U.S. EPA Draft Compliance Guide for Imported Articles

RILA Comments on Draft Guidance Issued by EPA Under TSCA

RILA urges EPA to provide clarity in future guidance on 1) documentation and other evidence importers should rely on to substantiate compliance with the LCPFAC SNUR; 2) how to determine whether a LCPFAC surface coating may be present in an imported article; and 3) how EPA will distinguish between an intentional and unintentional presence of LCPFAC substance in a surface coating.


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