Portland Cement Association
EPARulemakingEPA-HQ-OPPT-2017-0421

Mercury; Reporting Requirements for the TSCA Mercury Inventory

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Last modified
Apr 15, 2022
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closed 3120d ago
Portland Cement Association filings
1

Activity

Portland Cement Association filed 1 comment on this docket between Jan 22, 2018 and Jan 22, 2018. 15 other organizations filed here. The comment window closed 3120d ago.

What Portland Cement Association filed (1)

Jan 22, 2018· Comment submitted by Charles Franklin, Vice President and Counsel, Government Affairs, Portland Cement Association (PCA)· EPA-HQ-OPPT-2017-0421-0093

The Portland Cement Association ("PCA") appreciates the opportunity to submit comments in response to EPA's proposed rule that would require reporting from any person who manufactures (including imports) mercury or mercury-added products, or otherwise intentionally uses mercury in a manufacturing process, 82 Fed. Reg. 49564 (Oct. 26, 2017)

Abstract

As directed by the June 2016 Frank R. Lautenberg Chemical Safety for the 21st Century Amendments to the Toxic Substances Control Act (TSCA), EPA is issuing a proposed rule to require reporting to assist in the preparation of an “inventory of mercury supply, use, and trade in the United States,” where “mercury” is defined as “elemental mercury” and “a mercury compound.” This proposed rule will require reporting from any person who manufactures (including imports) mercury or mercury-added products or otherwise intentionally uses mercury in a manufacturing process. The Agency must promulgate the final reporting rule not later than two years after the date of enactment of the amendments (June 22, 2018).

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Mercury; Reporting Requirements for the TSCA Mercury Inventory (EPA) — Portland Cement Association | OpenPolis