Unit 2: TMSA Framework
TMSA Framework
The TMSA framework is structured into distinct elements, each addressing a critical area of tanker management. These elements cover a wide range of topics, including the management's ability to accept responsibility for safety management systems (SMS), the recruitment and retention of competent shore-based and vessel personnel, vessel reliability and maintenance, navigational safety, and the safe execution of cargo, ballast, and bunkering operations. Other key areas include the management of change, incident investigation and analysis, and the implementation of robust safety, environmental, and security management systems. Furthermore, the framework emphasizes the importance of the human element, focusing on human performance, teamwork, and overall well-being. By engaging in this self-assessment process, companies can identify gaps in their operations, set clear targets, and implement action plans to achieve and maintain excellence in their maritime activities.
Element 1. The ability of management to accept responsibility for developing and maintaining a dynamic Safety Management System (SMS), in order to implement policy and deliver HSSE excellence | ||
STAGE | KEY PERFORMANCE INDICATORS | BEST-PRACTICE GUIDANCE |
1.1.1 | Management commitment is clearly defined in documentation that includes mission statements, policies and procedures. | Mission statements contain the high-level and long-term goals and aspirations. The company defines what HSSE excellence means and aims to achieve this through continual improvement. Long-term goals and aspirations may include: • Zero spills or releases to the environment. • Zero incidents. • Reduction in permitted emissions. |
1.1.2 | Senior management demonstrates a clear commitment to implementing the SMS. | Senior managers demonstrate commitment by conducting management reviews. Management reviews may include: • Review of mission statements and high level policies. • Review of targets and KPIs. • Review of incident and non-conformance data. • Assessment of the documented audit plan for vessels and office locations. Records demonstrating the extent of management involvement in these activities are maintained. |
1.1.3 | HSSE excellence is fully understood and supported by vessel and shore-based management teams. | Best practices are promoted throughout the company. Management records lessons learnt and communicates this information to the company. When required, management follows up recommendations to ensure that all necessary changes have been made. Means of communication may include: • Webcasts. • Mission statement cards. • Vessel/office visits. • Safety bulletins. • Company newsletters. • Vessel feedback. |
1.2.1 | All company personnel can describe what HSSE excellence means in practice. | Everyone within the organization understands the company's concept of safe operations and HSSE excellence as applicable to their role. Managers promote and measure personnel understanding through a variety of activities. Examples may include: • Safety induction and familiarization programmes. • Vessel/office visits. • Computer-based training/on board training. • Informal meetings/personnel interviews. • Office/vessel conference calls. • Company seminars. |
1.2.2 | Management strives to improve safety and environmental performance at all levels. | Management has a documented plan in place that contains specific actions to achieve long-term goals and aspirations. Management has a way of measuring and identifying trends in safety and environmental performance at all levels by maintaining statistical records of near misses, non-conformances and incidents. Examples of incidents may include: • Injuries to personnel. • Navigational incidents. • Mooring incidents. • Oil spills. • Machinery failure. • Incidents related to cargo and ballast transfer. Management evaluates and assesses performance against the action plan. |
1.2.3 | Vessel and shore-based management teams promote HSSE excellence. | Strong, effective leadership is visibly demonstrated. Examples may include: • Leading by example. • Empowering personnel to intervene to prevent hazardous situations developing. • Safety inspections/rounds by Senior Officers. • Ship visits by senior shore-based managers which include informal meetings with available vessel personnel. • Recognition and rewarding of outstanding HSSE performance. |
1.3.1 | Shore management establishes targets related to HSSE performance and conducts measurements to assess and verify their implementation. | Typical assessment measures may include setting KPIs, for example: • Number and severity of personnel injuries. • Number of near miss and non-conformance reports. • Number and size of pollution incidents. • Number of internal and external audit findings. • Number and nature of inspection findings, e.g. SIRE, PSC, CDI. • Numbers of best practices identified. |
1.3.2 | The steps required to HSSE excellence at each level of the action plan are clearly defined by management. | The action plan establishes a clear time frame with short-term targets and objectives defined for each step of the plan, in order to achieve the long-term goals. The plan is reviewed at regular intervals and modified as trends are identified. |
Element 1A. The ability of management to take responsibility for developing and maintaining a dynamic Safety Management System (SMS), in order to implement policy and deliver HSSE excellence. | ||
1A.1.1 | Management ensures that company policy and the supporting procedures and instructions cover all the activities undertaken. | The policy reflects the company’s position on: • Safety and environmental protection. • Security. • Health and welfare, including D&A. • Social responsibility. Policies are endorsed by the highest levels of management. |
1A.1.2 | Policy and procedures are formally reviewed at regular intervals to ensure robustness and effectiveness. | Policy and procedures are reviewed at company defined intervals and amended as necessary. This review may include feedback from: • Master’s review of the SMS. • Management reviews. • Onboard safety meetings. • Officer forums and other formal meetings. |
1A.1.3 | Procedures and instructions are written in plain language and contain sufficient detail to ensure that tasks can be completed correctly and consistently. | Procedures and instructions are clear, simple to use and are in the working language of the vessel. Instructions are arranged in a clear and logical manner and in a way that makes it easy to identify each step. |
1A.1.4 | Procedures and instructions are easily accessible to personnel and available at appropriate locations. | Sufficient electronic or hard copies of procedures and instructions are easily accessible to all personnel, including contractors, at appropriate locations which may include: • Company offices. • Manning agent’s offices. • Onboard vessels. |
