
Asbestos Management
A wide range of people potentially have obligation under regulation 4,
Control of Asbestos Regulations 2006.
Duties rest with the person in control of maintenance in non-domestic premises,
whether that be the occupier or landlord, sub-letter or managing agent.
But the extent of the practical duties will be determined by contractual and other existing legal obligations towards the
property. Where no such obligation exists, e.g. where there is no tenancy
agreement or contract, or where the premise stands unoccupied, then regulation 4
places the duty on the person in control of the premise to comply with this
regulation.
An Asbestos Policy provides a basis for your Asbestos management and outlines
a company’s responsibilities regarding Asbestos. An effective policy should
include the following
•Introduction
•Policy Statement
•Strategy for Compliance
•Full Records of your Asbestos (Survey Report)
•Delegated Asbestos Coordinator.
The Control of Asbestos Regulations 2006 states all duty holders with known or
presumed asbestos within their properties, must have in place an effective and
working Asbestos Management Plan. The purpose of this Asbestos Management Plan
is to manage any known or presumed asbestos, ensuring that as far as reasonably
practicable no one can come to any harm from Asbestos on the premises.