SUPERVISOR NJ EXAM STUDY GUIDE 2026 FULL
QUESTIONS AND CORRECT ANSWERS
• Operating and maintenance program:. Answer: means a program
of work practices to maintain friable ACM in good condition, ensure
clean up of asbestos fibers previously released, and prevent further
release by minimizing and controlling friable ACBM disturbance or
damage.
• AHERA (Asbestos Hazardous Emergency Response Act) <final air
sampling> for removal, enclosure, or encapsulation requires that:.
Answer: If < 260 linear ft or < 160ft^2 it's OK to use PCM (Phase
contrast Micros.) If > 260 linear ft or >160 ft^2 only use TEM
(Transmission Electron Mic.)
• Federal employees. Answer: Employees of local education agencies
who perform operations and maintenance (O&M), and repair
activities involving ACM are protected not by OSHA, but instead - are
protected by US-EPA 40CFE763: Worker protection - Final Rule.
• Notification requirements for demolitions jobs in which ACM will
be disturbed.. Answer: The US-EPA must be notified within 10
working days for large and small jobs.
, • Record keeping requirements for: Objective Data & Employee
exposure measurements.. Answer: The employer shall maintain
these records for at least 30 years.
• Record Keeping Requirements For: Medial Survailance. Answer:
The employer shall maintain these records for the duration of
employment plus 30 years.
• Record Keeping requirements for: Training Records. Answer: The
employer shall maintain these records for one (1) year beyond the
last day of employment by that employer.
• If the fiber exposure levels inside the work area increased from 0.2
f/cc to 2 f/cc what could have caused this increase?. Answer: ACM
was not sufficiently wet.
• What is considered "sufficiently wet". Answer: • sufficiently wet or
adequately wet means that sufficient mix or penetrate solution
(surfactant) has been added to liquid (water) and applied to the
ACM surface so as to prevent the release of particulates.
• If visible emissions are observed coming from ACM. Then that
material has not been adequately wetted.
QUESTIONS AND CORRECT ANSWERS
• Operating and maintenance program:. Answer: means a program
of work practices to maintain friable ACM in good condition, ensure
clean up of asbestos fibers previously released, and prevent further
release by minimizing and controlling friable ACBM disturbance or
damage.
• AHERA (Asbestos Hazardous Emergency Response Act) <final air
sampling> for removal, enclosure, or encapsulation requires that:.
Answer: If < 260 linear ft or < 160ft^2 it's OK to use PCM (Phase
contrast Micros.) If > 260 linear ft or >160 ft^2 only use TEM
(Transmission Electron Mic.)
• Federal employees. Answer: Employees of local education agencies
who perform operations and maintenance (O&M), and repair
activities involving ACM are protected not by OSHA, but instead - are
protected by US-EPA 40CFE763: Worker protection - Final Rule.
• Notification requirements for demolitions jobs in which ACM will
be disturbed.. Answer: The US-EPA must be notified within 10
working days for large and small jobs.
, • Record keeping requirements for: Objective Data & Employee
exposure measurements.. Answer: The employer shall maintain
these records for at least 30 years.
• Record Keeping Requirements For: Medial Survailance. Answer:
The employer shall maintain these records for the duration of
employment plus 30 years.
• Record Keeping requirements for: Training Records. Answer: The
employer shall maintain these records for one (1) year beyond the
last day of employment by that employer.
• If the fiber exposure levels inside the work area increased from 0.2
f/cc to 2 f/cc what could have caused this increase?. Answer: ACM
was not sufficiently wet.
• What is considered "sufficiently wet". Answer: • sufficiently wet or
adequately wet means that sufficient mix or penetrate solution
(surfactant) has been added to liquid (water) and applied to the
ACM surface so as to prevent the release of particulates.
• If visible emissions are observed coming from ACM. Then that
material has not been adequately wetted.