1A.1.5 | A formal document control system is in place to ensure that the current SMS documentation is available. | There is a procedure for revision of the SMS. An appropriate level of management is involved in the approval process for revisions. The formal document control system may include: • An index of numbered revisions including date of revision. • Disposal of obsolete documents. • Management of uncontrolled documents. |
1A.2.1 | Periodic meetings that review or amend current procedures, or propose new ones, take place at defined intervals and are formally recorded. | Formal records include the meeting agenda, minutes, details of procedures and instructions that have been amended as a result of meetings and any other supporting information. Items to consider may include: • Recommendations following incident investigation. • Recommendations from the Master’s review of the SMS. • Results of risk assessments. • Suggestions for continual improvement. • New and upcoming legislation. • Recommendations from industry bodies. |
1A.2.2 | Managers’ roles, responsibilities and accountabilities for achieving objectives are defined within the SMS. | Ways of demonstrating that roles and responsibilities are defined may include: • Organizational charts, including reporting lines. • Job descriptions, including responsibilities and accountability. • KPI targets assigned to individual roles. • The SMS includes provisions for reassigning responsibilities during periods of absence of key personnel. |
1A.2.3 | Relevant reference documents are provided as a supplement to the SMS both on board and ashore. | Reference documents may include regulatory publications and industry guidelines. The company has a procedure for maintaining the most up-to date editions in all locations. |
1A.3.1 | Open dialogue between vessel personnel and shore-based personnel to improve the SMS is encouraged. | Proactive feedback is encouraged from users including shore based personnel, vessel personnel and third parties. This may include: • Circulating industry and fleet incidents. • Industry alert bulletins. • Customer and contractor feedback forms. • Seminars. • Open reporting programmes. • Group conferencing via phone or video conferencing. |
1A.3.2 | Instructions and procedures covering shore and vessel operations are developed in consultation with those who will have to implement them. | Personnel are involved in developing instructions and procedures jointly in order to achieve effective guidelines. Methods may include: • Job descriptions include the development of procedures. • Involvement of vessel personnel with projects related to new legislation and equipment. |
Element 2: The ability of the company to recruit, manage, and retain sufficient, competent, and motivated shore-based personnel who are committed to the effective development and implementation of the Safety Management System (SMS). | |||
STAGE | KEY PERFORMANCE INDICATORS | BEST-PRACTICE GUIDANCE | |
2.1.1 | A pre-recruitment process is in place that ensures candidates for key shore-based positions have the appropriate qualifications, experience and competence. | The minimum qualifications and experience required for key positions are identified within the management system. | |
2.1.2 | The company has a documented recruitment process for key personnel. | This process may include: | |
2.1.3 | A formal familiarization process is in place for newly recruited key shore-based personnel. | The documented process may include familiarization with: | |
2.1.4 | There is a documented handover procedure for shore-based personnel. | The scope and depth of the handover process is determined by the responsibilities of the personnel involved and whether the handover is temporary or permanent. | |
2.1.5 | Up-to-date records of qualifications, experience and training courses attended for all key shore-based staff are maintained. |
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2.2.1 | A formal personnel appraisal system ensures that key personnel undergo a performance assessment at least annually. | The appraisal system may include: | |
2.2.2 | Retention rates for key personnel over a two-year period are calculated. | The company demonstrates how the retention rate is calculated (a recognized method is shown in the glossary). | |
2.3.1 | Key personnel retain core technical skills through training, refresher training and participation in industry forums, seminars and conferences. | Individual training plans and records are maintained. | |
2.3.2 | Sufficient shore-based personnel are provided to implement the SMS effectively. | The number of personnel is formally reviewed periodically and in the event of significant change. | |
2.3.3 | Targets for retention rates are formally reviewed and documented. | Retention rates are compared and analyzed against specified targets. | |
Element 3. The ability of the company and its management to recruit, develop, and retain suitably qualified, competent, and motivated vessel personnel who can consistently deliver safe, efficient, and reliable operations onboard company vessels. | ||
STAGE | KEY PERFORMANCE INDICATORS | BEST-PRACTICE GUIDANCE |
3.1.1 | Management has procedures for the selection, recruitment and promotion of all vessel personnel. | The company defines and documents who has responsibility for all aspects of manning. |
3.1.2 | All vessel personnel have valid medical certificates in compliance with Flag State and/or relevant authority requirements. | The company maintains copies of medical certificates and has a procedure to ensure that they are issued by an approved medical practitioner. |
3.1.3 | Procedures are in place to identify and manage mandatory training, including refresher training, for all vessel personnel. | The procedures may include a training matrix that clearly shows the mandatory training for all vessel personnel. Records of such training are maintained. |
3.1.4 | Formal familiarization procedures are in place for vessel personnel, including contractors. | The documented procedures may include familiarization with: |
3.1.5 | Documented handover procedures for key vessel personnel are in place. | The company defines key personnel onboard. |
3.2.1 | Appraisal procedures are in place for all vessel personnel. | The procedures may include: |
3.2.2 | Procedures are in place to provide company specific additional training for all ranks. | The procedures may include: |
3.2.3 | The company verifies that vessel personnel quality requirements are consistently met. | Irrespective of whether this function is performed internally, or by a manning agency, verification may include checking: |
3.2.4 | Procedures to identify additional training requirements for individual personnel are in place. | The need for additional training may be identified by the following: |
3.2.5 | There is an enhanced recruitment procedure for Senior Officers. | This procedure is documented and may include: |
3.2.6 | The company monitors and records training results and effectiveness. | The effectiveness of training may be measured by: |
3.2.7 | There is a documented promotion procedure. | Procedures cover a range of factors including, where appropriate: |
3.3.1 | There are enhanced appraisal procedures for Senior Officers | Appraisals are conducted by defined and appropriate personnel. |
