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Policies for Preventing/Mitigating a Disaster: West Texas Case

In 2013, a grievous explosion occurred at the West Fertilizer Company (WFC) plant in West Texas (Babrauskas, 2018). It killed 15 people, injured over 160 others, and caused extensive destruction to the surrounding area. The West Fertilizer Company plant stored and sold agricultural chemicals, including ammonium nitrate, a highly explosive compound commonly used as a fertilizer (Babrauskas, 2018). Investigators later determined that the explosion was caused by a fire that ignited some of the ammonium nitrate stored at the plant. The fire was likely started by faulty electrical wiring or malfunctioning equipment. The explosion was so powerful that it destroyed or damaged dozens of nearby homes, nursing homes, and schools. The incident led to widespread scrutiny of the safety regulations governing chemical plants and the storage of hazardous materials. Three regulatory agencies were tasked to oversee the West Texas system: the Occupation Safety and Health Administration (OSHA), Texas Commission on Environmental Quality (TCEQ), and Environmental Protection Agency (EPA) (TCEQNews, 2021). The occurrence of explosions showed some failures from these agencies. The OSHA and the Chemical Safety and Hazard Investigation Board (CSB) (TCEQNews, 2021) conducted investigations into the explosion, and both agencies issued reports recommending changes to safety standards and enforcement. The tragedy also prompted lawsuits against the West Fertilizer Company plant owners and the companies that supplied and inspected its equipment. As a point of reference, the West Texas incident necessitates evaluating how emergency managers can develop, advocate for, and implement policies to prevent or mitigate a disaster.

Analysis from the West Texas case shows several breakdowns from the regulatory agencies. They failed in their assigned responsibilities, and this necessitated the disaster occurrence. According to how responsibilities were assigned to key actors, the explosion was a preventable incident. However, the problem occurred due to extensive failures of individuals and the assigned regulatory agencies. The key actors, in this case, include the West Fertilizer Company plant owners, EPA, OSHA, TCEQ, and emergency responders (Babrauskas, 2018). The West Fertilizer Company plant owners were entitled to ensure their facility’s and employees’ safety. However, they did not adequately manage the risks associated with ammonium nitrate storage and handling and did not have adequate emergency response plans. They also failed to perform a hazard analysis or implement a process safety management system, which could have identified and addressed potential hazards.

The regulatory agencies EPA, OSHA, and TCEQ failed to adequately enforce safety regulations and perform plant inspections (Babrauskas, 2018). The safety standards for ammonium nitrate were outdated and did not require regular inspections or risk assessments. The agencies also did not coordinate with each other or share information effectively. The emergency responders were not adequately prepared to respond to a disaster of this magnitude, and there was a lack of coordination between different agencies. The responders did not have adequate training or equipment to respond to the explosion, and there were delays in providing medical assistance and evacuating residents from the area.

Key problems include unreliable regulatory oversight (TCEQNews, 2021). The U.S. Chemical Safety Board (CSB) found a lack of regulatory oversight by multiple agencies, including the EPA, OSHA, and TCEQ. These agencies did not adequately enforce safety regulations or perform inspections of the WFC plant as tasked, which could have identified and addressed safety hazards. The CSB found inadequate ammonium nitrate storage, transportation, and handling safety standards. The plant did not have a fire protection or secondary containment system to prevent spills or leaks. The safety standards for ammonium nitrate have not been updated since the 1980s, and they did not require regular inspections or risk assessments (Babrauskas, 2018). The plant’s owners did not adequately manage to store and handle ammonium nitrate risks. They did not perform a hazard analysis or implement a process safety management system, which could have identified and addressed potential hazards (TCEQNews, 2021). They also did not have adequate emergency response plans or provide adequate training to employees. Moreover, one ignored issue is how the emergency body responded to the disaster. The emergency response to the explosion was inadequate, and there were delays in providing medical assistance and evacuating residents from the area. The local emergency responders did not have adequate training or equipment to respond to a disaster of this magnitude, and there was a lack of coordination between different agencies.

