Position Summary
The Corporate Manager Process Safety Management (PSM) is accountable for establishing governing and continuously improving TPC Groups enterprise process safety framework. This role leads implementation and assurance of OSHA Process Safety Management (29 CFR 1910.119) requirements and EPA Risk Management Program (RMP 40 CFR Part 68) including submittals updates and emergency coordination and will serve as the corporate owner for process safety management requirements of the TPC Group EPA RMP Consent addition the role will manage and develop process safety management staff direct reports.
Core Responsibilities
Program Ownership & Governance (PSM & RMP)
- Own the TPC Group PSM program and its 14 elements (e.g. PSI PHA Operating Procedures Training Mechanical Integrity MOC PSSR Incident Investigation Compliance Audits Contractor Management Hot Work Emergency Planning/Response) assuring consistent standards and performance across facilities.
- Own the TPC Group RMP programs (40 CFR Part 68) including development certification submittal updates/corrections offsite consequence analyses five-year accident history prevention programs (Program 2 & 3) and emergency response program/exercises.
- Maintain auditable documentation and controls to meet PSM/RMP requirements (e.g. 68.15068.195 for RMP and 1910.119 for PSM)
EPA RMP Consent Decree Compliance
- Serve as the TPC Group program manager for all consent decree obligations including implementation of risk management improvements reporting requirements stipulated timelines and penalty avoidance; coordinate with Legal Operations and Engineering to ensure corrective actions are prioritized and verified.
- Ensure timely accurate reporting and document retention per decree requirements (e.g. compliance milestones audits incident investigations and program certifications) and maintain readiness for DOJ/EPA oversight.
Process Hazard Analysis (PHA) & Risk Reduction
- Lead corporate standards and assurance for PHAs and HAZOPS including revalidation cycles closure of recommendations and integration of incident learnings and external industry events.
- Oversee Safer Technology and Alternatives Analyses (STAA) and hierarchy of controls assessments for RMP covered processes aligning with EPAs Safer Communities by Chemical Accident Prevention (SCCAP) final rule emphasis on practicability of inherently safer design.
Mechanical Integrity & Change Management
- Collaborate with company SMEs to set corporate MI standards (asset criticality inspection/PM deficiency management proof testing fitness for service) ensuring alignment with OSHA PSM and enhanced RMP expectations.
- Govern Management of Change (MOC) quality and timeliness (design basis PSI updates procedures training PSSR) focusing on preventing uncontrolled changes that elevate risk.
Incident Investigation Lessons Learned & Transparency
- Collaborate with Operational Excellence to establish and administer robust incident/near miss investigation protocols with root cause analysis corrective action tracking and communication of learnings to employees and contractors.
- Implement mechanisms for employee engagement and transparent communication on PHA findings audits and accident investigations.
Emergency Preparedness & Community Interface
- Support emergency response planning and exercises with site ERT/ICS mutual aid (e.g. Channel Industries Mutual Aid) and local responders; ensure plans meet RMP requirements and address worst case/alternative scenarios and community notification.
Auditing Assurance & Reporting
- Support internal PSM/RMP audits; oversee third party audits where needed; ensure triage and closure of findings; certify RMP submissions and maintain readiness for OSHA/EPA/TCEQ inspections.
- Maintain KPI dashboards for presentation to plant and executive leadership (event rates PHA backlog MI overdue items MOC cycle time audit closure) and annual corporate PSM/RMP performance reports.
Training & Competency
- Collaborate with training department to develop competency standards and training matrices for operators maintenance engineers and leadership covering PSM elements RMP requirements emergency response and consent decree obligations.
Required Qualifications
- Bachelors degree in Chemical Engineering Mechanical Engineering or related discipline; advanced degree preferred.
- 10 years in process safety leadership within petrochemical/chemical manufacturing with multiâsite oversight.
- Demonstrated expertise with OSHA PSM (29 CFR 1910.119) and EPA RMP (40 CFR Part 68) including RMP submittals/updates and PHA governance.
Preferred Qualifications
- Professional Engineer (PE) licensure or CCPS certifications (e.g. CPSA/CPSE).
- Hands on experience with STAA LOPA SIL/functional safety and asset integrity programs.
- Experience executing obligations under a federal Consent Decree (or equivalent enforcement orders) preferably with EPA/DOJ interface.
Leadership Competencies
- Strategic Risk Leadership: Able to translate regulatory obligations (PSM/RMP/Consent Decree) into practical prioritized and funded programs.
- Assurance & Accountability: Builds robust governance and reporting; ensures closure of findings and sustainable compliance.
- Stakeholder Engagement: Credible with regulators community stakeholders and internal leaders.
- Policy & Procedure Development: Demonstrated ability to write develop implement and manage corporate procedures policies and standards that align with OSHA PSM EPA RMP and consent decree requirements ensuring clarity consistency and operational compliance across all sites.
All applicants must be eligible to work for any employer in the United States without needing any company sponsorship
Required Experience:
Manager
Position SummaryThe Corporate Manager Process Safety Management (PSM) is accountable for establishing governing and continuously improving TPC Groups enterprise process safety framework. This role leads implementation and assurance of OSHA Process Safety Management (29 CFR 1910.119) requirements and...