3.3.2 | The company provides career development for Junior Officers and aims to promote Senior Officers from within the company, where possible. | Career development guidance is documented and clearly sets out the requirements necessary for promotion. |
3.3.3 | Training for vessel personnel exceeds the minimum requirements of the International Convention on STCW or of the relevant authority for vessel trade. | The company identifies additional training that will enhance the management of safety, security and environmental performance. |
3.3.4 | Personnel selection and recruitment is reviewed annually to ensure it complies with company policies and procedures. | Personnel departments, manning agents and third party personnel providers as applicable, are audited at their premises at least annually, in line with ISM internal audit requirements. |
Element 3A Wellbeing of Vessel Personnel The ability of management to safeguard and enhance the safety, health, welfare, and retention of vessel personnel through effective policies, resources, and support systems that ensure their wellbeing onboard and ashore. | ||
3A.1.1 | Procedures ensure that each vessel is appropriately manned in order to maintain safe operation onboard. | Manning levels are adequate, in terms of number and qualifications, to ensure the safety and security of the vessel and its personnel under all operating conditions. |
3A.1.2 | Shore management provides adequate resources to ensure the wellbeing of vessel personnel. | Management ensures that adequate resources are available to care for the wellbeing of the vessel's personnel, whether they are employed directly or through a manning agency. |
3A.1.3 | Procedures ensure that working and rest hours of all personnel are in line with the STCW, applicable Flag State requirements or any relevant authority guidelines for the vessel trade and are being accurately recorded and monitored. | Ensures that officers and vessel personnel are complying with the STCW and relevant authority for vessel trade hours of work and rest requirements. |
3A.1.4 | A formal D&A policy is implemented and a system is in place to monitor it on a regular basis. | The policy complies with OCIMF guidelines. |
3A.2.1 | A defined complaints procedure is in place. | The procedure complies with applicable flag and national requirements and may include a process ensuring that: |
3A.2.2 | A documented disciplinary procedure is in place. | The disciplinary procedure is in compliance with Flag and contractual requirements and gives clear guidance to the Master. |
3A.2.3 | Documented procedures are in place to ensure high standards of hygiene are maintained. | Procedures may include: |
3A.2.4 | Retention rates for Senior Officers over a two-year period are calculated. | The company monitors and records retention rates for differing Senior Officer ranks and is able to demonstrate how the retention rate is calculated (a recognized method is shown in the glossary). |
3A.3.1 | Seminars are held for Senior Officers that promote, emphasize and enhance the company's SMS. | Regular shore-based seminars are held for Senior Officers. |
3A.3.2 | An enhanced documented disciplinary procedure is in place. | The company philosophy related to disciplinary procedure is based upon Just Culture. The procedures cover employees and contractors and may include: |
3A.3.3 | Health awareness campaigns are implemented. | Health awareness campaigns may include: |
3A.3.4 | Retention rates for all officers over a two-year period are calculated. | The company monitors and records retention rates for all ranks and is able to demonstrate how the retention rate is calculated. |
Element 4. Vessel Reliability and Maintenance | ||
STAGE | KEY PERFORMANCE INDICATORS | BEST-PRACTICE GUIDANCE |
4.1.1 | Each vessel in the fleet is covered by a planned maintenance system and spare parts inventory which reflects the company's maintenance strategy. | The company identifies all equipment and machinery required to be included in the planned maintenance system, for example: |
4.1.2 | A defect reporting system is in place for each vessel within the fleet. | The defect reporting system covers all onboard equipment and includes Conditions of Class. |
4.1.3 | Company management regularly reviews the status of fleet maintenance. | The review process includes: |
4.1.4 | The company monitors outstanding planned maintenance tasks. | The number of outstanding planned maintenance tasks is recorded for individual vessels and the fleet as whole. |
4.2.1 | A procedure is in place to ensure the validity and accuracy of statutory and/or Classification certificates. | The procedure addresses: |
4.2.2 | Cargo, void and ballast spaces are inspected to ensure their integrity is maintained. | The frequency of inspections is determined by the applicable regulations of Class, Flag State and national authorities. In addition, industry recommendations are taken into account. |
4.2.3 | Superintendents verify maintenance and defect records during ship visits. | There is a procedure in place requiring appropriately qualified superintendents to visit and, whenever possible, sail on the vessel to confirm maintenance standards. The procedure may include: |
4.2.4 | The company has a formal system to develop dry-dock specifications, which involves collaboration between the vessel and shore management. | The system may include procedures and guidance for shore and vessel personnel on: |
4.3.1 | A common computer-based maintenance system onboard each vessel records all maintenance tasks and incorporates the defect reporting system. | The maintenance and defect reporting system may include: |
4.3.2 | The company policy is to maintain an optimum spare parts inventory or system redundancy for all vessels. | Sufficient spare parts are maintained on board and/or ashore. |
4.3.3 | Performance indicators have been developed to monitor fleet reliability. | Examples of possible performance indicators include: |
4.3.4 | The frequency and extent of structural inspection of the vessel's cargo ballast | An assessment is carried out in order to determine the frequency and extent of structural inspections it is based upon documented criteria, which may include: |
4.4.1 | The maintenance and | The system may: |
4.4.2 | The maintenance and defect reporting system tracks all deferred repair items for inclusion in the dry-dock specification. | The maintenance and defect reporting system may be integrated |
4.4.3 | The maintenance and defect reporting systems provide | Status reports for vessels and the fleet may include: |
4.4.4 | The planned maintenance system includes the use of condition-based monitoring in order to ensure optimal equipment performance. | Records are available to demonstrate the use of various |
4.4.5 | Comprehensive engineering audits are completed by a suitably qualified and experienced company representative. | The purpose of the audit is to: |
4A.1.1 | Critical equipment and systems are identified and listed within the SMS and the vessel's planned maintenance system. | Equipment and systems, the sudden operational failure of which |
