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Toxic Substances Control Act TSCA

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Title: Toxic Substances Control Act TSCA


1
Toxic Substances Control ActTSCA
  • EVEN 6354Environmental Regulations Policy

2
TSCA Objectives
  • The general purpose of TSCA is to regulate the
    manufacture, processing, distribution in
    commerce, use, or disposal of chemical substances
    and mixtures which may present an unreasonable
    risk of injury to health or the environment.

3
Background
  • Congress was concerned with toxic substances that
    no one seemed to have studied enough to determine
    whether they could create problems or not.
  • Particular concern at that time were PCBs used in
    electric transformers and capacitors that tended
    to break open dispersing the chemical
  • A contractor at Corpus Christi Naval Air Station,
    who was hired to change capacitors and
    transformers dropped them to the ground from the
    poles and spread PCBs over a large area

4
Introduction
  • The Toxic Substances Control Act (TSCA) of 1976
    give EPA the ability to track the 75,000
    industrial chemicals currently produced or
    imported into the United States, and thousands of
    new chemicals introduced by industry.
  • EPA repeatedly screens these chemicals and can
    require reporting or testing of those that may
    pose an environmental or human-health hazard.
  • EPA can ban the manufacture and import of
    chemicals that pose unreasonable risks.

5
TSCA Content
  • Title I Control of Toxic Substances
  • Title II Asbestos Hazard Emergency Response Act
  • Title III Indoor Radon Abatement Act
  • Title IV Lead-Based Paint Reduction Act

6
Regulatory Approach
  • Toxics List TSCA Chemical Substance Inventory
  • A new Chemical is any substance not in the list
  • New Chemicals subject to Pre-manufacture Review
  • EPA has authority to require testing, which is
    sponsored by manufacturers
  • EPA has authority to limit or prohibit
    manufacture. PCBs are prohibited
  • Record keeping and Reporting required
  • Export Notice and Import Certification Required

7
The Inventory Contents
  • Common or trade name, chemical identity and
    molecular identity
  • Categories or proposed categories of use
  • Total manufactured or processed for each use
  • Byproducts resulting from manufacture,
    processing, use, or disposal
  • All existing data on the environmental and health
    effects of the substance or mixture
  • Number of individuals exposed in the workplace,
    and the length of time of exposure
  • Method of disposal.

8
New Chemicals
  • Pre Manufacture Notice (PMN)
  • Exclusions (no PMN, regulated Elsewhere)
    Pesticides, Fungicides, Food, Food Additives,
    Cosmetics and Drugs
  • PMN Exemptions Test Market (No Risk) RD
    (Responsible Firms/Individuals) Polymers
    Polaroid Chemicals in Articles
  • Minimizing Delays demonstrating minimum Risk
  • Risk Hazard x Exposure
  • Hazard f(Human Toxicity)
  • Exposure f(Production Volume Use)

9
Pre-Manufacture Notification
  • The pre-manufacture notification (or SNUN) must
    be accompanied by the test results, if there is a
    requirement for test results.
  • If no testing is required by rule, then the
    pre-manufacture notification must be accompanied
    by data that shows that the new chemical
    substance or the significant new use will not
    present an unreasonable risk of injury to health
    or the environment.

10
Resolutions on New Chemicals
  • Should come 90 days limit after PMN, but can be
    extended
  • Result can be Limit Production or Prohibition
    based on Risk
  • Significant New Use Rule (SNUR) of a Listed
    Substance applies if new use increments Exposure
    and consequently Risk

11
Prohibition or Limitation
  • If the data submitted with the PMN is not
    adequate for EPA to evaluate the health and
    environmental effects
  • If the proposed activities may present an
    unreasonable risk of injury to health or the
    environment
  • If the substance is or will be produced in
    substantial quantities and the substance may
    enter the environment in substantial quantities
  • If there may be significant or substantial human
    exposure.
  • If the respondent files objections to the order,
    then the order does not take effect, however, EPA
    is then required to request an injunction in
    federal District Court.

12
Possible Rules on New Substances (1)
  • Prohibit or limit the amount that may be used for
    manufacture, processing, or commerce.
  • Prohibit or limit the amount or concentration for
    a particular use
  • Require specific labeling, including clear and
    adequate warnings and instructions.
  • Require the making and retention of records of
    the processes used to manufacture or process
  • Monitor or conduct tests to assure compliance
    with the requirements of any applicable TSCA rule.

13
Possible Rules on New Substances (2)
  • Prohibit or otherwise regulate any manner or
    method of commercial use.
  • Prohibit or otherwise regulate any manner or
    method of disposal.
  • Require the giving of notice of unreasonable risk
    of injury to distributors in commerce and other
    persons in possession, giving public notice of
    risk, or replace or repurchase the substance or
    mixture at the option of the person in
    possession.

14
Confidential Information
  • Trade secrets or commercial information submitted
    under TSCA cannot be released by EPA
  • Release of this information is very sensitive
    because competitors, may use it in their
    advantage
  • Disclosure is punishable by a fine of up to 5000
    and a year in jail, under TSCA.
  • Certain health and safety studies, however, may
    be released.

