Man Overboard Fatality
25 Φεβρουαρίου, 2016 | Posted by in IMO | ISM | SOLAS - (Δεν επιτρέπεται σχολιασμός στο Man Overboard Fatality)Good maintenance on board ships – Edition January 2015 by Class NK
18 Μαΐου, 2015 | Posted by in IMO | ISM | ISPS | Marpol | MOU | PARIS MOU | PSC | SOLAS | STCW | TOKYO MOU - (Δεν επιτρέπεται σχολιασμός στο Good maintenance on board ships – Edition January 2015 by Class NK)Click here for the new version of the well know “good maintenance on board ships” recently published by Class NKK in January 2015 including ISM/ISPS/MLC related check points.
Drills periods not to be recorded as non resting time
18 Μαΐου, 2015 | Posted by in ISM | PSC - (Δεν επιτρέπεται σχολιασμός στο Drills periods not to be recorded as non resting time)Recently a general cargo vessel in France faced difficulties during a “more detailed inspection” by PSCO with below deficiency imposed with action code 99:
“Discrepancies between records of working hours and real organization on board several drills periods not recorded as non resting time – Example for records
dtd 06/10/15 and 18/01/15 – Master instructed to avoid this from now and on”.
Based on above and in accordance with MLC ILO 2006 Title 2 / Reg. 2.3:
“Musters, fire-fighting and lifeboat drills, and drills prescribed by national laws and regulations and by international instruments, shall be conducted in a manner
that minimizes the disturbance of rest periods and does not induce fatigue”
“When a seafarer is on call, such as when a machinery space is unattended, the seafarer shall have an adequate compensatory rest period if the normal period of rest
is disturbed by call-outs to work.”
It is recommended to instruct Master’s of your Company’s fleet accordingly.
Port State Control – Crew Familiarisation and Training: a weak area
27 Φεβρουαρίου, 2013 | Posted by in Χωρίς κατηγορία - (Δεν επιτρέπεται σχολιασμός στο Port State Control – Crew Familiarisation and Training: a weak area)In accordance with the ISM Code 6.3 and 6.5, the company managing the vessel must ensure that the ship’s personnel are familiar with their duties and should establish procedures for identifying training needs.
Unfortunately, shipboard audits and port state control results show this to be a weak area. In many cases, the crew is unfamiliar with the ship-specific LSA, FFS and pollution-prevention equipment.
An example that requires ship operators’ attention is the crew’s lack of familiarity with the 15ppm Oil Content Meter (OCM), else known as 15ppm Bilge Alarm and their inability to retrieve the built-in history log when so requested by the authorities.
BACKGROUND
IMO resolution MEPC.107(49) of 18 July 2003 adopted the Revised Guidelines and Specifications for Pollution Prevention Equipment for Machinery Space Bilges of Ships.
Oil-filtering equipment and 15ppm OCM approved by latest standards are fitted to newbuildings with a keel laid on or after 01/01/2005 or to existing ships when the equipment is replaced after 01/01/2005.
One of the new features of this latest technology is that the 15ppm OCM is fitted with a built-in electronic history log. The system automatically keeps records of the equipment’s operations. These records must remain available on board for 18 months for third-party inspections (reference MEPC.107 (49) paragraph 4.2).
The ship’s personnel need to be trained to operate the equipment and should be able to retrieve the history log when requested (reference MEPC.07(49) paragraph 1.1.5 and ISM Code).
DEFICIENCIES
During a port state control inspection, the engine-room personnel (usually the Chief Engineer) might be requested to retrieve the electronic log from the OCM. The records are then compared with the entries in the Oil Record Book.
Inspections reveal that very often the crew does not know how to retrieve the log from the unit. Even worse, the crew sometimes completely ignores the fact that the unit keeps a built-in log of its operations and alarms. On several occasions when the records have been compared to the Oil Record Book, serious inconsistencies have been revealed leading to in-depth MARPOL inspections.
RECOMMENDATION TO SHIP MANAGERS
The company should check what types of equipment it has on board its ship and amend its training procedures accordingly. The crew should be trained on the ship-specific type of OCM and should know how to retrieve the history log from the unit.
