The American Chemistry Council (ACC) submits the following comments in response to EPA's request for input on the generic information collection request (ICR) for TSCA Section 4 activities prior to submitting the ICR to the Office of Management and Budget (OMB). If you have any further questions regarding these comments, please feel free to contact me.
EPANonrulemakingEPA-HQ-OPPT-2015-0436
TSCA Section 4 Test Rules, Consent Orders, Enforcement Consent Agreements, Voluntary Testing Agreement, Voluntary Data submissions, and Exemptions from Testing Requirements
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Last modified
Jun 16, 2026
Comment window
closed 911d ago
American Chemistry Council filings
3
Activity
American Chemistry Council filed 3 comments on this docket between May 23, 2016 and Jan 6, 2022. 2 other organizations filed here. The comment window closed 911d ago.
What American Chemistry Council filed (3)
Jan 6, 2022· Comment submitted by American Chemistry Council (ACC)· EPA-HQ-OPPT-2015-0436-0040
Aug 4, 2020· Comment submitted by Christina Franz, Senior Director, Regulatory & Technical Affairs, American Chemistry Council (ACC)· EPA-HQ-OPPT-2015-0436-0021
Filed on regulations.gov — full text not in the inline record.
May 23, 2016· Comment submitted by Richard Starr, Manager, Regulatory & Technical Affairs, American Chemistry Council (ACC)· EPA-HQ-OPPT-2015-0436-0006
Filed on regulations.gov — full text not in the inline record.
Abstract
Renewal of EPA ICR No. 1139.11, OMB Control No. 2070-0033, TSCA Section 4 Test Rules, Consent Orders, Enforcement Consent Agreements, Voluntary Testing Agreements, Voluntary Data Submissions, and Exemptions from Testing Requirements
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