29 CFR 1910.147, "The Control of Hazardous Energy (Lockout/Tagout)," requires employers to develop written, machine-specific procedures that isolate hazardous energy before employees service or maintain equipment, and to train, inspect, and document that program on an ongoing basis, not just write it once. It's one of OSHA's most frequently cited general industry standards for a reason: most of the ways employers get cited are procedural gaps, not equipment failures. OSHA estimates that proper compliance with this standard prevents roughly 120 fatalities and 50,000 injuries each year. This guide walks through what the standard actually requires, piece by piece.
1910.147 applies whenever employees service or maintain machines or equipment where unexpected energization, start-up, or release of stored energy could cause injury. Two narrow situations fall outside that requirement:
Outside of the narrow exceptions above, OSHA requires written energy control procedures specific to the machine or equipment being serviced. A generic, facility-wide "lockout policy" alone doesn't satisfy this. Each procedure needs to address:
These two terms get used almost interchangeably in casual conversation, but the standard treats them very differently. A lockout device physically restrains an energy-isolating device in the safe position. A tagout device is a warning only; it doesn't physically prevent anyone from re-energizing the equipment, it just tells them not to.
Because of that gap, OSHA requires employers to use lockout whenever the energy-isolating device is capable of accepting a lock. Tagout is only permitted when the isolating device can't be locked out, or when the employer can demonstrate that a tagout program provides employee protection equivalent to lockout, a standard that's genuinely difficult to meet. Programs that rely on tagout also carry extra obligations: additional training on the limitations of tags (a tag can never be bypassed, ignored, or removed by anyone other than the person who applied it), and more rigorous periodic inspection requirements, covered below.
The standard defines three categories of employees, and conflating them is a frequent, citable mistake:
One nuance worth knowing: employees who exclusively perform normal production work, and whose only contact with servicing happens under normal machine safeguarding, only need to be trained as affected employees, even if the facility's broader program uses tagout elsewhere. Whichever category applies, the employer has to certify that training happened, with each employee's name and the training date on record.
OSHA requires a periodic inspection of each energy control procedure at least annually, not one inspection covering the whole facility, but one per documented procedure. A few specific requirements trip employers up:
Initial training isn't a one-time event. Retraining is required for authorized and affected employees whenever:
Two scenarios get their own specific requirements because a single lock isn't enough to protect multiple people:
Lockout/Tagout, general industry, ranked fourth on OSHA's list of most frequently cited standards for FY2025, as covered in our guide to what OSHA stands for and its most-cited standards. The pattern behind those citations is consistent: missing machine-specific written procedures, periodic inspections that either didn't happen or weren't documented, and training records that don't distinguish authorized from affected employees.
These tools help you document and schedule the pieces of a lockout/tagout program. They don't write your machine-specific energy control procedures for you; that still requires a qualified person's hazard assessment for each piece of equipment.
What does OSHA 1910.147 require? 29 CFR 1910.147 requires employers to develop written, machine-specific energy control procedures, train employees according to their role (authorized, affected, or other), conduct at least an annual periodic inspection of each procedure, and certify both training and inspections in writing.
What's the difference between lockout and tagout? A lockout device physically restrains an energy-isolating device so it can't be operated. A tagout device is a warning tag only; it doesn't physically prevent re-energization. OSHA requires lockout whenever the isolating device can accept a lock, and permits tagout only when it can't, or when the employer can show tagout provides equivalent protection.
Who needs lockout/tagout training? Authorized employees, who perform the lockout or tagout themselves, need the most detailed training on hazard recognition and isolation methods. Affected employees, who work near the equipment, need to understand the procedure's purpose. All other employees in the area just need to know not to restart locked or tagged equipment.
How often must lockout/tagout procedures be inspected? At least annually, per energy control procedure, not once for the whole facility. The inspection must be performed by an authorized employee not currently using that procedure, and the employer must certify the machine inspected, the date, the employees included, and who performed it.
What happens if minor servicing or cord-and-plug work is treated as exempt when it isn't? Both exceptions are narrow and specific. If the minor servicing exception's conditions (routine, repetitive, integral to production, with effective alternative protection) aren't fully met, or if cord-and-plug equipment isn't unplugged with the plug under the servicing employee's exclusive control, the full lockout/tagout standard applies. Treating routine maintenance as exempt when it doesn't meet these conditions is one of the more common, citable mistakes employers make.