The company is further strongly recommended to use this facility of the OCM to check the accuracy of the Oil Record Book entries during its internal on board inspections.
Source: DNV
A Guide to Identifying Genuine Admiralty Products
27 Φεβρουαρίου, 2013 | Posted by in charts | ISM - (Δεν επιτρέπεται σχολιασμός στο A Guide to Identifying Genuine Admiralty Products)The UK Hydrographic Office (UKHO) has issued a warning regarding counterfeit charts and other UKHO publications it has seen in circulation.
The counterfeit documents do not satisfy SOLAS carriage requirements and having counterfeit documents on board may lead to further legal complications where the carriage of counterfeit items is against the law in many countries.
In addition, counterfeit charts and publications have not been subjected to the thorough checks and cannot be trusted to be used for navigational purposes and could potentially lead to navigation errors causing an incident.
“Official Admiralty charts bear the Admiralty ‘Flying A’ watermark within the paper and will carry a ‘thumb label’ strip on the reverse with the Admiralty logo, chart number, geographical area, barcode and date. Suspect charts and publications can also be identified by comparing them against official Admiralty versions, where variations may be spotted in the look, feel and weight of the product and the colour tone and strength of the ink. The folds on charts and the height and binding quality of publications can also provide a good indicator of whether a product is official or counterfeit.” – UKHO
The UKHO has produced a short guide to help distinguish between counterfeit publications and official UKHO products. The free guide can be found here.
Hong Kong (MD) – Establishement of Quality Assurance System in the SMSM
5 Δεκεμβρίου, 2012 | Posted by in Χωρίς κατηγορία - (Δεν επιτρέπεται σχολιασμός στο Hong Kong (MD) – Establishement of Quality Assurance System in the SMSM)The Hong Kong Marine Department(MD) announced the policy to ensure their in house Quality Assurance System to monitor more effectively the PSC situation of their managed ships.
The implementation of this system will be verified during DOC and SMC audits from 1 January 2013 and ship management companies are required to prepare the successful implementation of the Quality Assurance System in consideration of Circular No. 85.
Revised Recommendations for Entering Enclosed Spaces
25 Σεπτεμβρίου, 2012 | Posted by in Χωρίς κατηγορία - (Δεν επιτρέπεται σχολιασμός στο Revised Recommendations for Entering Enclosed Spaces)This is a reminder of Resolution A. 1050(27) regarding the revised Recommendations for Entering Enclosed Spaces aboard Ships.
On 30 November 2011 the International Maritime Organisation (IMO) adopted Resolution A.1050(27) “Revised Recommendations for Entering Enclosed Spaces Aboard Ships”. The revised recommendations replace Resolution A.864(20) published in 1997.
Changes in the Revised Recommendations for Entering Enclosed Spaces aboard Ships :
The revised recommendations update and expand the previous guidance and include a number of changes as follows:
Section 2 – Definitions
Two new definitions have been included in the guidelines for an “adjacent connected space” and an “Attendant”. An “adjacent connected space” is defined as “a normally unventilated space which is not used for cargo but which may share the same atmospheric characteristics with the enclosed space such as, but not limited to, a cargo space accessway”. An “Attendant” is defined as “a person who is suitably trained within the safety management system, maintains a watch over those entering the enclosed space, maintains communications with those inside the space and initiates the emergency procedures in the event of an incident occurring”.
Section 3 – Safety Management for Entry into Enclosed Spaces
This section is new and reads as follows:
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“The safety strategy to be adopted in order to prevent accidents on entry to enclosed spaces should be approached in a comprehensive manner by the company.
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The company should ensure that the procedures for entering enclosed spaces are included among the key shipboard operations concerning the safety of the personnel and the ship, in accordance with paragraph 7 of the International Safety Management (ISM) Code.
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The company should elaborate a procedural implementation scheme which provides for training in the use of atmospheric testing equipment in such spaces and a schedule of regular onboard drills for crews.
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Competent and responsible persons should be trained in enclosed space hazard recognition, evaluation, measurement control and elimination, using standards acceptable to the Administration.