4A.1.2 | A procedure is in place to manage the planned maintenance of critical equipment and systems. | The company is informed when critical equipment or systems are taken out of service for planned maintenance and when they are returned to service. |
4A.1.3 | A procedure is in place which requires shore management to be informed when critical equipment or systems become defective or require unplanned maintenance. | In electronic PMS the shore management is immediately informed upon input from the vessel including also unplanned maintenance. |
4A.1.4 | Procedures are in place to record the testing of critical equipment and systems that are not in continuous use. | Testing is performed in accordance with mandatory |
4A.2.1 | Maintenance on critical equipment and systems requiring them to be taken out of service is subject to risk assessment and management approval. | The risk assessment includes: |
4A.2.2 | Work instructions are available in the planned maintenance system for critical equipment and systems. | Planned maintenance of critical equipment is always carried |
4A.3.1 | Designated personnel are responsible for the maintenance and repair of critical equipment and systems. | The personnel responsible for performing maintenance and repairs on critical equipment and systems have the appropriate skills and competencies to perform the task. |
4A.3.2 | A procedure is in place to test and record performance data for all critical equipment and systems. | Comparisons are made between performance data |
4A.4.1 | The reliability and performance of critical equipment or systems | The company continually improves its maintenance system by forecasting necessary maintenance of critical systems, |
Element 5. NAVIGATIONAL SAFETY | ||
STAGE | KEY PERFORMANCE INDICATORS | BEST-PRACTICE GUIDANCE |
5.1.1 | The company designates appropriate shore-based personnel responsible for navigational standards. | Responsible person(s): |
5.1.2 | Comprehensive procedures to ensure safe navigation are in place. | These procedures may include: |
5.1.3 | Procedures to ensure effective bridge resource management are in place. | These procedures may include: |
5.1.4 | The company has procedures that ensure all navigational equipment is maintained as operational. | Procedures include: |
5.2.1 | A procedure is in place requiring the Master to conduct a navigational audit | The company provides a standard audit format, sets the frequency for completion and maintains records to monitor compliance with their requirements. |
5.2.2 | A procedure is in place for appropriate shore-based personnel to conduct navigational verification assessments. | The assessment, which may be conducted in port, includes as a minimum a review of passage plans, chart corrections, navigational records, navigational equipment, compliance with company procedures and verification of the Master's navigational audit. |
5.2.3 | The person(s) responsible for navigational standards ensures that navigational procedures are regularly reviewed and updated. | The procedures are updated to reflect new legislation, technology and updated industry standards. Examples may include: |
5.2.4 | The company has a procedure to identify recurring defects in navigational equipment across the fleet. |
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5.3.1 | Provision of charts, publications and electronic licenses is managed under contract by a recognized chart agent. | The company ensures that: |
5.3.2 | A formal program ensures that Senior Officers receive appropriate ship-handling training before promotion to Master or assignment to a new vessel type. | Ship-handling experience is gained by training under supervision on board, as a part of a documented competency development system, and may be supplemented by: |
5.3.3 | Comprehensive navigational audits are conducted while on passage by a suitably qualified and experienced company representative | In addition to a navigational verification assessment, the |
5.4.1 | Comprehensive navigational audits are conducted while on passage by a suitably qualified and experienced person. | The audit may be: |
5.4.2 | All navigational assessment and audit reports from the fleet are analyzed, trends identified and improvement plans are developed | Reports are analyzed to identify weak areas in navigational |
5.4.3 | Competency assessment program ensure that Masters and navigation officers maintain core and specialist skills. | The assessment program, which may be simulator based, includes an assessment of: |
5.4.4 | Navigation officers undertake periodic refresher bridge resource | The company operates a program to provide this training for all navigation officers at a specified frequency. |
Element 6. The ability of company personnel to plan, manage, and execute cargo, ballast, tank cleaning, and bunkering operations in a safe, efficient, and environmentally responsible manner, ensuring compliance with regulatory requirements and the protection of people, the vessel, and the marine environment. | ||
STAGE | KEY PERFORMANCE INDICATORS | BEST-PRACTICE GUIDANCE |
6.1.1 | Procedures for cargo, ballast, tank cleaning and bunkering operations are in place for all vessel types within the fleet. | The procedures include: |
6.1.2 | Procedures for preoperational tests and checks of cargo and bunkering equipment are in place for all vessel types within the fleet. | Tests and checks of equipment may include: |
6.1.3 | Management ensures that cargo, ballast and bunkering operations are conducted in accordance with company procedures. | Means of verification may include: |
6.1.4 | The company has procedures that address cargo specific hazards for all vessel types within the fleet. | Cargoes with specific hazards may include: |
6.2.1 | A comprehensive procedure for planning cargo, ballast and bunkering operations is in place for all types of vessel within the fleet. | The planning procedure is specific to the vessel type and cargo to be carried. This may include: |
6.2.2 | Comprehensive procedures cover all aspects of cargo transfer operations for each type of vessel within the fleet. | The transfer procedures are specific to the vessel type and cargo to be carried. These may include: |
6.2.3 | Comprehensive procedures cover all aspects of ballast handling operations. | The procedures may include: |
6.2.4 | Comprehensive procedures cover all aspects of tank cleaning operations for each vessel type within the fleet. | Tank cleaning and preparation may be required for various reasons including: |
6.2.5 | Comprehensive procedures cover all aspects of bunkering operations for each vessel type within the fleet. | Procedures address the various methods by which bunkers and lubricants are delivered including: |
6.3.1 | Standardized templates are used for planning and operational record keeping. | Templates are developed for cargo, ballast, tank cleaning and bunker operations, to cover different vessel types within the company fleet and reflect SMS requirements. Examples may include cargo plan, pumping log, ullage reports. |
