National Lime Association
EPANonrulemakingEPA-HQ-TRI-2017-0057

Toxic Chemical Release Reporting; Request for Comments on Proposed Renewal of Form R and Form A

RIN
Last modified
Apr 8, 2022
Comment window
closed 3141d ago
National Lime Association filings
1

Activity

National Lime Association filed 1 comment on this docket between Jul 31, 2017 and Jul 31, 2017. 4 other organizations filed here. The comment window closed 3141d ago.

What National Lime Association filed (1)

Jul 31, 2017· Comment submitted by Bradford Frisby, Deputy General Counsel, National Lime Association (NLA)· EPA-HQ-TRI-2017-0057-0014

Please find attached the comments of the National Lime Association on EPA-HQ-TRI-2017-0057. The submission consists of four PDF documents, the comments themselves and three attachments.

Abstract

Pursuant to section 313 of EPCRA, certain facilities that manufacture, process, or otherwise use specified toxic chemicals in amounts above reporting threshold levels must submit annually to EPA and to designated State or Tribal officials toxic chemical release forms containing information specified by EPA. 42 U.S.C. 11023. In addition, pursuant to section 6607 of the Pollution Prevention Act (PPA), facilities reporting under section 313 of EPCRA must also report pollution prevention and waste management data, including recycling information, for such chemicals. 42 U.S.C. 13106.

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