15
Testing
  • Objective Generate Data on Health and
    Environmental Risk of Products
  • Interagency Testing Committee (ITC) recommends
    Chemicals for testing Carcinogenic, Mutagenic or
    Teratogenic
  • Follow Good Laboratory Testing Standards
  • Significant Risk gt Rule Making

16
Reasons for Testing
  • To determine whether the manufacture,
    distribution, processing, use, or disposal may
    present an unreasonable risk of injury to health
    or the environment (Risk basis)
  • To establish if a chemical substance or mixture
    is or will be produced in substantial quantities
    and either it will enter the environment in
    substantial quantities or there will be
    significant or substantial human exposure
    (Exposure basis)
  • To collect data and experience upon which effects
    on health or the environment can reasonably be
    determined or predicted

17
Chemicals Grouping
  • EPA has grouped new chemical substances with
    similar structural and toxicological properties
    into working categories
  • Groupings enable to use accumulated data and
    decisional precedents on similar substances
  • This has streamlined the process for Agency
    review and regulatory follow-up on new chemicals
  • EPA is developing a category of persistent,
    bioaccumulative, and toxic (PBT) chemical
    substances.

18
Microbial Products of Biotechnology, 1997
  • Intergeneric microorganisms are those that
    contain genetic material from organisms in more
    than one taxonomic genera having a high
    likelihood of expressing new traits
  • Subject to this rule are new microorganisms
    used commercially for such purposes as production
    of industrial enzymes and other specialty
    chemicals agricultural practices (e.g.,
    biofertilizers) and break-down of chemical
    pollutants in the environment (bioremediation).
  • Microorganisms that are not intergeneric are not
    subject to Section 5 of TSCA.

19
Objectives of Microbial Products of Biotechnology
  • Provide significant regulatory relief to those
    wishing to use certain products of microbial
    biotechnology.
  • Ensure that EPA can identify and regulate risk
    associated with microbial products of
    biotechnology without unnecessarily hampering
    this important new industry
  • Those microorganisms are considered New
    Chemicals, thus they fall under TSCA Section 5

20
Specific Chemicals Regulations
  • EPA can regulate under TSCA specific chemicals
    that present unreasonable risks to health and the
    environment
  • To regulate the specific chemicals EPA must
    consider
  • The effects on health and environment
  • The Exposure to humans and environment
  • The benefits and availability of substitutes
  • The economic consequences of the rule

21
Chemicals Regulated
  • Asbestos
  • Chlorofluorocarbons (CFCs) The Montreal Protocol
  • Tetrachlorodibenzo-P-dioxin (TCDD, dioxins and
    furans) Under RCRA
  • Exavalent chromium (Cr6) On Cooling Water
    Towers
  • Metal Working Fluids (that create
    N-nitrosodiethanolamine)
  • Polychlorinated Biphenyls (PCBs) Ban Disposal

22
Asbestos Ban
  • 1989 Ban on manufacture, import, processing and
    distribution of asbestos products
  • Asbestos is associated with lung cancer
  • The US Fifth Court of Appeals overturned the ban
    in 1991
  • The ban still applies to asbestos in corrugated
    paper, rollboard, commercial and specialty paper,
    flooring felt and any other new uses of asbestos.
  • The CAAA bans it from fireproofing, insulating,
    decorative and most spray applied surfacing uses

23
Asbestos Products not banned
  • Asbestos-cement corrugated sheet, asbestos-cement
    flat sheet, asbestos clothing, pipeline wrap,
  • Roofing felt, vinyl-asbestos floor tile,
    asbestos-cement shingle, millboard,
    asbestos-cement pipe,
  • Automatic transmission components, clutch
    facings, friction materials, disc brake pads,
    drum
  • Brake linings, brake blocks, gaskets, non-roofing
    coatings, and roof coatings.

24
Chlorofluorocarbons (CFCs)
  • 1973 ban of CFCs as propellants
  • Implementation of the Montreal Protocol under the
    CAA

25
Tetrachlorodibenzo-P-dioxin (TCDD)
  • Also includes many of the dioxins and furans
  • Regulated under RCRA

26
Exavalent chromium (Cr6)
  • Use in air conditioning and refrigeration systems
    as corrosion inhibitor is banned
  • Still permitted in Cooling Water Towers, but
    several cases tried in courts (Erin Brockovich
    actions)

27
Metal Working Fluids
  • Metalworking fluids are used in metal machining
    for cooling or lubricating
  • Nitrosating agent is a substance that has the
    potential to transfer a nitrosyl group (-NO) to a
    secondary or tertiary amine to form the
    corresponding nitrosamine
  • The regulation prohibits the addition of any
    nitrosating agent, including nitrites, to the
    triethanolamine salt of tricarboxylic acid, when
    the substance is or could be used in metalworking
    fluids
  • The addition of nitrites or other nitrosating
    agents to this substance leads to formation of
    N-nitrosodiethanolamine a substance known to
    cause cancer in laboratory animals

28
Polychlorinated Biphenyls (PCBs)
  • 1979 Ban on the manufacture of PCBs and phase out
    of its uses, rules on disposal
  • 1994 Modified rule for disposal
  • 1998 Final modified rule on disposal, maximum
    emissions and decontamination standards. Also
    established a manifesting system

29
TSCA and other Laws
  • Pesticides regulated under the Federal
    Insecticide, Fungicide,and Rodenticide Act
    (FIFRA)
  • Food, Food Additives and Cosmetics regulated
    under the Federal Food, Drug and Cosmetic Act
    (FDCA)

30
Inspections
  • For New Chemicals activities
  • For record keeping compliance
  • For verification

31
Enforcement and Civil Penalties
  • Civil penalties imposed for violations of TSCA
  • Civil penalties based on nature, extent and
    circumstances of the violation
  • To assess the penalty the gravity of the
    violation is determined
  • Culpability determined by the persons knowledge
    of TISCA provisions
  • And the persons degree of control over the
    violation
  • Civil actions can be initiated by any person
    against a violator of TSCA

32
Import Export
  • Importers subject to the same rules as a domestic
    manufacturer
  • Customs to refuse imports non complying with TSCA
  • First export to a country requires notification
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