6.3.2 | Procedures for each vessel type within the fleet ensure tank atmospheres are maintained within defined limits for each cargo type being carried throughout the voyage cycle. | For vessels fitted with an IGS: |
6.3.3 | The SMS includes procedures for non-routine or specialized cargo and ballast operations undertaken in the fleet. | These operations may include: |
6.3.4 | The SMS requires Junior Officers/relevant personnel to be actively involved in planning, line setting and execution of the cargo, ballast, tank cleaning and bunkering operations as part of their continuing personal development plan. The company promotes an effective team management approach to cargo, ballast, tank cleaning and bunker handling through on board training and mentoring. Training records and appraisal reports may be used to monitor progress. | |
Element 6A. The ability of company personnel to plan, coordinate, and conduct mooring and anchoring operations safely and effectively, ensuring the vessel remains securely positioned while safeguarding the wellbeing of all personnel involved and maintaining compliance with company and international standards. | ||
6A.1.1 | Procedures for mooring and anchoring operations are in place for all vessel types within the fleet. | The procedures include: |
6A.1.2 | Maintenance, testing and routine inspections of mooring and anchoring equipment is included in the planned maintenance system. | The planned maintenance system covers all mooring equipment. |
6A.1.3 | The company has procedures to manage the condition of mooring ropes, wires, mooring tails and joining shackles for all fleet vessels. | Procedures may include: |
6A.1.4 | The company has procedures that address the use of tugs. | Procedures may include: |
6A.2.1 | Detailed procedures address each different type of mooring operation likely to be undertaken by fleet vessels. | Procedures have been developed following risk assessments for each type of mooring operation, which may include: |
6A.2.2 | Procedures address all aspects of anchoring operations likely to be undertaken by fleet vessels | Procedures for anchoring operations have been developed, following risk assessments, which address: |
6A.2.3 | Procedures ensure that vessels remain safely moored at all times. | The procedures ensure that: |
6A.2.4 | Procedures are in place for the inspection, maintenance and replacement of wires, ropes, tails and ancillary equipment. | The procedures may include: |
6A.3.1 | Procedures identify requirements for personnel involved in mooring operations. | The requirements may include: |
6A.3.2 | Measures are taken to optimize onboard mooring arrangements to ensure the safety of vessel personnel. | Measures may include: |
6A.3.3 | Procedures address the use of all ancillary craft used in mooring and towage operations. | The procedures for ancillary craft may include: |
6A.3.4 | A process ensures that all mooring equipment and fittings comply with the latest industry guidance. | The process may include: |
Element 7. The ability of company management and personnel to evaluate, control, and implement changes to operations, procedures, equipment, or personnel in a structured manner that ensures all potential risks are identified, assessed, and mitigated before the change is executed. | ||
STAGE | KEY PERFORMANCE INDICATORS | BEST-PRACTICE GUIDANCE |
7.1.1 | There is a documented procedure for management of change. | The procedure addresses both permanent and temporary changes onboard and ashore. These may include: |
7.1.2 | A procedure is in place to ensure that the impact of any proposed change is assessed. | The assessment may include the following factors: |
7.1.3 | The management of change procedure clearly defines the levels of authority required for the approval of any changes. | The procedure ensures that any proposed change is approved at an appropriate level and not by the person directly involved in the change. |
7.1.4 | Procedures identify emerging requirements. | Such requirements may be legislative or industry recommended best practice, permanent or temporary, and cover: |
7.2.1 | The management of change process ensures all proposed temporary and permanent changes to onboard procedures and equipment are subject to risk assessment. | The risk assessment is conducted as a part of the planning of the proposed change. |
7.2.2 | Management of change identifies all personnel that may be affected by the change and ensures that they understand the extent and likely impact of any planned change. | The management of change procedures ensure personnel involved in the proposal, development, implementation, verification and monitoring stages of the change, are kept fully informed of the process to date. |
7.2.3 | Management of change procedures ensure that training needs arising from any proposed changes are identified and documented. | The procedures identify relevant training and familiarization requirements and personnel affected by the change are trained within a defined period. |
7.2.4 | Management of change identifies all documentation and records that may be affected by the change. | Permanent changes, and the review process that led to their approval, are documented. This mechanism links with and ties into, the document control system, so that important controlled documentation remains up-to-date. |
7.2.5 | Regular reviews are conducted of management of change plans being implemented. | The plans are sufficiently documented to facilitate the review and ensure that: |
7.3.1 | A management of change procedure is applied when the company acquires additional vessels. | The procedures apply to both new builds and existing tonnage and may include the following: |
7.3.2 | There is a periodic review of the outcome of all changes to ensure objectives have been met. | The company reviews the changes implemented to verify that they have-achieved their objectives. |
7.3.3 | A software management procedure covers all shipboard and shore systems. | The procedure may include: |
7.4.1 | For major changes to the shore organization, management of change procedures ensure that manning, competency and experience levels are maintained so that there is no deterioration in supervision and the management of key processes. | Such major changes might include: |
7.4.2 | The company actively seeks out improvements for new build design specifications | Design improvements are considered in future new-build specifications and existing vessels are upgraded proactively as required. Improvements may include: |
Element 8. Incident Reporting, Investigation and Analysis | ||
STAGE | KEY PERFORMANCE INDICATORS | BEST-PRACTICE GUIDANCE |
8.1.1 | Procedures ensure prompt reporting and investigation of incidents and significant near misses. | Procedures may include: |
8.1.2 | The reporting and investigation procedures ensure that all mandatory notifications are carried out within the required time frame. | Examples of mandatory reports include notifications to: |
8.1.3 | Procedures ensure the fleet is rapidly notified of urgent information related to incidents and near misses | Where an incident has occurred and the company has |
