Publications
Please view the following publications:
- CUC Pre-Prioritization Comments
- Comments of the Chemical Users Coalition Submittted 10.25.24
- CUC MPCA PFAS comments
- CUC Comments on proposed Maine Chapter 90
- Comments of the CUC to Maine DEP’s Concept Draft in Advance of Proposed Rules for Notification Requests and Sales Prohibitions for Products Containing Intentionally Added PFAS under Maine’s Act to Stop Perfluoroalkyl and Polyfluoroalkyl Substances [PFAS] Pollution
- Comments of the CUC to EPA’s Proposed Rule for the Regulation of n-Methylpyrrolidone (NMP) Under the Toxic Substances Control Act
- Comments of the CUC to EPA’s proposal to require manufacturers (including importers) of 16 chemical substances to submit unpublished health and safety data studies to EPA
- Comments of the CUC to EPA’s Initiation of Prioritization under the Toxic Substances Control Act
- Comments of the CUC for Maine DEP’s consideration in its efforts to identify currently unavoidable uses of PFAS pursuant to Subsection 5.C of Section 1614 of Title 38.
- Comments of the CUC to Minnesota Pollution Control Agency’s Request for Comments on the Planned New Rules Governing Currently Unavoidable Use Determinations about Products Containing PFAS
- Comments of the CUC to EPA’s Proposed Decabromodiphenyl Ether and Phenol, Isopropylated Phosphate (3:1); Revision to the Regulation of Persistent, Bioaccumulative, and Toxic chemicals Under the Toxic Substances Control Act
- Comments of the CUC to EPA’s Proposed Rule for Procedures for Chemical Risk Evaluation under the Toxic Substances Control Act
- Comments of the CUC to Minnesota Pollution Control Agency’s Planned New Rules Governing Reporting by Manufacturers Upon Submission of Required Information about Products Containing Per- and Polyfluoroalkyl Substances (PFAS)
- Comments of the CUC to Proposed Rule for the Regulation of Carbon Tetrachloride under Section 6(a) of the Toxic Substances Control Act
- Comments of the CUC to EPA’s Proposed Rule for the Regulation of Perchloroethylene under Section 6(a) of the Toxic Substances Control Act
- Comments of the CUC to EPA’s proposed Significant New Use Rules for Certain Non-Ongoing Uses of Flame Retardants
- Comments of the CUC to EPA’s Updates to New Chemicals Regulations Under the Toxic Substances Control Act (TSCA)
- Comments of the CUC to EPA’s Proposed Rule for the Regulation of Methylene Chloride Under Section 6(a) of the Toxic Substances Control Act (TSCA)
- Comments of the CUC to the Northeast Waste Management Officials’ Association on its Draft PFAS Prevention Model Legislation
- Comments of the CUC to Maine DEP’s Proposed Rule on Products Containing Perfluoroalkyl and Polyfluoroalkyl Substances
- Comments of the CUC on TSCA PFAS Inactive SNUR
- Comments of the CUC to Washington Department of Ecology’s Proposed Rule on Safer Products Registrations and Reporting
- Comments of the CUC regarding Proposed Rulemaking Fees for the Administration of the Toxic Substances Control Act
- Comments of the CUC regarding Significant New Use Rules on Certain Chemical Substances (22-1.5e; PFAS SNURs)
- Comments of the CUC regarding the Initial Regulatory Flexibility Analysis and Updated Economic Analysis for the TSCA Proposed PFAS Reporting Rule
- Comments of the CUC to Maine DEP’s Revised Concept Draft Rule for PFAS in Products Program
Comments of the CUC on Carbon Tetrachloride; Draft Revision to Toxic Substances Control Act (TSCA) Risk Determination
- Comments of the CUC on Washington State Department of Ecology’s Preliminary Draft Rule Implementing Part of the Safer Products for Washington Legislation
- Comments of the CUC on 1-Bromopropane (1-BP); Draft Revision to Toxic Substances Control Act (TSCA) Risk Determination
- Comments of the CUC on Trichloroethylene (TCE); Draft Revision to Toxic Substances Control Act (TSCA) Risk Determination
- Comments of the CUC on Methylene Chloride; Draft Revision to Toxic Substances Control Act (TSCA) Risk Determination
