Establishment profile
BAE SYSTEMS
9113 LESAINT DRIVE, FAIRFIELD, OH, 45014
336992 — Military Armored Vehicle, Tank, and Tank Component Manufacturing
Summary
BAE SYSTEMS has accumulated 7 OSHA violations across 4 inspections over 18 years of recorded history, with $18,058 in total assessed penalties.
The establishment sits in the 68th percentile for violations within its industry-state peer group of 23 employers. Inspection frequency runs at the 86th percentile. The most recent enforcement activity was recorded 14 years ago.
Federal records were found in 1 of 15 sources. Sources without matching records returned empty for this establishment.
Agency coverage
BAE SYSTEMS appears in OSHA workplace safety and UVA Corporate Prosecution Registry records only. No matching records were found in WHD wage enforcement, MSHA mine safety, EPA environmental compliance, NLRB labor relations, OFLC visa and labor certification (historical), FMCSA motor carrier registration, SAM.gov federal debarment, CMS nursing home enforcement, CPSC product recalls, or NHTSA vehicle recalls.
OSHA workplace safety
75% of inspections at this establishment produced violations, with 2 inspections producing serious-or-greater violations.
Most-cited OSHA standards
Top OSHA standards cited at this employer, ranked by citation count. Standards (CFR sections) cluster citations into safety themes -- machine guarding, lockout-tagout, hazard communication, fall protection, process safety, etc. A concentration on one or two sections reveals a pattern that individual citations don’t. 7 distinct standards shown · 7 citations in this view · $18,058 in penalties.
| CFR section | Citations | Inspections | Total penalty | First cited | Last cited |
|---|---|---|---|---|---|
| 29 CFR 1910.0134 G01 IB | 1 | 1 | $5,000 | May 2008 | May 2008 |
| 29 CFR 1910.1200 H01 | 1 | 1 | $4,000 | Jul 2008 | Jul 2008 |
| 29 CFR 1910.0132 A | 1 | 1 | $4,000 | May 2008 | May 2008 |
| 29 CFR 1910.0178 L03 | 1 | 1 | $3,463 | Nov 2007 | Nov 2007 |
| 29 CFR 1910.0252 B02 III | 1 | 1 | $1,000 | Nov 2007 | Nov 2007 |
| 29 CFR 1910.1200 G01 | 1 | 1 | $595 | Feb 2012 | Feb 2012 |
| 29 CFR 1910.0134 K06 | 1 | 1 | — | Jul 2008 | Jul 2008 |
Source: OSHA inspection citations (violation_detail). CFR section codes can be looked up at osha.gov/laws-regs for the formal standard text. Per-inspection detail and the specific violation descriptions are available by expanding individual inspections below.
Peer comparison
Above average violations in NAICS 3369 within OH. Peer group: 23 employers. This establishment has 7 OSHA violations; peer median is 3.
Safety self-report (OSHA 300A)
No self-reported injury rates filed with OSHA's Injury Tracking Application for BAE SYSTEMS. Verify directly with OSHA Injury Tracking Application →
Industry benchmark
BLS rates reflect industry-wide averages. Self-reported figures come from OSHA’s Injury Tracking Application; absence of self-reported data does not necessarily indicate non-compliance — many establishments fall below the ITA reporting threshold.
Inspection breakdown
Complaint- and accident-triggered inspections are stronger risk signals than routine planned inspections.
OSHA severe injury reports
No severe injury reports (hospitalization, amputation, or loss of an eye) on file under 29 CFR 1904.39 for BAE SYSTEMS. Verify directly with Occupational Safety and Health Administration →
Activity timeline
No federal enforcement activity has been recorded against this establishment in 14+ years. Most recent activity: 14 years ago. Data on this page is refreshed weekly.
Wage & Hour Division (WHD)
No WHD wage, overtime, or child-labor enforcement cases on file for BAE SYSTEMS. Verify directly with Wage and Hour Division →
Mine safety (MSHA)
No MSHA mine safety violations on file for BAE SYSTEMS. Verify directly with Mine Safety and Health Administration →
Labor relations (NLRB)
No NLRB unfair labor practice charges or union representation cases on file for BAE SYSTEMS. Verify directly with National Labor Relations Board →
Visa & labor certification (OFLC) — historical
No H-1B, H-2A, or H-2B labor condition applications on file (historical data only — DOL ended OFLC publication) for BAE SYSTEMS. Verify directly with Office of Foreign Labor Certification →
Environmental compliance (EPA)
No EPA inspections or formal enforcement actions on file for BAE SYSTEMS. Verify directly with Environmental Protection Agency →
EPA-registered facilities
Every EPA ECHO facility associated with this employer, sorted most-significant first. Each row links to EPA’s Detailed Facility Report for the source-of-truth record. Permits column lists active programs (Air = Clean Air Act, Water = Clean Water Act, RCRA = hazardous waste, TRI = Toxics Release Inventory reporting). 3 facilities · 2 marked inactive.