8.1.4 | Procedures ensure that incidents are investigated and analyzed. | The investigation and analysis is sufficiently detailed to accurately establish the root causes of the incident with the objective of improving safety and pollution prevention. |
8.1.5 | Procedures ensure that the appointed incident investigation team are appropriately trained and qualified to conduct the investigation and analysis. | The investigating team may comprise shore-based personnel, vessel personnel and/or third party contractors. |
8.2.1 | The incident-investigation procedure ensures that the root causes and factors contributing to an incident or significant near miss are accurately identified. | Procedures include a systematic methodology or tool to determine root causes. |
8.2.2 | The composition of the investigation team is established according to the severity and type of the incident. | The company has access to sufficient resources which may include vessel personnel who can conduct and/or assist with an investigation. |
8.2.3 | External training in incident investigation and analysis is given to at least one member of the shore-based management teams. | Industry recognized training providers are used to facilitate specific courses in incident investigation and analysis. |
8.2.4 | The safety culture encourages reporting of all near misses and incidents. | The reporting system is simple and user friendly in order to motivate and encourage fuII participation from all vessel personnel. |
8.2.5 | Lessons learnt from incidents are used to prevent any recurrence. | There is a process to analyze the identified root causes and to draw conclusions from incident investigations. The lessons learnt are effectively applied throughout the company to avoid repeat incidents. |
8.3.1 | Lessons learnt from incidents and near misses and safety performance statistics are promulgated across the fleet periodically. | Lessons learnt from incidents and near misses are included in safety bulletins or circular letters to all vessels and during company seminars. |
8.3.2 | Analysis of company incidents and significant near misses is conducted at periodic intervals. | The analysis can be used to: |
8.3.3 | Incidents and subsequent investigations are reported to oil major vetting departments. | Data may also be shared using the OCIMF incident data repository within SIRE. |
8.3.4 | Procedures ensure that incident investigation and analysis refresher training takes place after an appropriate period. | The appropriate period is defined by the company. The training is documented and recorded. |
8.4.1 | Incident analysis data is shared with industry groups. | Industry groups who can be contacted include Classification Societies, professional institutes, industry associations and equipment manufacturers. |
8.4.2 | Procedures ensure that, where possible, all trained personnel are given the opportunity to participate in incident investigation and analysis. | Trained personnel are given opportunities to participate in investigations and practice the relevant skills, before being expected to lead an investigation. |
Element 9. Safety Management | ||
STAGE | KEY PERFORMANCE INDICATORS | BEST-PRACTICE GUIDANCE |
9.1.1 | Safety standards are monitored across the | Procedures ensure that all onboard inspections include a safety element. |
9.1.2 | During vessel visits, every opportunity is taken to promote a strong safety culture across the fleet. | Meetings with the vessel personnel on safety related matters are conducted during shore management visits to vessels. |
9.1.3 | Procedures include a documented risk assessment system. | The risk assessments identify hazards and assess risk levels arising from work activities onboard the vessel and include identification of risks to health and hygiene. |
9.1.4 | A documented permit to work system is in place. | The permit to work is used to control the risks associated with hazardous tasks, such as enclosed space entry and hot work. |
9.2.1 | Risk assessments for routine tasks are used to develop safe working procedures. | The risk assessment identifies all hazards associated with a task and any personnel at risk. |
9.2.2 | The risk assessment process includes provision for assessing new, non-routine and unplanned tasks. | Where no safe working procedure exists, a risk assessment is carried out, reviewed and approved at an appropriate level defined by the company. |
9.2.3 | Risk assessments for new, non-routine and unplanned tasks are available to all relevant personnel. | Such risk assessments are assessed by shore-based personnel to ensure that they are fit for purpose. |
9.2.4 | Procedures ensure that all identified mitigation measures are completed prior to commencing work. | Procedures may include: |
9.2.5 | Procedures manage the safety of contractors on board. | These procedures may: |
9.3.1 | A formal process is in place for shore management to review all risk assessments periodically. | The review process ensures that all risk assessments remain relevant by considering, for example: |
9.3.2 | Proprietary safety tools are used to encourage hazard identification and to improve safety awareness throughout the organization | Such tools may include: |
9.3.3 | The company selects and maintains a list of approved contractors. | There are detailed procedures for the selection of contractors which may include: |
Element 9A. Safety Management | ||
9A.1.1 | Procedures require that safety inspections are conducted at scheduled intervals by a designated Safety Officer. | Safety inspections of the vessel: |
9A.1.2 | The company safety culture encourages all personnel to identify, report and where applicable address hazards. | Procedures require that any identified hazards are addressed. |
9A.1.3 | On board safety meetings are held at least monthly. | Meetings are attended by all available personnel and minutes recorded. |
9A.1.4 | Procedures require daily work planning meetings to take place | Work planning: |
9A.2.1 | Intervention to prevent unsafe acts and | Safety intervention techniques used may include: |
9A.2.2 | Appropriate training in hazard identification and risk assessment is provided to vessel personnel. | Various levels of training are provided based upon individual roles and responsibilities |
9A.3.1 | Procedures encourage the reporting of safety best practices. | Personnel are actively encouraged to submit safety related ideas by methods such as personnel competitions |
9A.3.2 | Procedures measure and compare the strength of the safety culture | Procedures measure: |
9A.3.3 | Management identifies opportunities to strengthen their safety culture through interaction with fleet personnel. | Examples of methods of interaction might include |
Element 10. The ability of company management to develop and implement an environmental and energy management plan that identifies sources of emissions, optimizes energy efficiency, reduces environmental impact, and sets measurable targets for continual improvement in environmental performance. | ||
STAGE | KEY PERFORMANCE INDICATORS | BEST-PRACTICE GUIDANCE |
