National Association of Manufacturers (NAM)
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TSCA Inventory Notification (Active/Inactive) Requirements

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closed 3423d ago
National Association of Manufacturers (NAM) filings
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Activity

National Association of Manufacturers (NAM) filed 1 comment on this docket between Mar 17, 2017 and Mar 17, 2017. 36 other organizations filed here. The comment window closed 3423d ago.

What National Association of Manufacturers (NAM) filed (1)

Mar 17, 2017· Comment submitted by Ross Eisenberg, Vice President, Energy and Resources Policy, National Association of Manufacturers (NAM)· EPA-HQ-OPPT-2016-0426-0049

The National Association of Manufacturers, the largest manufacturing association in the United States representing manufacturers in every industrial sector and in all 50 states, respectfully submits the attached comments on the Environmental Protection Agency's (EPA) Proposed TSCA Inventory Notification (Active-Inactive) Requirements.

Abstract

TSCA Inventory Reporting Rule for reporting Chemical Substances that are active in commerce, as promulgated by the Frank R. Lautenberg Chemical Safety for the 21st Century Act (“TSCA 21”) [sections 8(b)(4)(A) & 8(b)(5)(B)(i)]. The Act requires manufacturers to notify the Administrator of each chemical substance on the Inventory that was manufactured or processed in the United Sates for a nonexempt commercial purpose during the 10-year period ending on June 21, 2016, the day before the date of enactment of TSCA 21. The Administrator shall designate chemical substances for which notices are received to be active, and those for which no notice is received to be inactive. Manufacturers that intend to commercialize inactive chemicals in the future must notify the Administrator in order for those chemicals to be changed to active status.

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