★ Compliance ★

Built around the standard,
not retrofitted to it.

OSHA 29 CFR 1910.147 — The Control of Hazardous Energy — defines what a lockout/tagout program must do. Setyr was designed against those requirements from the start. Here is how the platform maps to the parts of the standard that shape day-to-day work.

The Standard, Point by Point

How Setyr supports 1910.147

This is a plain-language mapping, not legal advice. Compliance always depends on how a program is run — Setyr is the system that makes running it correctly the path of least resistance.

(c)(1) Supported
Energy control program
A single system holds procedures, execution records, and review history together — the documented program OSHA expects, in one place rather than scattered across binders.
(c)(4) Supported
Energy control procedures
Equipment-specific procedures capture each energy source and isolation point, with the lock / tag / verify steps a technician follows in the field.
(c)(6) Supported
Periodic inspection
Procedures carry review due-dates tied to the specific version in force. The system surfaces what is coming due, and records each review as its own entry — supporting the required annual inspection.
(c)(7) Roadmap
Training & communication
Procedures and records are written to be readable and usable by the people doing the work. Formal training-record tracking is on the roadmap rather than shipping today.
(d) Supported
Application of control
The guided execution flow walks through shutdown, isolation, lock/tag application, stored-energy release, and verification in the sequence the procedure defines.
(e)(3) Supported
Lock removal in the owner’s absence
Removing another worker’s lock when they are unavailable is a first-class, logged action with its own controls — not an untracked exception scribbled on paper.
(f)(3) Supported
Group lockout
Each worker applies and accounts for their own lock with individual confirmation, so personal protection is preserved across the whole crew.
(f)(4) Supported
Shift / personnel changes
Person-in-charge governance makes handoffs explicit — assignment, acceptance, and sign-off are recorded, so continuity of protection across a shift change is visible and documented.

Section references are summarized for clarity. The authoritative text is the regulation itself; Setyr supports compliant programs but does not replace your own legal and safety review.

Why It Holds Up

The record is the compliance artifact

An inspection is only as good as the evidence behind it. In Setyr, the evidence is not a PDF generated after the fact — it is the work itself. Every step confirmation and every reversal is captured as it happens, in an append-only history that is not quietly overwritten.

That means the completed record shows what was done, in what order, and by whom — the questions an auditor actually asks. Reports are drawn from that same underlying record, so what you show matches what occurred.

Captured live

Recorded during execution, not reconstructed afterward.

Append-only

Reversals are added as new entries; history is never silently rewritten.

Attributable

Who did what, and when, is part of the record by default.

Reportable

Site- and enterprise-level reporting drawn from the same source of truth.

Map Setyr to your program

Bring your procedures and your compliance requirements. We will show you how they translate into Setyr — and where the system carries the burden for you.