Position Summary
The Corporate Manager Process Safety Management (PSM) is accountable for establishing governing and continuously improving TPC Groups enterprise process safety framework. This role leads implementation and assurance of OSHA Process Safety Management (29 CFR 1910.119) requirements and EPA Risk Management Program (RMP 40 CFR Part 68) including submittals updates and emergency coordination and will serve as the corporate owner for process safety management requirements of the TPC Group EPA RMP Consent addition the role will manage and develop process safety management staff direct reports.
Core Responsibilities
Program Ownership & Governance (PSM & RMP)
- Own the TPC Group PSM program and its 14 elements (e.g. PSI PHA Operating Procedures Training Mechanical Integrity MOC PSSR Incident Investigation Compliance Audits Contractor Management Hot Work Emergency Planning/Response) assuring consistent standards and performance across facilities.
- Own the TPC Group RMP programs (40 CFR Part 68) including development certification submittal updates/corrections offsite consequence analyses five-year accident history prevention programs (Program 2 & 3) and emergency response program/exercises.
- Maintain auditable documentation and controls to meet PSM/RMP requirements (e.g. 68.15068.195 for RMP and 1910.119 for PSM)
EPA RMP Consent Decree Compliance
- Serve as the TPC Group program manager for all consent decree obligations including implementation of risk management improvements reporting requirements stipulated timelines and penalty avoidance; coordinate with Legal Operations and Engineering to ensure corrective actions are prioritized and verified.
- Ensure timely accurate reporting and document retention per decree requirements (e.g. compliance milestones audits incident investigations and program certifications) and maintain readiness for DOJ/EPA oversight.
Process Hazard Analysis (PHA) & Risk Reduction
- Lead corporate standards and assurance for PHAs and HAZOPS including revalidation cycles closure of recommendations and integration of incident learnings and external industry events.
- Oversee Safer Technology and Alternatives Analyses (STAA) and hierarchy of controls assessments for RMP covered processes aligning with EPAs Safer Communities by Chemical Accident Prevention (SCCAP) final rule emphasis on practicability of inherently safer design.
Mechanical Integrity & Change Management
- Collaborate with company SMEs to set corporate MI standards (asset criticality inspection/PM deficiency management proof testing fitness for service) ensuring alignment with OSHA PSM and enhanced RMP expectations.
- Govern Management of Change (MOC) quality and timeliness (design basis PSI updates procedures training PSSR) focusing on preventing uncontrolled changes that elevate risk.
Incident Investigation Lessons Learned & Transparency
- Collaborate with Operational Excellence to establish and administer robust incident/near miss investigation protocols with root cause analysis corrective action tracking and communication of learnings to employees and contractors.
- Implement mechanisms for employee engagement and transparent communication on PHA findings audits and accident investigations.
Emergency Preparedness & Community Interface
- Support emergency response planning and exercises with site ERT/ICS mutual aid (e.g. Channel Industries Mutual Aid) and local responders; ensure plans meet RMP requirements and address worst case/alternative scenarios and community notification.
Auditing Assurance & Reporting
- Support internal PSM/RMP audits; oversee third party audits where needed; ensure triage and closure of findings; certify RMP submissions and maintain readiness for OSHA/EPA/TCEQ inspections.
- Maintain KPI dashboards for presentation to plant and executive leadership (event rates PHA backlog MI overdue items MOC cycle time audit closure) and annual corporate PSM/RMP performance reports.
Training & Competency
- Collaborate with training department to develop competency standards and training matrices for operators maintenance engineers and leadership covering PSM elements RMP requirements emergency response and consent decree obligations.
Required Qualifications
- Bachelors degree in Chemical Engineering Mechanical Engineering or related discipline; advanced degree preferred.
- 10 years in process safety leadership within petrochemical/chemical manufacturing with multiâsite oversight.
- Demonstrated expertise with OSHA PSM (29 CFR 1910.119) and EPA RMP (40 CFR Part 68) including RMP submittals/updates and PHA governance.
Preferred Qualifications
- Professional Engineer (PE) licensure or CCPS certifications (e.g. CPSA/CPSE).
- Hands on experience with STAA LOPA SIL/functional safety and asset integrity programs.
- Experience executing obligations under a federal Consent Decree (or equivalent enforcement orders) preferably with EPA/DOJ interface.
Leadership Competencies
- Strategic Risk Leadership: Able to translate regulatory obligations (PSM/RMP/Consent Decree) into practical prioritized and funded programs.
- Assurance & Accountability: Builds robust governance and reporting; ensures closure of findings and sustainable compliance.
- Stakeholder Engagement: Credible with regulators community stakeholders and internal leaders.
- Policy & Procedure Development: Demonstrated ability to write develop implement and manage corporate procedures policies and standards that align with OSHA PSM EPA RMP and consent decree requirements ensuring clarity consistency and operational compliance across all sites.
All applicants must be eligible to work for any employer in the United States without needing any company sponsorship
Required Experience:
Manager
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