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TSCA Inventory Final Rule: Reporting Deadline Requirements Under the New Chemical Inventory Reset - On-Demand

TSCA Inventory Final Rule: Reporting Deadline Requirements Under the New Chemical Inventory Reset - On-Demand

Product Code: YNWA071217D

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TSCA Inventory Final Rule: Reporting Deadline Requirements Under the New Chemical Inventory Reset - On-Demand

Webinar now available On-Demand.

WEBINAR SNAPSHOT: Learn how to prepare for updated compliance obligations after the reset of the TSCA final rule within the 180-or-360-day reporting window.

The EPA is expected to release a final rule anytime now regarding inventory notification (active – inactive) under the Toxic Substances Control Act (TSCA), commonly referred to as “inventory reset.” Once the rule is issued, covered entities must comply with reporting requirements within a 180- or 360-day reporting window, which won’t give you much time to get up-to-speed on your compliance obligations.

Use this on-demand webinar when Dr. Richard Engler of Bergeson & Campbell, who was previously with the EPA’s Office of Pollution Prevention and Toxics and led the EPA’s Green Chemistry Program, will discuss critical updates on what’s included in the final rule, as well as essential deadlines for complying with your reporting requirements.

You won’t want to miss out on the chance to hear how the EPA’s chemical inventory reset rule impacts your compliance obligations.

You’ll learn:

  • The practical impact the final rule will have on your business practices
  • Which chemicals are subject to e-notification requirements, and which are exempt
  • How to interpret retroactive and forward-looking notice requirements concerning inactive and active chemicals
  • The timeline for reporting, including the mandatory dates by which you must report
  • What’s reportable, and what you need to know about key terms such as chemical identity and commercial activity
  • Which of the American Chemistry Council’s comments on the proposed rule made it into the final rule concerning technical, definitional, and clarity-related issues—and why it matters

About Your Presenter:

Richard EnglerRichard E. Engler, Ph.D. 
Senior Chemist 
Bergeson & Campbell, P.C. 

Richard E. Engler, Ph.D. is Senior Chemist with Bergeson & Campbell, P.C. (B&C®). Dr. Engler is a 17-year veteran of the U.S. Environmental Protection Agency (EPA) and is one of the most widely recognized experts in the field of green chemistry, having served as senior staff scientist in EPA's Office of Pollution Prevention and Toxics (OPPT) and leader of EPA's Green Chemistry Program. He has participated in thousands of Toxic Substances Control Act (TSCA) substance reviews at EPA, as well as pre-notice and post-review meetings with submitters to resolve complex or difficult cases, and he draws upon this invaluable experience to assist B&C clients as they develop and commercialize novel chemistries. 

Dr. Engler's expansive understanding of the specific challenges and opportunities TSCA presents for green and sustainable chemistry is a powerful asset for clients during regulatory review. He assists clients in performing toxicological reviews, performing environmental fate modeling using Sustainable Futures tools, and preparing scientific and test data for regulatory submission. He is particularly skilled in preparing Pollution Prevention (P2) statements to highlight the concrete environmental benefits of biobased or renewable chemicals, as well as other sustainable chemistry products and processes. 

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