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Crew members should be trained, as appropriate, on enclosed space safety, including familiarisation with onboard procedures for recognizing, evaluating, and controlling hazards associated with entry into enclosed spaces.
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Internal audits by the company and external audits by the Administration of the ship’s safety management system should verify that the established procedures are complied with in practice and are consistent with the safety strategy referred to in paragraph 3.1” (point 1 above.)
Section 4 – Assessment of Risk
This section states that the company should carry out a risk assessment to identify all enclosed spaces on board the ship. This risk assessment should be repeated periodically to ensure it remains valid. The competent person is also reminded that the ventilation procedures for an adjacent connected space may be different from those of the enclosed space itself.
Section 6 – General Precautions
Under “General Precautions” two new points have been added to the previous guidance. The first states that entrances to enclosed spaces should be secured at all times when entry is not required. The second point is intended to minimise the risk of someone mistakenly thinking that a hatch or door that has been opened in order to ventilate an enclosed space means that the atmosphere inside is safe. An attendant should therefore be posted at the entrance, or a suitable mechanical barrier should be placed across the opening together with a warning sign to prevent accidental entry.
The original recommendations advised that “Ships’ crew should be drilled periodically in rescue and first aid”. This sentence has been replaced with “Ships’ crews with rescue and first aid duties should be drilled periodically in rescue and first aid procedures. Training should include as a minimum:
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Identification of the hazards likely to be faced during entry into enclosed spaces;
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Recognition of the signs of adverse health effects caused by exposure to hazards during entry; and
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Knowledge of personal protective equipment required for entry.”
Section 7 – Testing the Atmosphere
Additional guidance in this section states that: “In some cases it may be difficult to test the atmosphere throughout the enclosed space without entering the space (e.g., the bottom landing of a stairway) and this should be taken into account when assessing the risk to personnel entering the space. The use of flexible hoses or fixed sampling lines which reach remote areas within the enclosed space, may allow for safe testing without having to enter the space”.
Although the previous recommendations contained advice on safe limits for oxygen and flammable and toxic gases, the revised text notes that “National requirements may determine the safe atmosphere range” with regard to oxygen content. A further point has been added advising that steady readings of “not more than 50% of the Occupational Exposure Limit (OEL) of any toxic vapours and gases” should be obtained prior to entry along with a remark that “It should be noted that the term Occupation Exposure Limit (OEL) includes the Permissible Exposure Limit (PEL). Maximum Admissible Concentration (MAC) and Threshold Limit Value (TLV) or any other internationally recognised terms.”
Whereas the earlier version advised that “It should be emphasized that pockets of gas or oxygen-deficient areas can exist, and should always be suspected, even when an enclosed space has been satisfactorily tested as being suitable for entry”, the revised text states that “It should be emphasized that the internal structure of the space, cargo, cargo residues and tank coatings may also present situations where oxygen-deficient areas may exist, and should always be suspected, even when an enclosed space has been satisfactorily tested as being suitable for entry, this is particularly the case for spaces where the path of the supply and outlet ventilation is obstructed by structural members or cargo.”
Section 8 – Precautions During Entry
The information in this section has been broadened with the addition of the following;
“Particular care should be exhibited when working on pipelines and valves within the space. If conditions change during the work, increased frequency of testing of the atmosphere should be performed. Changing conditions that may occur include increasing ambient temperatures, the use of oxygen-fuel torches, mobile plant, work activities in the enclosed space that could evolve vapours, work breaks, or if the ship is ballasted or trimmed during the work”, and that “In the event of an emergency, under no circumstances should the attending crew member enter the space before help has arrived and the situation has been evaluated to ensure the safety of those entering the space to undertake rescue operations. Only properly trained and equipped personnel should perform rescue operations in enclosed spaces.”
Section 9 – Additional Precautions for Entry into a Space Where the Atmosphere is Known or Suspected to be Unsafe
Two new sentences have been included in this section advising that “Spaces that have not been tested should be considered unsafe for persons to enter”, and that “Persons entering enclosed spaces should be provided with calibrated and tested multi-gas detectors that monitor the levels of oxygen, carbon monoxide and other gases as appropriate”.
