The manufacturing, use, and participation in the growing supply chain for chemical solutions is helping to address the most significant challenges facing our nation—from aerospace and public safety, to healthcare, agriculture, transportation, and clean water.
Dear Dr. Freedhoff: The undersigned organizations respectfully request that you extend the comment period for the Initial Regulatory Flexibility Analysis (IRFA) and Updated Economic Analysis for the proposed Toxic Substances Control Act (TSCA) section 8 (a)(7) reporting and recordkeeping rule by 30
Dear Mr. Breen and Mr. Waterhouse: We, the undersigned Associations, submit these comments in response to the U.S. Environmental Protection Agency’s (“EPA” or “Agency”) Notice of Proposed Rulemaking, “Accidental Release Prevention Requirements: Risk Management Programs Under the Clean Air Act; Safer
Dear Administrator. Freedhoff: The U.S. Chamber of Commerce (“the Chamber”) appreciates the opportunity to comment on the U.S. Environmental Protection Agency’s (“EPA’s” or “Agency’s”) proposed rule on “Asbestos Part 1: Chrysotile Asbestos; Regulation of Certain Conditions of Use under Section 6(a)
Dear Ms. Barkas: The U.S. Chamber of Commerce (“the Chamber”) appreciates the opportunity to comment on the U.S. Environmental Protection Agency’s proposed rule titled, “Confidential Business Information Claims Under the Toxic Substances Control Act (TSCA).” The Chamber recognizes the need for
Dear Assistant Administrator Freedhoff: The organizations signing on to this request appreciate the opportunity to comment on the referenced proposal issued by the Environmental Protection Agency. Chlorine chemistry is an integral part of the goods and products Americans use every day. The computer
WASHINGTON, D.C. — Marty Durbin, President of the U.S. Chamber's Global Energy Institute, issued the following statement today regarding EPA’s Proposed Rule prohibiting all uses of asbestos: "The EPA’s proposed phase out of all uses of asbestos will have unintended consequences on safe drinking
Dear Ms. Wheeler: The U.S. Chamber of Commerce (“the Chamber”) is pleased to write in response to the request for comment regarding the U.S. Environmental Protection Agency (EPA) proposed Regulation of Persistent, Bioaccumulative, and Toxic Chemicals (PBT) Under TSCA Section 6(h); Further Compliance
The undersigned organizations urge you to consider additional public input regarding underpinning science and associated approaches for developing possible categories to regulate per-and polyfluoroalkyl substances (PFAS). We support EPA’s commitment in the recent PFAS Roadmap to follow the science