Regulatory Comment Letters

Regulatory Comment Letters


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U.S. EPA PFAS Reporting under TSCA Section 8(a)(7)

  • Regulatory Comment Letter
  • 09/27/2021

RILA comments on EPA’s proposed Toxic Substance Control Act reporting for manufacturers on Per- and polyfluoroalkyl substances (PFAS). Learn More

U.S. EPA Phasedown of Hydrofluorocarbons (HFC)

  • Regulatory Comment Letter
  • 07/06/2021

RILA joint association comments with National Retail Federation, the Food Industry Association and National Association of Chain Drug Stores Learn More

Request for Public Input on Climate Change Disclosure

  • Regulatory Comment Letter
  • 06/12/2021

RILA Comment Letter to SEC Request for Public Input on Climate Change Disclosure Learn More

Regulation of Persistent Bioaccumulative and Toxic Chemicals

  • Regulatory Comment Letter
  • 05/17/2021

RILA comments on the U.S. EPA's recent moratorium on enforcing the Final TSCA Section 6(h) rule for Phenol, Isopropylated Phosphate (3:1) (PIP (3:1) Learn More

RILA Comments to the EPA on the TSCA Fee Adjustments

  • Regulatory Comment Letter
  • 03/23/2021

Comments to the U.S. EPA on proposed rule for updates and adjustments to the 2018 fees rule, established under the Toxic Substances Control Act (TSCA) Learn More

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