ACA & PaintCare Submit Universal Waste Petition to EPA
In this petition to U.S. EPA, ACA and PaintCare request that that paint wastes be designated “universal waste” under 40 CFR Section 273. This rulemaking petition formally requests EPA to […]
In this petition to U.S. EPA, ACA and PaintCare request that that paint wastes be designated “universal waste” under 40 CFR Section 273. This rulemaking petition formally requests EPA to […]
The proposed amendment to Ohio Rule 702 clarifies that the proponent of expert testimony must demonstrate “to the court that it is more likely than not” that the rule’s existing […]
The proposed amendment to Ohio Rule 702 clarifies that the proponent of expert testimony must demonstrate “to the court that it is more likely than not” that the rule’s existing admissibility […]
ACA’s Oct. 31 comments to EPA noted that many of the agency’s proposed amendments to the RMP rule aim to improve upon prevention program elements of particular types of facilities, […]
ACA submitted comments to U.S. EPA on the agency’s Initial Regulatory Flexibility Analysis and Updated Economic Analysis (IRFA) for the proposed rule, Reporting and Recordkeeping Requirements for Perfluoroalkyl and Polyfluoroalkyl […]
ACA joined 17 other organizations in a letter to U.S. EPA requesting that the agency extend the comment period for the Initial Regulatory Flexibility Analysis (IRFA) and Updated Economic Analysis […]
[…] Department of Environment, Great Lakes, and Energy (MI EGLE) on the department’s proposed VOC RACT Rule. Among its comments, ACA asked the agency to dopt a compliance date of one […]
On Oct. 4, ACA along with several other organizations asked U.S. EPA to provide a minimum 60-day extension of the comment period on EPA’s
“Accidental Release Prevention Requirements: Risk Management […]
On Sept. 13, ACA and a collation of other organizations submitted a letter to U.S. EPA requesting an additional 60-day extension of the deadline for public comment on EPA’s proposed […]
In its comments, ACA asked EPA to consider several suggestions, including that the agency consider the risk mitigation strategies typically used in industry when conducting a risk evaluation and during risk […]