What action has EPA taken for Chemical
Data Reporting rule (formerly Inventory Update Reporting)?
EPA has amended the reporting
requirements of the Toxic Substances Control Act (TSCA) Inventory
Update Reporting (IUR) rule and changed its name to the Chemical
Data Reporting (CDR) rule. The CDR rule requires manufacturers and
importers of chemical substances listed on the TSCA Inventory to
report information about the manufacturing, importing, processing
and use of the chemicals. The amendment will provide improved
information for EPA to better identify and manage risks associated
with the chemicals.
Why did EPA change the name of the rule?
EPA changed the name from Inventory Update
Reporting (IUR) to Chemical Data Reporting (CDR) to reflect the distinction
between the next data collection (which includes exposure-related data) and
the TSCA Inventory itself (which only involves chemical identification
information). Identifying the next data collection as Chemical Data
Reporting (CDR) is intended to make it easier for the public to understand
what information is available to them through the data collection.
Why did EPA modify the IUR rule?
The IUR
modifications were enacted to meet four primary goals:
▲Obtain new information relating to
potential exposures for chemicals listed on the TSCA Inventory
▲Increase the frequency that the data are reported
▲Increase public access to the information
▲Improve the usefulness of information provided to EPA
Who is required to report?
You may be required to report if you
manufacture (including manufacture as a byproduct) or import for commercial
purposes chemicals listed on the TSCA Inventory and produced in volumes of
25,000 lbs more during the 2011 calendar year. Potentially affected entities
may include:
▲Chemical
manufacturers and importers
▲Manufacturers
of a byproduct chemical (i.e., utilities, paper manufacturing, semiconductor
and other electronic component manufacturing)
When is reporting due?
The 2012 submission period is scheduled to occur February 1, 2012 to June
30, 2012. Manufacturing, processing and use data from 2011 and production
volume information from 2010 will be reported.
What are some of the changes for 2012?
Manufacturers and importers are required to:
▲Report if the production volume of a
chemical exceeds 25,000 lb threshold during the 2011 calendar year
▲Provide upfront substantiation for each
processing and use data element claimed as confidential business information
(CBI)
▲Use e-CDR web to submit all CDR
information
Manufacturing information required to be reported:
▲Production volume for 2010 calendar year
▲For 2011 calendar year
– Production volume of chemicals manufactured and imported at a reporting
site
– Whether an imported chemical is physically
located at reporting site
– Volume of chemicals
exported and not domestically processed or used
–
Whether a manufactured chemical substance, such as a byproduct, is being
recycled, remanufactured, reprocessed or reused
Processing and
use-related information required to be reported:
▲For 2011 calendar year
– Report processing and use information of all chemicals manufactured at
100,000 lbs or more, unless otherwise exempted
– Use
reporting standard “known to or reasonably ascertainable by,” instead of the
“readily obtainable” standard used in 2006
– Report
industrial processing and use information using a revised list of industrial
function categories and a list of 48 Industrial Sectors (IS)
which
replace the five-digit North American Industrial Classification System
(NAICS) codes
– Report consumer and commercial product
categories separately to distinguish between the use types
– Report consumer and commercial use information using a revised list of
consumer and commercial product category codes
How can TSG assist me?
Are you currently collecting
2011 data for each manufacturing and import site in the United States for
your 2012 CDR submission? If not, TSG can help gather this data in an
organized, professional manner to assist you in meeting EPA’s 2012 CDR
reporting requirements. Since EPA has finalized the CDR rules for 2012
reporting, TSG will help guide you through these changes and ensure you are
prepared to report on time. In addition, TSG is ready to assist you in
preparing CDR submissions using the newly required e-CDRweb, EPA’s
forthcoming electronic reporting tool.
Please contact
Chris Bruno
for more information on TSG’s 2011 CDR services.
TSG Banner Questions and Answers:
Chemical Data Reporting (CDR) 2012