Lead-Safe Screening on Pre-1978 Homes: the full procedure
Determine whether a job is in a pre-1978 home that triggers the EPA RRP rule, and stop to follow lead-safe requirements before disturbing painted surfaces.
- Applies to: Owner / lead (certified renovator where required)
- Frequency: Every job in a pre-1978 structure
- Scope: Covers the business process of screening for the EPA RRP trigger and routing the job to lead-safe handling. This SOP does NOT teach lead-safe work practices or certification — all of that defers entirely to the EPA Renovation, Repair and Painting (RRP) rule, EPA-approved training, and your business safety plan. When the rule applies, follow it; this SOP only ensures you catch it.
What you need
- Job intake form with build-year field
- EPA RRP "Renovate Right" pamphlet
- EPA-recognized lead test kit (where used)
- Firm/renovator certification records
- Documentation/photo log
The procedure, step by step
- Determine the build year — At intake, record whether the home or child-occupied facility was built before 1978. This single question routes the entire job.
- Apply the RRP trigger — If the structure predates 1978 and the work will disturb painted surfaces above the minor-repair threshold (more than 6 sq ft of interior paint per room, or 20 sq ft exterior), the EPA RRP rule applies. Treat it as triggered until proven otherwise.
- Stop and route to lead-safe handling — When triggered, do not begin work under the normal production SOPs. The job must be handled by a certified firm with a certified renovator and lead-safe work practices per the EPA RRP rule — this SOP defers entirely to that rule and EPA training for how.
- Verify certification and notification — Confirm the firm certification and assigned certified renovator are current, and that the required EPA lead-hazard information ("Renovate Right") was provided to the owner/occupants as the rule requires.
- Confirm testing or assume lead — Either test painted surfaces using an EPA-recognized method, or assume lead-based paint is present and proceed lead-safe. The choice and procedure defer to the RRP rule.
- Document the determination — Record the build year, the RRP applicability decision, certification on file, and the information delivered. This protects the business and is required recordkeeping under the rule.
- Brief the crew on constraints — If the job is lead-safe, the crew must follow the RRP-required containment, work practices, and cleanup — not the standard dust-control setup alone. Defer the specifics to the safety plan and EPA training.
- Proceed only when compliant — Resume normal production only once the lead-safe requirements are satisfied or the job is confirmed exempt (post-1978, or under the minor-repair threshold).
Quality check before you finish
- Build-year (pre- vs post-1978) is recorded on every job intake.
- The RRP applicability decision (triggered / exempt) is documented with the reason.
- For triggered jobs, current firm certification and an assigned certified renovator are confirmed on file.
- Required lead-hazard information was delivered to the owner/occupants per the rule.
- Painted surfaces are tested or assumed lead-based per the RRP rule.
- Crew briefing reflects lead-safe constraints, not standard dust control alone.
- All lead-safe handling defers to the EPA RRP rule, EPA training, and the safety plan — this SOP only screens and routes.
This is a free, source-anchored standard operating procedure (SOP) you can print and hand to staff. It documents the work sequence for a Drywall business — not safety or regulatory rulings, which defer to the cited authorities, the applicable code, and your own health-and-safety plan. Open the tool above to print it, toggle ink-saver, or (with a free ToolFluency Business account) edit it to match your own workflow.
Sources
- EPA — Lead Renovation, Repair and Painting (RRP) Program (https://epa.gov)
- EPA — Renovate Right lead-hazard information (https://epa.gov)
- OSHA — Lead in Construction 29 CFR 1926.62 (https://osha.gov)
About Free Lead-Safe Screening SOP
Free printable lead-safe screening SOP: catch the EPA RRP trigger on pre-1978 homes before disturbing paint. Defers all lead-safe work to the EPA RRP rule.
How to use
- Read the full procedure top to bottom before the work — the SOP runs in order and each step builds on the last.
- Toggle Ink-saver (black & white) for a cheaper mono print for the binder; leave it off for the full-color version.
- Click Print SOP to print or save as PDF. Print one per crew, laminate it for the binder, or attach it to the job in your scheduling system.
- Train new hires on it and have staff sign off. Found something out of date? Use the feedback link — flagged SOPs are re-researched against the source list.
Frequently asked questions
When does the EPA RRP rule apply to a drywall job?
It applies when paid work disturbs painted surfaces in housing or child-occupied facilities built before 1978, above the minor-repair threshold (more than 6 sq ft of interior paint per room or 20 sq ft exterior). When triggered, the firm and an assigned certified renovator must follow lead-safe work practices — this SOP only screens for the trigger and defers all handling to the EPA RRP rule.
Do I have to test for lead, or can I just assume it?
Under the EPA RRP rule you may either test painted surfaces using an EPA-recognized method or assume lead-based paint is present and proceed lead-safe. The testing procedure, work practices, certification, and recordkeeping all defer to the RRP rule and EPA-approved training — this SOP does not substitute for them.
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