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Objective IAEG has developed this overview of the TSCA Inventory Notification Rule in order to assist the Aerospace & Defense industry. The TSCA Inventory is an EPA list of ~85,000 chemicals (public and confidential) that, at one time, were or are in commerce in the United States. The Inventory Notification Rule is intended to identify those chemicals on the Inventory that are “active” (i.e., that are still in commerce in the United States). This overview is intended to only address chemical substances already on the EPA TSCA Inventory (Section 8b). Introduction of new chemicals is not within the scope of this overview. ©2017 IAEG® all rights reserved 2 Table of Contents Content Description Slide # I. Roles, Responsibilities & Reporting Requirements 4 II. Reporting Exemptions 7 III. USEPA Central Data Exchange Reporting Requirements 10 IV. Confidential Business Information (CBI) Claims 11 V. Potential Risks 13 VI. Definitions 15 ©2017 IAEG® all rights reserved 3 Roles, Responsibilities & Reporting Requirements Retrospective Reporting Forward Looking Reporting Manufacturers/importers of chemical substances in US After EPA issues the Final Inventory, manufacturers, commerce between June 21, 2006 and June 21, 2016 must importers, and processors are strongly encouraged review the Interim List of Active Substances. to review the Final Inventory to verify status of If chemical substances are on the Interim List of Active chemical substances in US commerce. Substances or “otherwise exempt,” no further action is Note: Once a chemical substance is on the required. Final Inventory, it cannot be removed. Its If chemical substances are not on the Interim List of Active designation (active/inactive) can only be Substances, manufacturers and importers must submit a changed. Periodic Final Inventory reviews may Notice of Activity (NOA) Form A to EPA by February 7, 2018. be needed. Within approximately 60 days after the manufacturer/importer reporting ends, EPA will publish a Draft Inventory (est. April 90 days after publication of the Final Inventory, 2018). manufacturers, importers, and processors may no Processors of chemical substances in US commerce should longer use chemical substances designated as review the Draft Inventory and may submit a NOA Form A by inactive; however, those that intend to manufacture, October 5, 2018 to report chemicals that are not listed as import or process an inactive substance for non- active. exempt commercial purposes must submit a NOA Chemical substances that are not designated as active at the Form B to EPA. This is required within 90 days of the end of the processor reporting period will be identified as anticipated date of commercial activity. inactive by the EPA. EPA will update to a Final Inventory (active and inactive chemical substances) “as soon as practicable” after the processor reporting deadline (est. December 2018). Note: This U.S. regulation might require reporting by non-U.S. suppliers. Note: This U.S. regulation might require reporting by non-U.S. suppliers. ©2017 IAEG® all rights reserved 4 Reporting Sequence & Timeline Retrospective reporting Forward Looking reporting Retrospective reporting EPA Review Forward Looking reporting EPA review NOA- Form A EPA review NOA- Form B NOA- Form A NOA- Form B ©2017 IAEG® all rights reserved 5 Roles, Responsibilities & Reporting Requirements (conclusion) The NOA Form A and B information is to be included “to the extent that such information is known to or reasonably ascertainable by that person.” The forms must be certified under penalty of law by an “Authorized Official”, a person who is in a position to sign the statement that appears in 40 CFR 710.29 (d)(5). As applicable (), NOA Form A and/or B information shall include: Information NOA Form A NOA Form B Company Name Authorized Official Technical Contact Chemical Specific Information Certification Statement, under penalty of law, by the Authorized Official, as it appears in 40 CFR 710.29(d)(5) Intent to maintain/claim chemical identity is confidential business information (CBI) Intended date of manufacture, import, or process for an inactive chemical substance ©2017 IAEG® all rights reserved 6
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