10.1.1 | An environmental protection policy and management plan is in place. | The policy, which is signed by senior management, includes a commitment to minimizing the environmental impact of operations. |
10.1.2 | All sources of marine and atmospheric emissions attributable to company and vessel activities have been systematically identified. | These sources could include: |
10.1.3 | Procedures minimize marine and atmospheric emissions and ensure that they are always within permitted levels. | Procedures may include: |
10.2.1 | The environmental management plan includes energy efficiency and fuel management. | Energy management may include monitoring and reporting requirements for the following: |
10.2.2 | The environmental management plan addresses efficient use of energy and includes actions to improve environmental performance. | Actions may include: |
10.2.3 | The company seeks to optimize vessel energy efficiency. | Measures may include: |
10.2.4 | The environmental management plan includes procedures for fuel management in order to ensure regulatory compliance, energy efficiency and reduced emissions. | Procedures to ensure quality control of fuel may include: |
10.3.1 | The potential environmental impact of all company and vessel activities is subjected to evaluation. | The evaluation may include: |
10.3.2 | Specific emissions reduction targets are set in the environmental management plan. | Targets may be set for: |
10.3.3 | A long-term environmental plan is maintained. | The plan may include: |
10.3.4 | Environmentally sound ship recycling practices are employed/adhered to. |
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10.3.5 | Environmental performance improvements are incorporated during the new build process. | This may include: |
Element 11. The ability of company management and personnel to establish, maintain, and regularly test an emergency response system that ensures continual readiness to respond effectively to incidents and manage them in a safe, coordinated, and controlled manner. | ||
STAGE | KEY PERFORMANCE INDICATORS | BEST-PRACTICE GUIDANCE |
11.1.1 | Detailed vessel emergency response plans include initial notification procedures and cover all credible emergency scenarios. | Vessel emergency response plans are reviewed at least annually, to reflect changes in legislation, contact details, vessel equipment and changes in company procedures. |
11.1.2 | A detailed shore-based emergency response plan covers all credible emergency scenarios. | The shore plan includes effective notification procedures and communication links for rapidly alerting the emergency response team and ensures there is 24-hour cover that takes account of holidays and work-related travel arrangements. |
11.1.3 | The shore-based emergency response plan has clearly defined roles, responsibilities and record keeping procedures. | The plan sets out the actions to be taken for each of the defined roles. |
11.2.1 | The company provides suitable emergency response facilities. | This may include a dedicated room with facilities such as: |
11.2.2 | The scope and frequency of drills and exercises is determined by the number and type of vessels within the fleet and their trading pattern(s). | An exercise schedule is used to ensure that exercises are conducted within the given time frame. |
11.2.3 | The plan includes procedures and resources to interact with the media. | The interaction with media may include: |
11.2.4 | Lessons learnt from exercises and actual incidents are incorporated into the emergency response plans. | Following an exercise or incident, the company: |
11.3.1 | Records are kept of participants who have been involved in emergency drills and exercises. | All personnel assigned a role take part in an exercise at regular intervals. |
11.3.2 | Arrangements are in place to use external resources in an emergency. | Contact details are readily available for: |
11.3.3 | Drills and exercises test the effectiveness of arrangements to call on external consultants and resources. | External resources are mobilized at least annually. |
11.3.4 | Business continuity, in the event of potential disruption to the main place of business, has been addressed. | The company documents how they would maintain shore-based operations in order to ensure safe management of the fleet. |
11.3.5 | Procedures address recovery following an incident. | Procedures may include: |
Element 12. The ability of company management to implement effective inspection and audit programmes that monitor vessel condition and SMS compliance, analyse results to drive continual improvement, and maintain the SMS as a living system integrated at the core of business operations. | ||
STAGE | KEY PERFORMANCE INDICATORS | BEST-PRACTICE GUIDANCE |
12.1.1 | A company specific format is used for conducting and reporting vessel inspections. | The standard format is used as a basis for all vessel inspections. |
12.1.2 | An inspection plan covers all vessels in the fleet, with at least two inspections of each vessel a year. | The inspection is conducted by suitably experienced superintendent(s) |
12.2.1 | The inspection format is of a standard that is at least equivalent to the vessel inspection reports issued by industry bodies such as OCIMF, COi or EBIS. | The format is reviewed against industry formats and in addition |
12.2.2 | A system records any deficiencies identified by the inspections and tracks them through to close out. | The outcome of inspections is recorded and deficiencies tracked |
12.3.1 | To improve vessel standards, | Identified best practices are shared with the fleet. |
12.3.2 | In order to improve the inspection process, analysis of inspection results is compared with data from third party inspections | The company compares its own inspection results with the results of inspections conducted by third parties. |
12.3.3 | The inspection process identifies weaknesses in personnel familiarity with equipment and operations | Where the review of the inspection report indicates that the root |
12A.1.1 | The company has documented audit procedures and standard audit formats. | The formats are designed, as required, for ISM, the ISPS Code, ISO Standards and any company internal audits. |
12A.1.2 | Company auditors are appropriately trained and qualified. | Auditors have received formal audit training. |
12A.1.3 | An audit plan covers all vessels and company offices. | The plan provides for audit(s) of the entire company organization and fleet at specified intervals. |
12A.2.1 | Audit results are reported to management within a specified time frame. | The audit procedure sets an internal performance standard |
12A.2.2 | Audits are performed in line with the audit plan. | Any deviations to the audit plan are justified and approved by senior management. |
12A.3.1 | All audit non-conformities are closed out within the prescribed time frame. | All non-conformities are tracked through to completion and records demonstrate effective close out of required corrective actions. |
Element 13. SECURITY | ||
STAGE | KEY PERFORMANCE INDICATORS | BEST-PRACTICE GUIDANCE |
