Portland Cement Association
EPANonrulemakingEPA-HQ-OPPT-2016-0597

Chemical Data Reporting; Negotiated Regulation for Recycled Inorganic Byproduct Chemical Substances

RIN
Last modified
Apr 15, 2022
Comment window
closed 3151d ago
Portland Cement Association filings
2

Activity

Portland Cement Association filed 2 comments on this docket between Jan 24, 2017 and Dec 13, 2017. 10 other organizations filed here. The comment window closed 3151d ago.

What Portland Cement Association filed (2)

Dec 13, 2017· Comment submitted by Charles Franklin, Vice President and Counsel, Government Affairs, Portland Cement Association (PCA)· EPA-HQ-OPPT-2016-0597-0085

Please see attached comments from the Portland Cement Association.

Jan 24, 2017· Comment submitted by Michael Schon, Vice President and Counsel for Government Affairs and Elizabeth Horner, Director and Assistant Counsel for Government Affairs, Portland Cement Association (PCA)· EPA-HQ-OPPT-2016-0597-0019

Attached please find the comments of the Portland Cement Association (PCA). If you have additional questions, please contact Elizabeth Horner, PCA's Director and Assistant Counsel for Government Affairs, at 202-719-1973 or ehorner@cement.org

Abstract

This docket contains documents associated with negotiations by a Negotiated Rulemaking Committee to develop a proposed rule to limit Chemical Data Reporting (CDR) requirements for manufacturers of inorganic byproducts, when such byproducts are subsequently recycled, reused, or reprocessed. This negotiated rulemaking is required by the Toxic Substances Control Act (TSCA), as amended by the Frank. R. Lautenberg Chemical Safety for the 21st Century Act

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Chemical Data Reporting; Negotiated Regulation for Recycled Inorganic Byproduct Chemical Substances (EPA) — Portland Cement Association | OpenPolis