鶹ƵComments to Green Seal on PFAS in GS-11 Standard for Paints, Coatings, Stains and Sealers
鶹Ƶsubmitted comments to Green Seal on the organization's proposed changes to GS-11 related to per- and polyfluoroalkyl substances (PFAS) in paints, coatings, stains and sealers. In its comments, 鶹Ƶnoted that the proposed changes to GS-11 do not accurately reflect the marketplace for PFAS in coatings, nor are they indicative of environmental or human health impact of coatings with fluorinated chemistries.
鶹ƵJoins Coalition Comments to EPA on Proposed Rule to Add Certain PFAS to TRI
鶹Ƶwas one of 20 organizations that sent a letter to the U.S. Environmental Protection Agency on its proposal to add certain Per- and Polyfluoroalkyl Substances (PFAS) to the agency's Toxic Release Inventory.
ACA, Coalition Urge Continued ILA-USMX Labor Negotiations
鶹Ƶjoined with more than 250 organizations sent to leaders of the International Longshoremen’s Association and the United States Maritime Alliance urging the return to the bargaining table with the goal of reaching a new labor contract before the new Jan. 15 contract expiration date.
鶹ƵComments to CalRecycle on SB 54 Proposed Regulations
鶹Ƶsubmitted comments to the California Department of Resources Recycling and Recovery (CalRecycle) on the second round of proposed regulations for the Plastic Pollution Prevention and Packaging Producer Responsibility Act (SB 54).
鶹ƵSubmits Comments on LEED v5, Second Round
鶹Ƶsubmitted a second round of comments to U.S. Green Building Council (USGBC) on the Leadership in Energy and Environmental Design (LEED) v5. The LEED system is the most widely-recognized and widely-used green building system in the world. Earlier in 2024, USGBC released the first draft version of the LEED v5 rating systems for public comment.
鶹ƵComments on Maine's draft PFAS bill and Report to Legislature
鶹Ƶsubmitted comments to Vermont’s Department of Environmental Conservation (DEC), which is developing a draft PFAS bill and a report to the legislature. Maine's Act 131, Phase Out of PFAS Added Products, would establish a general prohibition of PFAS added products that will take effect six (6) months after one of the other Northeast states adopts similar legislation, affecting at least 10,000,000 people. 鶹Ƶunderscored the need for the definition of PFAS to be aligned with EPA’s definition under its TSCA Section 8(a)(7) reporting rule, with a structural definition based on compounds with two or more fluorinated carbon atoms.
鶹ƵComments to California SCAQMD on Rule 1151
鶹Ƶsubmitted detailed comments to California's South Coast Air Quality Management District (SCAQMD) regarding Proposed Amended Rule 1151 – Motor Vehicle and Mobile Equipment Non-Assembly Line Coating Operations.
ACA, Coalition Support NO IRIS Act of 2024
鶹Ƶjoined a coalition letter of support to Congressional sponsors of the “No Industrial Restrictions In Secret (NO IRIS) Act of 2024” (S. 3724/H.R. 7284). Increasingly, the Environmental Protection Agency’s Integrated Risk Information System program (IRIS) is being used to justify overly burdensome regulations on critical chemistries essential for everyday products. The NO IRIS Act would protect American manufacturing and ensure regulations are based on sound science.
鶹ƵComments on Maine’s Reposted Draft Rule for Packaging Stewardship Program
鶹Ƶsubmitted comments to Maine's Department of Environmental Protection on the agency's reposted draft rule: Stewardship Program for Packaging. The department made changes to the draft rules based on the comments received in late 2023 and early 2024 and reposted them to allow for additional public comment. These draft rules provide details for implementing the Stewardship Program for Packaging that aims to reduce the burden on municipalities for managing packaging material.
鶹ƵComments on Oregon’s Proposed Rulemaking: Plastic Pollution and Recycling Modernization Act
鶹Ƶsubmitted comments to Oregon Department of Environmental Quality regarding the proposed rulemaking for the Plastic Pollution and Recycling Modernization Act. The Act requires producers of packaging, paper products, and food serviceware to support and expand recycling services in Oregon for their products.