In Alabama, a serious violation of 29 CFR 1910.147 (Lockout/Tagout (LOTO)) carries a maximum penalty of $16,550 per violation in 2026, rising to $165,514 for a willful or repeat violation. Lockout/Tagout (LOTO) is enforced for private construction employers by federal OSHA.
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29 CFR 1910.147 · Alabama
Lockout/Tagout (LOTO) Requirements in Alabama
Lockout/Tagout (LOTO) in Alabama: 2026 penalties, who enforces 29 CFR 1910.147, the paragraphs cited and free tools.
Verified vs OSHA sources · 2026-10-05
29 CFR 1910.147 does not apply to construction work. In Alabama, federal OSHA enforces 29 CFR 1910.147. The federal maximum for a serious violation is $16,550.
$16,550
federal maximum for a serious violation
$165,514
federal maximum for a willful or repeat violation
3.6
fatal work injuries per 100,000 full-time workers, all industries, Alabama, 2024 (BLS)
Contact incidents and work deaths in Alabama, 2024
Alabama recorded 75 fatal work injuries in 2024, the same as in 2023. Contact incidents caused 14 of them (19%). Construction accounted for 14.
Source: BLS Census of Fatal Occupational Injuries, Alabama, 2024
Lockout/Tagout (LOTO) Cases in Alabama
Haier US Appliance Solutions Inc. (GE Appliances)
$193,585Decatur, Alabama - appliance-plant machine fatality · 2025
A 58-year-old front-line supervisor was fatally injured while servicing a door molding machine at the Decatur plant. OSHA cited one willful violation for not following lockout/tagout procedures to de-energize the machine before service or maintenance, and two serious violations for letting employees bypass the machine's interlocked safety doors and for not conducting annual inspections of the lockout procedures. The proposed penalty, $193,585, is the maximum OSHA can legally recommend.
U.S. Department of Labor / OSHA news release, January 17, 2025How Alabama Enforces 29 CFR 1910.147
Alabama has no State Plan, so federal OSHA has jurisdiction. 29 CFR 1910.147 is enforced by U.S. Department of Labor compliance officers using standard federal procedures and the federal penalty maximums.
29 CFR 1910.147 is a general-industry standard and does not govern construction work. “This standard does not cover the following: (A) Construction and agriculture employment”. Branding a construction program “1910.147 compliant” cites the wrong standard. Unlike confined spaces, Part 1926 has no wholesale re-enactment of 1910.147: construction energy-control duties are spread across hazard-specific provisions, so no single construction equivalent is named here. An Alabama contractor auditing against 29 CFR 1910.147 is auditing against the wrong standard. The citation an officer writes on a construction site will name the 1926 provision, not this one.
Help and oversight in Alabama
Free, confidential help: OSHA On-Site Consultation
In Alabama, the program is Safe State Consultation Program (The University of Alabama). OSHA describes it as “Primarily for smaller businesses, no-cost, confidential consultations help employers identify and address hazards and establish or improve safety and health programs.” It is separate from OSHA enforcement; the employer commits to correcting serious hazards.
Who inspects private employers here
Federal OSHA, from the Birmingham Area Office (Birmingham) and the Mobile Area Office (Mobile).
Read on osha.gov and the state's official statute site, September 26, 2026.
Alabama Penalty Amounts for 29 CFR 1910.147 (2026)
Verified · 2026-10-05| Violation type | 2026 maximum | Basis |
|---|---|---|
| Serious | $16,550 | Federal max · 29 CFR 1903.15(d) |
| Willful | $165,514 | Federal max · 29 CFR 1903.15(d) |
| Repeat | $165,514 | Federal max · 29 CFR 1903.15(d) |
| Failure to abate | $16,550/day | up to $16,550 per day; total capped at 30x the daily amount (FOM Ch.6) |
Alabama applies the federal OSHA maximums. Amounts are ceilings per violation. Federal OSHA reduces the proposed penalty for employer size, good faith and history (FOM CPL 02-00-164 Ch. 6). There was no inflation increase for 2026: the 2025 amounts remain in effect (OMB Memo M-26-11).
Key Lockout/Tagout (LOTO) Requirements 29 CFR 1910.147
- Develop machine-specific energy control procedures
- Train authorized, affected, and other employees
- Use standardized lockout/tagout devices
- Follow the 6-step LOTO sequence
- Conduct annual periodic inspections of procedures
- Coordinate group lockout for multi-employee servicing
Who enforces it in Alabama: Federal OSHA inspects private construction employers; Alabama has no State Plan.