- Comments of the CUC on n-Methylpyrrolidone (NMP); Draft Revisions to Toxic Substances Control Act (TSCA) Risk Determination
- Comments of the CUC on Perchloroethylene (PCE); Draft Revisions to Toxic Substances Control Act (TSCA) Risk Determination
- Comments of the CUC to Canada’s proposed Prohibition of Certain Toxic Substances Regulations
- Comments of the CUC to Maine DEP’s Concept Draft in Advance of Proposed Rules for Notification Requirements and Sales Prohibitions for Products Containing Intentionally Added PFAS under Maine’s Act to Stop Perfluoroalkyl and Polyfluoroalkyl Substances Pollution
- Comments of the CUC Regarding Confidential Business Information Claims Under the Toxic Substances Control Act (TSCA)
- Comments of the CUC Regarding Toxic Substances Control Act (TSCA) Collaborative Research Program to Support New Chemical Reviews
- Comments of the CUC on Colour Index Pigment Violet 29 (PV29); Draft Revision to Toxic Substances Control Act (TSCA) Risk Determination
- Comments of the CUC on Cyclic Aliphatic Bromide Cluster (HBCD); Draft Revisions to Toxic Substances Control Act (TSCA) Risk Determination
- Comments of the CUC on Washington State Department of Ecology’s Safer Products for Washington Draft Report to the Legislature on Regulatory Determinations
- Comments of the CUC on Phenol, Isopropylated Phosphate (3:1); Further Compliance Date Extension
- Comments of the CUC on TSCA Section 8(a)(7) Reporting and Recordkeeping Requirements for Perfluoroalkyl and Polyfluoroalkyl Substances
- Comments of the CUC on Persistent, Bioaccumulative, and Toxic Chemicals Under Section 6(h) of TSCA
- Comments of the CUC on the Draft Compliance Guide for Imported Articles Containing Surface Coatings Subject to the Long-Chain Perfluoroalkyl Carboxylate and Perfluoroalkyl Sulfonate Chemical Substances Significant New Use Rule
- Comments of the CUC on EPA’s Proposed Revisions to the Toxic Substances Control Act Fees Rule
- Request of the CUC to Extend Compliance Dates for PBT Rules and to Clarify TSCA § 6 Rule for Phenol, Isopropylated Phosphate (3:1) (PIP 3:1)
- Comments of the CUC on EPA’s TSCA Fees Rule Preliminary Manufacturers List
- Comments of the CUC on EPA’s Supplemental Proposal for a Significant New Use Rule for Long-Chain Perfluoroalkyl Carboxylate Chemical Substances (LPCFAC)
- Comments of the CUC on Updated Working Approach to Making New Chemical Determinations Under the Toxic Substances Control Act (TSCA)
- Comments of the CUC on EPA’s Addition of Certain Per- and Polyfluoroalkyl Substances; Community Right-to-Know Toxic Chemical Release Reporting
- Comments of the CUC on EPA’s Draft Risk Evaluation of N-Methylpyrrolidone (NMP)
- Comments of the CUC on EPA’s Proposed High-Priority Substance Designations under the Toxic Substances Control Act
Comments of the CUC on Methylene Chloride; Commercial Paint and Coating Removal Training, Certification and Limited Access Program
- Comments of the CUC on Persistent, Bioaccumulative, and Toxic Chemicals Under Section 6(h) of the Toxic Substances Control Act
- Comments of the CUC on EPA’s Information Collection Activities on TSCA Existing Chemical Risk Evaluation and Management
- Comments of the CUC on 13 SNURs
- Comments of the CUC on Pre-Prioritization Whitepaper
- CUC's Comments to SNURs 2018
- CUC’s comments to the “Problem Formulation Statements for the First Ten Chemicals Selected for Risk Evaluations under the Amended Toxic Substances Control Act."
- CUC’s comments to the proposed User Fees for the Administration of the Toxic Substances Control Act.
- Mercury; Reporting Requirements for the TSCA Mercury Inventory
- New Chemical & Pre-Prioritization
- Nanoscale Materials Rule
- TCE Section 6(a) Rule - Vapor Degreasing
- TCE Section 6(a) Rule - Spot Cleaning
- Risk Evaluation Rule
- NMP & MeCl2 Section 6(a) Rule
- Inventory Reset Rule
- CUC - Statement of Principles
- Comments on Proposed CDR Rule
- Final Article SNUR Comments
- Comment on Cadmium 8d Rule