Section 10 – Hazards Related to Specific Types of Ships or Cargo
This section now contains a sub-section on the “Use of Nitrogen as an inert gas” which states that “Nitrogen is a colourless and odourless gas that, when used as an inert gas, causes oxygen deficiency in enclosed spaces and at exhaust openings on deck during purging of tanks and void spaces and use in cargo holds. It should be noted that one deep breath of 100% nitrogen gas will be fatal.” Additional information can be found in MSC.1/Circ.1401 “Guidelines on Tank Entry for Tankers using Nitrogen as an Inerting Medium”. Any vessel using nitrogen including gas tankers and bulk carriers should also heed this advice.
The sub-section on “Oxygen-depleting cargoes and materials” has been amended slightly to emphasise that the list of products referred to is not exhaustive.
Appendix – Example of an Enclosed Space Entry Permit
The example of an enclosed space entry permit in the Appendix has undergone a number of minor changes:
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The question: “Has the space been thoroughly ventilated?” has been expanded with the addition of the words “by mechanical means?”
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The requirement for an oxygen content of at least 21% by volume is now accompanied by a note stating that “National requirements may determine the safe atmosphere range.”
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The “Pre-Entry Checks” in Section 2 were previously required to be carried out either by the person entering the space or by the authorised team leader. This requirement has been modified and the items listed are “to be checked by each person entering the space”.
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Sections 1, 2 and 3 of the permit were previously signed by the “Responsible person supervising entry”. These sections are now to be signed by the “Attendant”, along with the Master or nominated person.
Members are advised to take account of IMO’s revised guidelines and ensure, so far as is practicable, that their Safety Management System (SMS) procedures and checklists for entering enclosed spaces are amended to reflect the new recommendations. Members should also consider the following advice when carrying out such a review:
Additional Enclosed Space Guidance
Often a question on board will be what constitutes an enclosed space? IMO defines an enclosed space as being one which has any of the following characteristics:
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Limited openings for entry and exit;
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Inadequate ventilation; and
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Is not designed for continuous worker occupancy
The definition includes, but is not limited to, the following compartments:
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Cargo spaces
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Double bottoms
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Fuel tanks
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Ballast tanks
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Cargo pump-rooms
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Cargo compressor rooms
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Cofferdams
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Chain lockers
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Void spaces
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Duct keels
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Inter-barrier spaces
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Boilers
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Engine crankcases
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Engine scavenge air receivers
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Sewage tanks
If it is unclear whether or not a particular compartment is an enclosed space, a risk assessment should be carried out in accordance with IMO recommendations to overcome any doubts. The process of carrying out a risk assessment to identify enclosed spaces should be repeated at regular intervals as circumstances may change.
IMO’s recommendations now make reference to adjacent connected spaces. For example, a forecastle store or deck house fitted with a booby hatch leading to a cargo space may be considered to be such a space. An adjacent connected space may be deficient in oxygen, or flammable or toxic gas may be present, particularly if the seal on the booby hatch or access door to the cargo space is not gas tight. It should also be borne in mind that less obvious areas of a vessel may also exhibit the characteristics of an enclosed space. For example, a recent MAIB Safety Flyer describes a situation where heavy framing on the weather deck surrounding the entrance to a cargo tank impeded the dissipation of cargo vapours.
Another MAIB Safety Flyer draws attention to the fitness of shore contractors engaged to work inside an enclosed space. If concerns arise, they should be refused entry.
Additional permits, as detailed in the vessel’s SMS, may also be required when working in enclosed spaces, such as for hot work or working from a height. The need for other permits such as these should always be considered before work inside an enclosed space is undertaken.
Potential hazards such as unguarded openings, wet or muddy surfaces and lightening holes in intermediate decks within ballast tanks should not be overlooked, nor the need for personnel to be properly equipped to minimise the risk of slips and falls. An MAIB Investigation Report highlights an accident of this type which took place during a routine inspection of a ballast tank. Particular care must be taken by personnel in such circumstances, and sufficient lighting should be provided to enable safe movement through the space.
