Portland Cement Association
EPARulemakingEPA-HQ-RCRA-2012-0121

Improvements to the Hazardous Generator Regulatory Program (Parts 261, 262, 264 and 265)

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Last modified
Apr 16, 2024
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closed 3869d ago
Portland Cement Association filings
1

Activity

Portland Cement Association filed 1 comment on this docket between Jan 5, 2016 and Jan 5, 2016. 96 other organizations filed here. The comment window closed 3869d ago.

What Portland Cement Association filed (1)

Jan 5, 2016· Comment submitted by Michael Schon, Vice President and Counsel, Portland Cement Association (PCA)· EPA-HQ-RCRA-2012-0121-0241

On behalf of the Portland Cement Association, please see the attached document providing our comments. Michael Schon Vice President and Counsel Portland Cement Association

Abstract

This rulemaking effort is aimed at improving both the user-friendliness and effectiveness of various components of the hazardous waste generator regulatory program. This effort will consist of: (1) eliminating regulations associated with programs that are no longer operational, such as Performance Track; (2) clarifying existing rules in a more substantial way than those addressed in the Technical Corrections and Clarifications Direct Final Rule; and (3) closing gaps in our existing regulatory program to improve program effectiveness.

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Improvements to the Hazardous Generator Regulatory Program (Parts 261, 262, 264 and 265) (EPA) — Portland Cement Association | OpenPolis