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Revocation of TSCA Section 4 Testing Requirements - Certain High Production Volume Chemical Substances (US Environmental Protection Agency Regulation) (EPA) (2018 Edition) The Law Library presents the complete text of the Revocation of TSCA Section 4 Testing Requirements - Certain High Production Volume Chemical Substances (US Environmental Protection Agency Regulation) (EPA) (2018 Edition). Updated as of May 29, 2018 EPA is revoking certain testing requirements for six chemical substances and all the testing requirements for four chemical substances. EPA is basing its decision to take this action on information received since publication of the first test rule for certain high production volume chemical substances (HPV1). HPV1 established testing requirements for those 10 chemical substances. On the effective date of this direct final rule, persons who export or intend to export the four chemical substances for which all the testing requirements are revoked are no longer subject to section 12(b) of the Toxic Substance Control Act (TSCA) export notification requirements triggered by HPV1. This book contains: - The complete text of the Revocation of TSCA Section 4 Testing Requirements - Certain High Production Volume Chemical Substances (US Environmental Protection Agency Regulation) (EPA) (2018 Edition) - A table of contents with the page number of each section
Prompted by important developments that have occurred since the publication of the third edition eight years ago, the newly updated TSCA Handbook provides anyone who manufactures, processes, distributes, or uses chemicals with a comprehensive look at their requirements under the Toxic Substances Control Act (TSCA). Practical and informative, this ready reference details current regulation under TSCA. It examines the Environmental Protection Agency's program for evaluation and regulating new substances, and it discusses PMN preparations and follow through, inspections and audits, and more. Developments addressed in this edition include the following: changes to the Inventory Update Rule, new voluntary testing initiatives, new enforcement policies and rules, revised PCB regulations regarding contaminated sites, and increased maximum civil penalties.
This Handbook has been developed by the EPA as a resource for project managers working on addressing the environmental concerns posed by inactive mines and mineral processing sites. This is not policy or guidance, but a compendium of info. gained during many years of experience on mine site cleanup projects. Chapters: Overview of Mining and Mineral Processing Operations; Environmental Impacts from Mining; Setting Goals and Measuring Success; Community Involve. at Mining Waste Sites; Scoping Studies of Mining and Mineral Processing Impact Areas; Sampling and Analysis of Impacted Areas; Scoping and Conducting Ecological and Human Health Risk Assessments at Superfund Mind Waste Sites; Site Mgmt. Strategies; and Remediation and Cleanup Options.
Congress passed the Toxic Substances Control Act (TSCA) in 1976, authorizing the EPA to obtain info. on the risks of industrial chemicals and to control those that EPA determines pose an unreasonable risk. However, EPA does not have sufficient chemical assessment info. to determine whether it should establish controls to limit public exposure to many chemicals that may pose substantial health risks. There should be statutory changes to provide EPA with authority to obtain health and safety info. from the chemical industry. This testimony addresses EPA's options for: (1) obtaining info. on the risks posed by chemicals to human health and the environ.; (2) controlling these risks; and (3) publicly disclosing info. provided by chemical co. under TSCA.