鶹ƵComments to TCEQ on Proposal for AIM Coatings
鶹Ƶsubmitted comments to the Texas Commission on Environmental Quality on the agency's proposal to add Architectural and Industrial Maintenance (AIM) coatings to the List of Applicable Surface Coating Processes. ACA's comments raised concerns about the practicality of the approach with regards to applicability, enforcement and compliance for industry.
鶹ƵComments to SCAQMD on Proposed Amendments to 12 VOC Rules
California's South Coast Air Quality Management District (SCAQMD) will convene a Working Group meeting on Aug. 12 to discuss proposed amendments to 12 separate VOC rules. In its comments, 鶹Ƶnotes that while the district aims to phase out the use of PCBTF and TBAC as quickly as possible through this amendment process, the plan to address all 12 VOC rules at once during the working group meeting is infeasible and will make it impossible for industry to provide accurate feedback.
鶹ƵSupports ROAD to Housing Act of 2025
ACA's letter sent to Congressional leadership expresses strong support for the Renewing Opportunity in the American Dream (ROAD) to Housing Act of 2025. This bipartisan legislation aims to expand and preserve our country’s housing supply, improve housing affordability, and job growth, all of which are important to and backed by the paint and coatings industry.
鶹ƵComments on California DTSC Rulemaking to Amend Safer Consumer Product Regulations
鶹Ƶsubmitted comments to the California Department of Toxic Substances Control (DTSC) on the agency's proposed amendments to the framework regulations governing its Safer Consumer Products (SCP) program, as authorized by SB 502 (2022). Notably, the 2022-enacted SB 502 allows DTSC to rely on all or part of one or more applicable publicly available studies or evaluations of alternatives in lieu of an Alternatives Analysis to proceed directly to regulatory response. 鶹Ƶcomments raised concerns with DTSC's ability to sufficiently evaluate a potential alternative when limited to consideration of one or a few studies.
ACA, Coalition Seek Extension of Canada's Hazardous Products Regulations (HPR) Amendments Transition Period
鶹Ƶand several other organizations sent a letter to Health Canada seeking an extension of the existing transition period for amendments to Canada's Hazardous Products Regulations, which is set to conclude on Dec. 14, 2025. 鶹Ƶand other associations have asked that the date be extended to align with the United States' implementation timeline of July 19, 2027, for mixtures.
鶹ƵUrges TPLF Act Inclusion in Congressional Reconciliation Package
鶹Ƶjoined a coalition of organizations in a letter to Congress expressing strong support for the Tackling Predatory Litigation Funding (TPLF) Act (S. 1821/H.R. 3512). This legislation would correct the tax treatment of third-party litigation funding. In the coalition letter, 鶹Ƶand others urged that this legislation be included in the pending Congressional reconciliation package.
鶹ƵSupports Tackling Predatory Litigation Funding Act, S. 1821
鶹Ƶsent letters to to Congressional leaders expressing support for S. 1821, the Tackling Predatory Litigation Funding Act. This legislation helps to preserve the right of all litigants to control their own destiny and does not allow foreign investors to negatively offset the balance between parties in litigation. Ensuring transparency and appropriate tax treatment in these arrangements is key.
鶹ƵUrges Gov. Pritzker to Veto S.B. 328
鶹Ƶurged Gov. J.B. Pritzker to veto Illinois Senate Bill 328, which would change Illinois to a “general jurisdiction” state and subject product manufacturers to unprecedented liability exposure.
鶹ƵSupports Ohio SB 10, Third-party Litigation Funding Reform
鶹Ƶsent a letter of support to Ohio State Senators expressing support for Senate Bill 10, which places appropriate guardrails on third-party litigation funding arrangements. 鶹Ƶsupports third party litigation funding reform that ensures transparency and fairness to all parties.
鶹ƵComments on New York Senate Bill 1464
鶹Ƶsubmitted comments to the New York Senate Standing Committee on Finance regarding Senate Bill 1464, An Act to Amend the Environmental Conservation Law, in Relation to Enacting the Packaging Reduction and Recycling Infrastructure Act. 鶹Ƶrecommended that the definition of ‘packaging material’ in the bill be amended to clarify that packaging for products subject to PaintCare's postconsumer paint program are not included as packaging material.