Personnel should never enter an enclosed space unless an enclosed space entry permit has been issued before hand in accordance with the procedures set out in the SMS. During the pre-entry checks it should always be assumed that the space is not safe for entry until proved otherwise. Anyone who remains uneasy about whether or not an enclosed space is safe to enter after the necessary precautions have been taken should be encouraged to voice their concerns in case further action is warranted.
The IMO recommendation that “In the event of an emergency, under no circumstances should the attending crew member enter the space before help has arrived and the situation has been evaluated to ensure the safety of those entering the space to undertake rescue operations. Only properly trained and equipped personnel should perform rescue operations in enclosed spaces” is of particular importance. It is a natural human reaction to help others in difficulty, but the urge to do so must be resisted. Instances of someone losing their life after rushing to help a colleague in trouble inside an enclosed space where neither of them followed the correct entry procedures are all too common.
Enclosed Space Entry and Rescue Drills
Enclosed space entry and rescue drills are, at present, not required by many flag states. However, IMO during the process of drafting amendments to SOLAS that will make enclosed space entry and rescue drills mandatory.
It is anticipated that vessels will need to carry out such drills at least once every two months to ensure that crewmembers are familiar with the actions to be taken if it becomes necessary to rescue someone from inside an enclosed space. In the meantime such drills may be incorporated into the SMS and conducted regularly as a prudent precaution.
Draft amendments to SOLAS regulation III/19 to mandate enclosed space entry and rescue drills were agreed by the Sub-Committee on Dangerous Goods, Solid cargoes and Containers (DSC), when it met for its 16th Session.
The draft amendments will be forwarded for review by the Sub-Committees on Bulk Liquids and Gases (BLG) and Standards of Training and Watchkeeping (STW) and then finalized by DSC 17 before submission to the Maritime Safety committee (MSC) for adoption.
The draft amendments are aimed at reducing fatalities linked with enclosed space entry and would require crew members with enclosed space entry or rescue responsibilities to participate in an enclosed space entry and rescue drill at least once every two months.
Each enclosed space entry and rescue drill should include the checking and use of personal protective equipment required for entry; checking and use of communication equipment and procedures; checking and use of rescue equipment and procedures; and instructions in first aid and resuscitation techniques.
Source: West of England
MI’s Updated list of RO’s authorized to verify compliance with the ISM Code & ISPS Code
23 Σεπτεμβρίου, 2012 | Posted by in Χωρίς κατηγορία - (Δεν επιτρέπεται σχολιασμός στο MI’s Updated list of RO’s authorized to verify compliance with the ISM Code & ISPS Code)In the Marine Safety Advisory NO. 55-12 which supersedes Marine Safety Advisory No. 9-12 are listed the RO’s authorized to verify compliance with the ISM Code and issue ISM Code Documents of Compliance and Safety Management Certificates on behalf of the Republic of the Marshall Islands.
In the Marine Safety Advisory NO. 56-12 which supersedes Marine Safety Advisory No. 10-12 are listed the RO’s authorized to represent the Administrator and assist in the implementation and continued enforcement of the International Ship and Port Security (ISPS) Code.
Amendments to the IAMSAR manual – MSC.1/Circ.1415
2 Σεπτεμβρίου, 2012 | Posted by in Χωρίς κατηγορία - (Δεν επιτρέπεται σχολιασμός στο Amendments to the IAMSAR manual – MSC.1/Circ.1415)The Maritime Safety Committee (MSC), at its ninetieth session (16 to 25 May 2012) approved the amendments to the International Aeronautical and Maritime Search and Rescue (IAMSAR) Manual.
The Committee decided that the amendments should become applicable on 1 July 2013.
Click here to download MSC.1/Circ.1415.
IMO Requirements on Carriage of Publications On Board Ship
31 Αυγούστου, 2012 | Posted by in Χωρίς κατηγορία - (Δεν επιτρέπεται σχολιασμός στο IMO Requirements on Carriage of Publications On Board Ship)
The purpose of this post is a reminder of MSC-MEPC.2/Circ.2. , guidance for the performing of the ISM Code certification of IMO requirements on carriage of publications.
