., JB Risk and Tracy Hockenhull Medical Technology Industries, Inc., Jeffery Baker and Bradley Baker Midmark Corporation, Jon Wells and Bob Menke National Council on Independent Living...
Search Results "Risk Analysis"
Commonly Searched Documents
-
Table 1.2 Organizational Members of the Medical Diagnostic Equipment Accessibility Standards Advisory Committee
-
EVIDENCE OF AURORA'S COMPLIANCE WITH APPLICABLE LAWS AND REGULATIONS
The Civil Rights Officer now works directly in collaboration with Aurora's Legal, Risk and Compliance departments to appropriately respond to civil rights complaints as well as perform proactive...
-
III. ACTIONS TO REMEDY NONCOMPLIANCE WITH ACCESSIBILITY REQUIREMENTS AT QUIKTRIP STORES
., type of facility and address) and a detailed written analysis by the ILA of how and why the particular departure from the Standard is a design or technology that will provide substantially...
-
ALIGNMENT OF 19-INCH RECOMMENDATION WITH ACCESS BOARD PROPOSED RULEMAKING
See Analysis of Seat Heights for Wheeled Mobility Devices at: http://udeworld.com/analysis-of-seat-height-for-wheeled-mobility-devices. ...
-
2. General Framework of Assessment
Incremental costs and benefits are calculated relative to the applicable baseline over a 10-year analysis period from 2015 through 2024....
-
Station 7-Stopping Sight Distance (Deceleration)
distance traveled from the "stop" signaling for our downstream-positioned staff to the users' physical commencement of braking was captured on synchronized videos and later reduced by analysis...
-
V. Description of Steps Taken to Minimize the Significant Economic Impact Consistent with the Stated Objectives and Significant Alternatives Considered and Rejected.
The Board has addressed the majority of the comments received in General Issues and Section-by-Section Analysis above....
-
18 Inch Low Height
Edward Steinfeld, the principal author of the Analysis of Seat Height for Wheeled Mobility Devices, stated 17 inches is the best practice as it accommodates approximately 94% of individuals...
-
Q10: What should a school district do if it does not believe that a student needs special education or related services as described in the Section 504 regulation?
The extent of a school district's obligation to make reasonable modifications is fact-dependent and requires a case-by-case analysis....
-
Issue 14: How can improved lighting and zero net energy goals by achieved while improving health care?
So when they do their energy analysis, they can’t go below those minimums, which are not necessarily as low as some suggestions around here. I’d have to look at them specifically....
-
Effective communication and auxiliary aids.
The specific amendments to the section on auxiliary aids and services, in addition to the provision of VIS, are described in §§ 35.104, 35.160, and 35.161 of the section-by-section analysis...
-
V. Background on This Rulemaking and Public Comments Received
The Section-by-Section analysis in the appendix to this rule addresses the comments related to specific regulatory language proposed in the NPRM....
-
Executive Summary
This report provides a description of the research, an analysis of the results and a discussion of the implications....
-
Emphasis on Limitations Instead of Outcomes
The Committee believes that the comparison of individuals with specific learning disabilities to ‘‘most people’’ is not problematic unto itself, but requires a careful analysis of the method...
-
11B-104.1.1 Construction and manufacturing tolerances
An element designed to be constructed at either the maximum or minimum permitted dimensions puts the construction at risk if construction errors result in a violation of the standards....
-
Regulatory Process Matters
The first is a wage gap analysis that attempts to measure the difference in wages between the general Federal workforce and Federal workers with targeted and reportable disabilities....
- Hill-Rom Golvo® 8000 / 8008 Patient Lift
- MAX-Ability, Inc.
- Michigan Rehabilitation Services (MRS)
-
UNICEF: Disability and Child Protection
Requires the Registered User plan or above. Login!
-
g. Discussion of Significant Regulatory Alternatives That Minimize Impact on Small Entities
As detailed earlier in this preamble (see section IV, Section–by–Section Analysis, “Movie Captioning—Coverage, supra), the Department is proposing that all movie theaters covered by the...
-
2.1 Health Care Experiences of Persons with Disabilities
Notes A As for persons without disabilities, individual patients with disabilities have their own set of health conditions, including coexisting diseases and health risk factors that...
-
5. Costs of the Proposed Rule
the Preliminary RIA estimates that the total incremental cost of the proposed 508 Standards and 255 Guidelines is expected to be $165.6 million on an annualized basis over the 10-year analysis...
-
Market Monitoring Report
These issues are discussed further in the section-by- section analysis....