13.1.1 | Documented security plans are in place. | The plans cover all aspects of activities including: |
13.1.2 | The company has documented procedures | Security threats may include: |
13.1.3 | Measures have been developed to mitigate and respond to all identified threats to vessels and shore based locations. | Mitigating measures may include: |
13.1.4 | Procedures are in place to obtain, manage and review current security related information. | Security information is obtained by the company from appropriate sources that may include: |
13.1.5 | Procedures include the reporting of potential security | The reporting procedures may include: |
13.2.1 | Formal risk assessments of company activities are undertaken to identify and mitigate potential security threats. | The risk assessments are regularly reviewed, updated and company procedures amended as necessary. |
13.2.2 | The personnel responsible for security receive training appropriate to their role and the company's activities. | Training reflects the scope of the company's activities and, where required, meets minimum international or national legislative requirements. |
13.2.3 | Policy and procedures include cyber security | Risks to IT systems may include: |
13.2.4 | The company actively promotes cyber security awareness. | Effective means are used to encourage responsible behavior by shore-based personnel, vessel personnel and third parties. |
13.3.1 | A travel policy is in place to minimize security threats to personnel. | The policy is based on risk assessment and includes vessel personnel, shore-based personnel and contractors travelling on company business. |
13.3.2 | Security procedures are updated taking into account current guidance. | Industry guidance may include: |
13.3.3 | The security policy and related procedures are included in the internal audit program. | The audit assesses compliance with all aspects of company security procedures, including personal awareness and behavior. |
Element 14. The ability of company management to ensure that all personnel, ashore and onboard, possess the knowledge, skills, and commitment required to perform at the highest standards, thereby promoting safe, secure, efficient operations and protecting the environment. | ||
STAGE | KEY PERFORMANCE INDICATORS | BEST-PRACTICE GUIDANCE |
14.1.1 | The SMS defines an inter-departmental group responsible for Human Element matters | This group should include representatives of the relevant corporate functions: operations, safety, ship and technology design/acquisition, recruitment, manning, and training. Ideally as well as managers, the group should include appropriate subject matter experts (SMEs) such as specialists in ergonomics, human factors, and organizational psychology. SMEs could be company employees or consultants brought in to help with specific issues. Importantly input should be sought from front-line personnel in the form of concerns, current problems, and suggested improvements. |
14.1.2 | The SMS contains a clear statement of the values that the company requires to be reflected in the behaviour of employees and contractors. | Common values in the tanker industry may include: |
14.1.3 | The SMS specifies the company will develop and maintain a Human Performance Development Plan | A key responsibility of the HESG is to produce, oversee and maintain a Human Performance Development Plan. This plan should specify how the company is going to address the five pillars of successful human performance (see Introduction to Chapter 14): |
14.1.4 | The SMS defines channels of communication between crews on ships and senior management | The SMS should define what information should routinely pass between senior management and crews, how this information should be communicated, and how often. There should also be designated channels for communicating about non-routine events, requests, safety concerns, etc. as well as positive reports on what is working well and suggestions for improvements in working practices. |
14.2.1 | The company provides training for all personnel in safety critical roles to enable them to respond effectively in challenging situations compliant with “The 2010 Manila amendments to the STCW Convention and Code” and also meets any further company specific requirements. | The STCW 2010 Manila Amendments introduced a range of new requirements for seafarers. The sections of the STCW 2010 Manila Amendments relevant to this chapter are: |
14.2.2 | The company provides personnel on ships with methods, tools and training to assess human performance in safety critical roles. | Assessments should follow a standard procedure specifying: |
14.2.3 | A procedure is in place requiring the designated onshore managers and Masters to conduct regular reviews of standards of performance of safety-critical crew tasks | The company provides a standard review format based on the Five Pillars, sets the frequency for the conduct of reviews, and maintains records to monitor compliance. Corporate oversight of these reviews should be a responsibility of the HESG (see 14.1.1) |
14.2.4 | The Master is required to take action to improve any areas of sub-standard performance with support from the company where necessary | If an assessment reveals aspects of human performance where improvement is possible and local action is feasible, the Master together with the shipboard team should initiate action at the earliest opportunity. |
14.3.1 | Comprehensive independent human performance audits are conducted while on passage by a suitably qualified and experienced person. | Human Performance Reviews by ship personnel are complemented with audits by an independent auditor or auditing team that includes staff qualified in applied or organizational psychology, and/or a safety professional with experience in the practice and drivers of behavioural safety and resilience. |
14.3.2 | The company operates an Error Management System (EMS). | It is important to keep in mind that the purpose of the EMS is not to assign blame, but to support the company in its striving for and delivering operational excellence. The EMS exists to inform the strategic plan for improving effectiveness and safety. It should support the building of stronger performance and proactively eliminating critical failures. |
14.3.3 | The company provides all personnel engaged in safety-critical activities to facilitate advanced training in decision making under pressure, and teamwork | To take on a particular role in tanker operations a person must demonstrate they have certain levels of competence. At the beginning the person will typically have achieved the minimum standards. To move beyond the minimum requires practical work experience and focused training. This can be characterized as a progression from competent to proficient to expert. |
14.3.4 | The company should regularly review levels of motivation in staff engaged in safety-critical work. | All human performance at work depends on motivation. Without motivation, performance will fall short of the safe, reliable standards required on a tanker. Staff turnover is likely to be high, reducing overall levels of competence. |