IMO instruments such as the SOLAS, MARPOL,LL,COLREG and STCW Conventions deal with many operational aspects,inter alia, navigational responsibilities, safety-related training/drills on board, safe cargo handling, oil spill prevention, collision avoidance activities and watchkeeping standards.Therefore, these publications, although not expressly required by IMO instruments, should be carried on board in order to improve the crew’s knowledge and to enhance the implementation of IMO instruments. No deficiency should be filed by PSCOs against ships not carrying such publications on board. However, a nonconformity should be filed by ISM auditors against ships not carrying such publications in accordance with National requirements and the ship’s Safety Management System (SMS).
The publications may be carried in the form of electronic media such as CD-ROM in lieu of hard copies. Acceptable publications in electronic form should be those issued by IMO or an Administration or a body authorized by an Administration to ensure correctness of their contents and to safeguard against illegal copying.A medium could either contain a publication or as many publications as possible. In any case, the media should be treated in accordance with the document control procedures in the shipís SMS including procedures for timely update.
Notwithstanding paragraph above, the publications for emergency use, such as the International Code of Signals and the IAMSAR Manual should always be available in the form of hard copies, bearing in mind that such publications need to be readily available for use in case of emergency without being restricted to a specific place and by the availability of a computer.
In Appendix of MSC-MEPC.2/Circ.2 a tabulated list of those Publications required to be carried on board ships is available.
Care of wires and ropes on board ships by the UK P&I Club
30 Αυγούστου, 2012 | Posted by in Χωρίς κατηγορία - (Δεν επιτρέπεται σχολιασμός στο Care of wires and ropes on board ships by the UK P&I Club)
UK P&I Club has recently issued a Loss Prevention Bulletin regarding the care of wires and ropes on board ships.
Causes of damage to wires and ropes on board can be categorised into five types: abrasion, corrosion, crushing, cutting-in and stretch. The general condition of a wire should be monitored whenever it is in use and specific inspections should concentrate on signs of deterioration and damage.
Uses on board:The most common uses of wires and ropes on board modern vessels include:
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Accommodation ladders and gangways
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Cranes and hoists
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Elevators
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Lifeboat / rescue boat / life raft davits
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Moorings
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Lifting strops and slings
Causes of damage to wire ropes:There are many causes of damage to wires and ropes on board, these can be categorized into 5 types:
Abrasion:
Generally due to pulleys, sheaves, rollers and/or fairleads being seized or otherwise damaged. This is a common form of damage to mooring wires – repeated dragging by the stevedores over concrete knuckles and along the quay is probably the most common cause. Insufficient internal lubrication results in internal wear, otherwise known as fretting corrosion. Individual wires and strands rub together resulting in rust-like damage showing between the exterior strands. Crane wires are frequently found to have the individual outer strands flattened due to non-rotating or under-sized sheaves, or contact with other strands on the drum itself. Abraded wire rope, showing localised damage to individual wires
Corrosion:
Caused by unprotected wires being exposed to salt water and the elements. The smaller the diameter of the wire, the less effective the internal lubrication.
Crushing:
Uneven spooling on a drum can result in wires crossing. With load on the wire, this can lead to the lower layers of wire becoming crushed, reducing the effecting breaking strain of the wire.
Cutting-in:
Occurs when a rope buries itself when under tension beneath poorly spooled lower layers, potentially leading to jamming which could result in the wire kinking, being crushed or even counter-rotation.
Fatigue:
Fatigue is the result of frequent bending of the wire under load, particularly round under-sized sheaves, rollers, etc. and due to kinking. Fatigue is exacerbated by poor lubrication and corrosion. Fatigue results in the individual strands cracking and eventually failing.
Stretch:
More common in elevator wires, this is the result slight differences in diameter and/or elastic properties. Compensation mechanisms are usually fitted, but it can lead to wire slippage on the sheaves.
If you want to read the full Loss Prevention Bulletin click here.
Source:The UK P&I Club