The compliance checklist, the paragraphs OSHA cites nationally and what an inspector checks under 29 CFR 1910.147 are on the 29 CFR 1910.147 page.
What a Lockout/Tagout (LOTO) Violation Looks Like
Each item below breaches a specific paragraph of 29 CFR 1910.147. It is a list of requirements, not a ranking. A serious violation carries up to $16,550.
- No documented, machine-specific energy control procedures (1910.147(c)(4)).
- Failure to conduct the required at-least-annual periodic inspection of procedures (1910.147(c)(6)).
- Authorized/affected employees not trained (or retrained after changes) (1910.147(c)(7)).
- Stored or residual energy not released or restrained before servicing (1910.147(d)(5)).
- No verification of de-energization/isolation before work begins (1910.147(d)(6)).
Alabama Safety & Enforcement Profile
26,559
Federal construction citations (national, FY2025)
883 of them in Alabama (HazComFast count)
Federal OSHA
Enforces private construction
- Construction trades inspected most in Alabama, FY2025: Framing Contractors (179), Roofing Contractors (115) and Commercial and Institutional Building Construction (13), out of 387 inspections opened (federal OSHA and State Plan combined).
- Construction fatality rate in Alabama, 2024: 8.2 per 100,000 full-time workers, 27th highest of the 40 states BLS published (all industries: 3.6).
HazComFast count from the Labor Department's OSHA enforcement data: inspections of construction employers (NAICS 23) opened from October 1, 2024 to September 30, 2025, federal OSHA and State Plan combined, grouped by the inspected employer's 2022 NAICS industry. Industry names are the Census Bureau's 2022 NAICS titles. data.dol.gov · BLS fatality rates by state, 2024
Free Lockout/Tagout (LOTO) Compliance Tools
Lockout/Tagout (LOTO) FAQ for Alabama
Which Alabama industries most often face a Lockout/Tagout (LOTO) inspection?
Lockout/Tagout (LOTO) inspections reach general-industry employers in Alabama, not the construction trades. Federal OSHA inspects these employers directly, since Alabama has no state plan covering the private sector. A construction employer is not governed by 29 CFR 1910.147, and the construction-side duties on this subject are not concentrated in a single standard. Check your Part 1926 obligations instead.
How often is Lockout/Tagout (LOTO) cited in Alabama?
29 CFR 1910.147 is enforced against general-industry employers in Alabama, so the construction citation totals published for Alabama (OSHA Frequently Cited Standards, NAICS 23) do not measure it. “This standard does not cover the following: (A) Construction and agriculture employment”. Branding a construction program “1910.147 compliant” cites the wrong standard. Unlike confined spaces, Part 1926 has no wholesale re-enactment of 1910.147: construction energy-control duties are spread across hazard-specific provisions, so no single construction equivalent is named here. A construction employer is not governed by 29 CFR 1910.147, and the construction-side duties on this subject are not concentrated in a single standard. Check your Part 1926 obligations instead.
Does OSHA require a written lockout/tagout program in Alabama?
Yes. 29 CFR 1910.147 requires an energy control program with documented procedures for the equipment serviced, employee training, and a periodic inspection of each procedure at least annually. In Alabama, federal OSHA can cite the missing program, missing machine-specific steps, or allowing workers to bypass machine guarding. In the Haier US Appliance case, OSHA cited the lockout failure behind a supervisor's death as willful.
Who enforces lockout/tagout (1910.147) for Alabama employers?
Federal OSHA. With no State Plan, a compliance officer from OSHA's Birmingham region inspects and cites 1910.147 directly at the federal penalty maximums.
Can I get free OSHA help in Alabama without an inspection?
Yes. OSHA's On-Site Consultation Program in Alabama is Safe State Consultation Program (The University of Alabama). OSHA describes it this way: "Primarily for smaller businesses, no-cost, confidential consultations help employers identify and address hazards and establish or improve safety and health programs." Consultations are separate from OSHA enforcement, and the employer commits to correcting serious hazards.
Lockout/Tagout (LOTO) Guides & Resources
Compare this combination against any other state and standard with the enforcement risk lookup.
Related standards
Lockout/Tagout (LOTO) in Other States
7 other state plans write a rule of their own for 29 CFR 1910.147 rather than adopting the federal text unchanged. Those are listed first. Compare all of them side by side.
Other OSHA Standards in Alabama
Sources & verification
Penalty amounts and plan-type data were checked on 2026-10-05 against eCFR, OSHA.gov, and the Federal Register. This page is informational and not legal advice; consult the enforcing agency or counsel for your specific situation.
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