National Lime Association
EPARulemakingEPA-HQ-SFUND-2015-0781

Financial Responsibility Requirements under CERCLA 108(b) for Facilities in the Hard Rock Mining Industry

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Mar 25, 2022
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National Lime Association filings
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Activity

National Lime Association filed 1 comment on this docket between Jul 17, 2017 and Jul 17, 2017. 77 other organizations filed here. The comment window closed 3304d ago.

What National Lime Association filed (1)

Jul 17, 2017· Comment submitted by Bradford Frisby, Deputy General Counsel, National Lime Association (NLA)· EPA-HQ-SFUND-2015-0781-2656

July 11, 2017 Dear Ms. Foster, The attached comments are submitted on behalf of the National Lime Association on EPA's proposed rule titled: "Financial Responsibility Requirements Under CERCLA 108(b) for Classes of Facilities in the Hardrock Mining Industry." Sincerely, Bradford Frisby Deputy General Counsel National Lime Association

Abstract

EPA is proposing regulations under Section 108(b) of the Comprehensive Environmental Response, Compensation, and Liability Act (CERCLA) that will require certain classes within the Hard Rock Mining Industry to establish and maintain evidence of financial responsibility consistent with the degree and duration of risk association with the production, transportation, treatment, storage, or disposal of hazardous substances.

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