Rubber Manufacturers Association
EPARulemakingEPA-HQ-OPPT-2016-0636

Procedures for Prioritization of Chemicals for Risk Evaluation under the Toxic Substances Control Act

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Last modified
Apr 16, 2024
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closed 3417d ago
Rubber Manufacturers Association filings
1

Activity

Rubber Manufacturers Association filed 1 comment on this docket between Mar 23, 2017 and Mar 23, 2017. 44 other organizations filed here. The comment window closed 3417d ago.

What Rubber Manufacturers Association filed (1)

Mar 23, 2017· Comment submitted by Jesse E. Levine, Manager, Regulatory Affairs, Rubber Manufacturers Association (RMA)· EPA-HQ-OPPT-2016-0636-0052

Comments by the Rubber Manufacturers Association to Docket ID No. EPA-HQ-OPPT-2016-0636

Abstract

As required under section 6(b)(2) of the Toxic Substances Control Act (TSCA), EPA is proposing to establish a risk-based screening process and criteria that EPA will use to identify chemical substances as either High-Priority Substances for risk evaluation, or Low-Priority Substances for which risk evaluations are not warranted at the time. The proposed rule describes the processes for identifying potential candidates for prioritization, selecting a candidate, screening that candidate against certain criteria, formally initiating the prioritization process, providing opportunities for public comment, and proposing and finalizing designations of priority. Prioritization is the initial step in a new process of existing chemical substance review and risk management activity established under recent amendments to TSCA.

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