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TSCA Update, page-118

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    • Section 6(h) – Expedited action for persistent, bioaccumulative, and toxic chemicals (PBTs) – Within 3 years after enactment, EPA must propose risk management rules for TSCA Work Plan chemicals that score high for persistence or bioaccumulation and high or moderate for the other. In doing so for such a chemical, it must conduct an exposure and use assessment, but need not conduct a risk evaluation. The final rule must be published within 18 months after publishing the proposal. In selecting restrictions, EPA is to reduce exposure to the extent practicable. Excluded from this provision are metals and metal compounds; chemicals for which EPA has completed a TSCA Work Plan problem formulation; chemicals for which EPA has initiated a review under section 5; and chemicals for which EPA has entered into a testing consent agreement under section 4. The 9 chemicals we have identified as likely to be subject to this provision appear in Attachment 2.
    attachment 2:
    http://www.bdlaw.com/assets/htmldocuments/Attachment 2.pdf

    This list then contains HBCD - certain flame retardants.

    This list is derived from this document

    https://www.epa.gov/sites/productio...sca_work_plan_chemicals_2014_update-final.pdf

    In this doc - the table at the back lists different flame retardants in sections
    24
    54
    64
    76 and
    77

    All in all, as for companies, this is suggested:

    Key policy decisions and the fundamental framework for the TSCA program will be worked out in a flurry of rulemakings in the first few years of implementation. Stakeholders should, therefore, be prepared to engage with EPA and participate in the regulatory process as soon as the legislation is signed into law.
 
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