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Contractor Written Safety Program (ISNetworld and Avetta)

Hiring clients in oil and gas, utilities, chemicals, construction and manufacturing prequalify contractors through third-party networks, chiefly ISNetworld and Avetta. The networks score a contractor on three things: written safety programs, safety statistics and insurance documents, and training records. The written program review is a document audit.

ISNetworld's Review and Verification Services (RAVS) reads each uploaded program against a checklist built from the OSHA standard plus each hiring client's additions, and grades it A, B or F. Avetta runs a similar review of uploaded manuals against client-configured requirements. A failing grade blocks bids or triggers stop-work.

The underlying documents are mostly OSHA written programs (hazard communication, lockout/tagout, respiratory protection, PPE hazard assessment, confined space, fall protection, emergency action, bloodborne pathogens where relevant) plus programs OSHA does not require in writing but clients do: stop-work authority, drug and alcohol, fatigue management, journey management, short service employee, behavior-based safety, subcontractor management.

Each client can require a different set, so a contractor working for six operators may maintain thirty or more programs, each with client-specific statements.

Also called: Contractor safety manual, RAVS written programs, Health, safety and environmental manual, Site-specific safety plan
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Obligation ledger

Who requires it, and what each one says.

SourceApplies whenWhat it requiresStatus
ISNetworld RAVS written program review
ISN RAVS program; client-specific RAVS requirements
Hiring client requires ISNetworld prequalificationUpload written programs for each topic the client selects; ISN reviews within about two weeks against OSHA elements and client additions and grades them; deficiencies must be corrected and resubmitted. Contractual; ISN's disclaimer states RAVS is a document review, not a compliance certification.Market
Avetta prequalification
Avetta client-configured requirements; document review by Avetta specialists
Hiring client requires AvettaComplete the prequalification questionnaire, upload written safety programs, insurance certificates, OSHA 300 and 300A logs, and training records; Avetta reviews documents against the client's standards and flags gaps. Contractual.Market
OSHA written program standards
29 CFR 1910.1200(e), 1910.147(c)(4), 1910.134(c), 1910.132(d), 1910.146(c)(4), 1910.38, 1910.1030(c), 1926 Subpart M and others by trade
Employer has employees exposed to the hazardWritten programs where the standard says so, training, and records. Legally required independent of the network.Mandatory
OSHA multi-employer citation policy
CPL 02-00-124
Worksite with more than one employerCreating, exposing, correcting and controlling employers may each be cited; hiring clients use prequalification to manage their controlling-employer exposure. Enforcement policy, not a document mandate.Implied
OSHA injury and illness recordkeeping
29 CFR Part 1904
Employers with more than ten employees not in an exempt industryOSHA 300 log, 300A summary posted Feb 1 to Apr 30, 301 forms; electronic submission for establishments meeting size and industry thresholds. Legally required; the networks collect the 300A as a scoring input.Mandatory
API RP 76 and client HSE requirements
API RP 76, Contractor Safety Management for Oil and Gas Drilling and Production Operations
Oil and gas operators referencing the practiceOperator evaluation of contractor safety programs, training and performance; source of many client-specific RAVS items. Industry practice.Market

Required sections

  • Safety policy statement signed by senior management, with responsibilities by role (nearly every client checklist)
  • Hazard communication program (1910.1200(e))
  • Lockout/tagout energy control program (1910.147)
  • Respiratory protection program with medical evaluation and fit testing (1910.134(c))
  • PPE hazard assessment with written certification (1910.132(d)(2))
  • Permit-required confined space program (1910.146(c)(4))
  • Fall protection plan and equipment inspection (1926 Subpart M; 1910 Subpart D)
  • Emergency action plan and fire prevention plan (1910.38, 1910.39)
  • Bloodborne pathogens exposure control plan where first aid or medical duties exist (1910.1030(c))
  • Hearing conservation, electrical safety, hot work, excavation, crane and rigging, hand and power tools, as applicable by trade
  • Incident reporting and investigation, near-miss reporting, OSHA recordkeeping (1904)
  • Stop-work authority (client requirement; OSHA does not mandate a written program)
  • Drug and alcohol program, including DOT Part 40 where drivers are covered (client requirement; DOT mandatory for covered drivers)
  • Short service employee program, mentoring and identification (client requirement, oil and gas)
  • Journey management and driving safety (client requirement)
  • Subcontractor management and flow-down (client requirement)
  • Behavior-based safety or job safety analysis program (client requirement)
  • Training matrix by job role with frequency, and records format (all clients)
  • Program review date, revision history, and a statement of who approved the program (RAVS reviewers check for a review date within the client's window)

What the examiner asks for

Written planEach written program as uploaded, with the client-specific statements the checklist requires, dated and signed, plus the version history. Contractor safety compliance consultants (RAVS and Avetta specialists) write and maintain; safety consultants; policy tools hold versions
AttestationTraining records per employee per topic with dates and trainer, employee acknowledgment of the safety manual and of client-specific programs, OSHA 10 and 30 cards, and client-required orientation completion. LMS, safety training vendors, policy tools, prequalification networks' training modules
Operational recordsOSHA 300 and 300A logs, experience modification rate letters, insurance certificates, incident investigations, audit and inspection reports, drug testing program records, equipment inspections. The contractor; insurance brokers; third-party drug testing administrators
Technical controlsNone specific. Fleet telematics for journey management and gas detection calibration records appear on some client checklists. Telematics and gas detection vendors

What changed

Change log.

2026-01-15OSHA extended the HCS 2024 compliance dates; hazard communication programs in the set need updating by July 19, 2028. Verify.
2024-01-01OSHA electronic injury and illness reporting expanded to include Form 300 and 301 data for establishments with 100 or more employees in designated industries; networks pull the 300A. Verify.
2016-09-01Avetta formed from PICS Auditing rebrand; later acquisitions consolidated several prequalification networks. Verify.
2001ISNetworld founded; RAVS review became the de facto written-program grading standard in U.S. oil and gas contracting. Verify year.

Frameworks

Where this document is required.

Who looks at it

Where this document gets checked.

No one certifies a document like this on its own. It is read during the audits and inspections below, and by the agency behind each rule.

Where it is looked atWho looks at it
ISNetworld/AvettaPlatform reviewers (ISN's RAVS team, Avetta's review specialists) grading documents against client and regulatory checklists; hiring clients may additionally audit contractors in the field. No independent certification or accreditation exists
OSHA written programsOSHA compliance safety and health officers, or State Plan inspectors (government inspection). No certification exists; voluntary recognition programs such as VPP and SHARP involve OSHA or consultation program evaluation

Who helps write it

Consultants.

Firms that name these standards in their own material.

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Where it lives

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Questions

What people ask.

Why did our OSHA-compliant program fail RAVS?

RAVS grades against the client's checklist, which adds statements OSHA does not require, such as naming the client, stating stop-work authority, or committing to a specific training frequency. Read the client's requirement list before uploading, and expect to add a paragraph rather than rewrite.

Do we need a separate program for every client?

Usually one master program per topic with client-specific addenda or statements. Some clients require their name in the document; a well-organized manual handles this with a short client-specific cover section.

How long does the review take?

ISN states it reviews submissions within about fourteen days. Plan resubmissions into bid timelines; a B or F grade during a bid window can cost the contract.

Are written programs enough to be compliant?

For the network, the document review is what is graded. For OSHA, the program has to be implemented: training done, inspections performed, records kept. ISN's own disclaimer says RAVS is a document review, not a compliance certification.

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