulation 16.36, Health and Safety at Work (Hazardous Substances) Regulations 2017]
Conditions that apply for this authorisation
- Mrs Munro must perform the functions of a compliance certifier in an objective manner that promotes safety.
- Mrs Munro must remain a fit and proper person throughout the period of this authorisation.