| Facility | Permits | Status | Inspections | Formal actions | Penalties | Last inspected | ECHO |
|---|---|---|---|---|---|---|---|
BAE SYSTEMS 4175 MUHLHAUSER · FAIRFIELD, OH, 45014 | Air | No Violation Identified | 0 | 0 | — | — | View → |
BAE SYSTEMS 4274 THUNDERBIRD LANE · FAIRFIELD, OH, 45014 | RCRA | No Violation Identified | 0 | 0 | — | — | View → |
BAE SYSTEMS (1409031040) 8779 LE SAINT DR · FAIRFIELD, OH, 45014 | AirRCRA | No Violation Identified | 0 | 0 | — | — | View → |
Source: EPA ECHO (Enforcement and Compliance History Online). Compliance status follows EPA’s own labels (“Sig Violation” = significant noncompliance; QNCR = quarters of noncompliance over the recent reporting window). Inactive facilities (struck through) retain historical enforcement records even after operations ceased.
Federal criminal prosecution record
First case: 2010-03-02. Most recent: 2010-03-02. Source: UVA Corporate Prosecution Registry — federal pleas, DPAs, and NPAs.
Federal prosecution case file
Federal corporate prosecution records from the University of Virginia Corporate Prosecution Registry. DPA = Deferred Prosecution Agreement; NPA = Non-Prosecution Agreement; both are pre-trial settlements where the defendant accepts terms but avoids conviction. Monitor = court-appointed compliance oversight, usually 2-5 years. 1 case · 1 plea/conviction · $400,000,000 in penalties / restitution.
| Case | Date | Disposition | Crime | Jurisdiction | Total payment | Monitor |
|---|---|---|---|---|---|---|
USA v. BAE SYSTEMS PLC BAE Systems plc · BAESF | Mar 2010 | plea | Import / Export | USDOJ - Criminal Division,USDOJ - National Security Division | $400,000,000 | No |
Source: University of Virginia Corporate Prosecution Registry (maintained by Prof. Brandon L. Garrett, Duke University). The registry has no state or jurisdiction-of-incorporation field on the company side, so same-name employers in different states may mis-attribute -- verify against the source case documents when precision matters.
Inspection history
| Date | Trigger | Violations | Serious | Penalty | |
|---|---|---|---|---|---|
| 2012-01-24 | Complaint | 1 | — | $595 | |
| 2009-10-09 | Unprogrammed Related | 0 | — | $0 | |
| 2008-05-05 | Complaint | 4 | 2 | $13,000 | |
| 2007-10-17 | Complaint | 2 | 2 | $4,463 |
Source: OSHA IMIS. Citation amounts reflect initially assessed penalties; final amounts after appeal may differ.
In the news
Other employers in this industry and state
Other employers in military armored vehicle, tank, and tank component manufacturing within OH, ordered by federal enforcement volume:
- GENERAL DYNAMICSLima — 2 federal enforcement records
- GENERAL DYNAMICS LAND SYSTEMSLIMA — 2 federal enforcement records
- OHIO ARMOR, INC.NEWARK — 1 federal enforcement record
- BAE SURVIVABILITY SYSTEMS, INC.FAIRFIELD — 1 federal enforcement record
- THE CHAMPION COMPANYSPRINGFIELD — 1 federal enforcement record
- BAE SURVIVABILITY SYSTEMS LLCHAMILTON — 1 federal enforcement record
- BAE SYSTEMS SURVIVABILITY SYSTEMS LLCFAIRFIELD — 1 federal enforcement record
- BAE SURVIVABILITY SYSTEM, LLCFAIRFIELD — 1 federal enforcement record
Related searches
- Military Armored Vehicle, Tank, and Tank Component ManufacturingAll employers in this industry
- Employers in OHState-wide enforcement data
- Military Armored Vehicle, in OHIndustry × state cross-filter
About this data
This profile aggregates federal enforcement records on BAE SYSTEMS from every major federal compliance and enforcement source plus the UVA Corporate Prosecution Registry. OSHA workplace safety inspections, WHD wage cases, MSHA mine safety, EPA environmental enforcement, NLRB labor relations, OFLC visa/labor certification, FMCSA motor carrier registration, SAM.gov debarments, CMS nursing-home records, BLS industry safety benchmarks, OSHA ITA self-reported injury rates, SEC enforcement and financial disclosures, CPSC and NHTSA recalls.
Establishments are matched across agencies using normalized employer name, state, and ZIP code.
OSHA citations typically appear 3–8 months after the inspection, so very recent enforcement actions may not yet be reflected. Profiles may be incomplete if the establishment operates under multiple legal names or files under variations our entity-matching rules don’t yet cover. To report a missing record or correction, email corrections@fastdol.com.
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Contact sales →Frequently asked
- What is BAE SYSTEMS's OSHA violation history?
- BAE SYSTEMS has 4 OSHA inspections on record with 7 violations and $18,058 in total penalties.
- How does BAE SYSTEMS's safety record compare to its industry?
- BAE SYSTEMS operates in the military armored vehicle, tank, and tank component manufacturing industry. The industry average Total Recordable Incident Rate (TRIR) is 2.9.