National Association of Clean Water Agencies (NACWA)
EPANonrulemakingEPA-HQ-OPP-2023-0562

In Support of the Adoption of Structured Content and Digital Pesticide Labels

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Last modified
Mar 26, 2024
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closed 866d ago
National Association of Clean Water Agencies (NACWA) filings
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Activity

National Association of Clean Water Agencies (NACWA) filed 1 comment on this docket between Mar 15, 2024 and Mar 15, 2024. 11 other organizations filed here. The comment window closed 866d ago.

What National Association of Clean Water Agencies (NACWA) filed (1)

Mar 15, 2024· Comment submitted by National Association of Clean Water Agencies (NACWA)· EPA-HQ-OPP-2023-0562-0022

The comments of the National Association of Clean Water Agencies (NACWA) for Docket ID No. EPA–HQ–OPP–2023–0562 are attached. Please contact me if you have any questions. Thank you, Cynthia A. Finley, Ph.D. ǀ Director, Regulatory Affairs National Association of Clean Water Agencies (NACWA) 1130 Connecticut Ave. NW, Ste. 1050 ǀ Washington, DC 20036 202-533-1836 ǀ cfinley@nacwa.org

Abstract

OPP supports the adoption of structured content pesticide labels, both as printed structured labels and as digital content. This docket provides information on the anticipated benefits, progress, and partnerships in support of the adoption of structured content pesticide labels.

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