One of the policies that emergency managers can advocate to address the problem is to improve regulation and oversight by the entrusted parties to ensure safety concerns are managed at risk-prone facilities (Arnold & Itkin, n.d.). The federal government can enact stricter regulations and more rigorous oversight of facilities. This would include regular inspections, mandatory employee safety training, and requirements for using safer technology and materials. Organizations and facilities should be required to demonstrate that they are using the safest possible technology and materials to minimize the risk of accidents (Arnold & Itkin, n.d.). The government should increase penalties for non-compliance and provide funding for enforcement efforts. Such regulatory agencies as the EPA can develop and authorize stricter standards for handling, disposing, and storing perilous materials. OSHA could ensure that organizations and facilities implement safety management systems that necessitate mitigating potential problems. These measures can necessitate ensuring that hazardous materials are stored and handled safely and responsibly, reducing the risk of accidents and disasters.

Another solution would include increased community involvement, necessitating addressing security concerns at any facility (Arnold & Itkin, n.d.). One of the key problems with the West Texas disaster was that the community lacked adequate information on risks linked with the facility. Therefore, local communities should be more responsible for decision-making processes affecting nearby facilities’ safety and security. This could include public meetings, community advisory panels, and other forms of engagement to ensure residents’ concerns residents are heard and addressed (Arnold & Itkin, n.d.). Organizations and facilities should be required to engage with local communities to ensure that they are aware of the potential risks associated with their operations and to address any concerns that residents may have. This engagement should occur regularly and should be designed to be inclusive and responds to the community’s needs community.

Further on community involvement, emergency managers can work toward educating the public about the potential risks associated with hazardous materials and the importance of disaster preparedness (Queensland Government Disaster Management, 2023). By increasing public awareness and engagement, individuals can take steps to protect themselves and their communities, such as developing emergency plans, preparing emergency kits, and staying informed about potential hazards

uring that facilities and managements conduct enhanced emergency response planning (Arnold & Itkin, n.d.). Organizations and must required to have emergency response plans in place, but these plans are often inadequate or outdated. Facilities should be required to develop and regularly update emergency response plans in coordination with local emergency responders (Arnold & Itkin, n.d.). This would ensure that in the event of an accident, first responders have the necessary information and resources to respond quickly and effectively. For example, organizations could be required to conduct regular practices and simulations to test their emergency response plans. Local emergency responders could be involved in these exercises to ensure familiarity with the facility and its operations. Organizations could also be required to train local emergency responders regularly on the hazards associated with the facility and the appropriate response protocols (Arnold & Itkin, n.d.). By enhancing the ability of communities to respond to disasters, the impact of disasters can be minimized and mitigated, and lives can be saved.

Overall, the West Texas Fertilizer Plant Explosion was a tragic and preventable incident caused by a combination of failures of regulatory agencies and individual actions. The key actors, including the plant owners, regulatory agencies, and emergency responders, all played a role in the failure to prevent or mitigate the disaster. All stakeholders must take responsibility for their role in the incident and work together to implement changes that will prevent similar incidents from occurring in the future. Reliable policies that focus on improving the regulation and oversight of hazardous materials facilities, improving emergency planning and response capabilities, and increasing public awareness and engagement can address such problems that led to the West Texas incident. By taking a comprehensive and proactive approach to disaster prevention and mitigation, emergency managers can help ensure the safety and well-being of their communities.

References

Arnold & Itkin. (n.d.). Chemical Plant Safety. Arnold & Itkin LLP. https://www.arnolditkin.com/plant-refinery-accidents/chemical-plant-accidents/chemical-plant-safety/#:~:text=The%20most%20basic%20way%20to

Babrauskas, V. (2018). The ammonium nitrate explosion at West, Texas: A disaster that could have been avoided. Fire and Materials, 42(2), 164-172.

TCEQNews, (2021). Texas Tier II Chemical Reporting: Introduction, background, and update. [Video]. YouTube. https://www.youtube.com/watch?v=TwpPul9Kli0

Queensland Government Disaster Management. (2023). Prevention preparedness response and recovery disaster management guideline. Qld.gov.au. https://www.disaster.qld.gov.au/disaster-management-guideline

 

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