EPA Assistant Administrator Dunn Speaks About The Future Of TSCA
By Lynn L. Bergeson and Ligia Duarte Botelho, M.A.
On July 25, 2019, Bergeson & Campbell, P.C. (B&C®) hosted a webinar titled “New TSCA at 3: Key Implementation Issues” led by B&C’s Managing Partner, Lynn L. Bergeson. Webinar speakers included the U.S. Environmental Protection Agency’s (EPA) Assistant Administrator, Alexandra Dapolito Dunn, and B&C’s Director of Chemistry and former EPA staff, Richard E. Engler, Ph.D. Assistant Administrator Dunn’s presentation outlined EPA’s Office of Chemical Safety and Pollution Prevention (OCSPP) accomplishments and priorities three years after the amendment of the Toxic Substances Control Act (TSCA). Some of the most recent accomplishments highlighted by Assistant Administrator Dunn included OCSPP’s update to the TSCA Chemical Substance Inventory in designating substances as “active” in commerce, the selection of the first 40 chemicals for prioritization, and consumer protection measures, among others. In addition, Dunn also highlighted OCSPP’s priorities for the future implementation of TSCA:
- Publication of the draft dossiers for substances designated as high- and low-priority in the Federal Register for public comment expected as follows:
- Early August 2019, for low-priority substances; and
- End of August 2019, for high-priority substances;
- Early August 2019, for low-priority substances; and
- Initiation of the risk evaluations on the 20 high-priority chemicals and designation of the 20 low-priority chemicals by December 22, 2019; and
- Issue of draft scopes for public comment prior to issuing statutorily required final scopes six months after initiating the risk evaluation.
Assistant Administrator Dunn’s remarks also included EPA’s efforts for increased transparency through the publishing of information about new chemicals’ TSCA Confidential Business Information (CBI) claim reviews, which began in early July 2019. Bergeson and Engler commended Dunn’s efforts in implementing TSCA, and especially EPA’s efforts in increasing new chemical transparency. Engler urged businesses submitting new chemical notices to EPA to review carefully its submission prior to providing it to EPA to ensure that no CBI is made publicly available when new chemical notices are published. Following these discussions, questions from webinar attendees were accepted until the very last minute of the webinar. The full recording of the webinar can be accessed here.