85 FR 44885
EPA announced the availability of and seeks comment on technical documents associated with a report on physiologically based pharmacokinetic modeling for chloroprene and a supplemental analysis of metabolite clearance.
EPA announced the availability of and seeks comment on technical documents associated with a report on physiologically based pharmacokinetic modeling for chloroprene and a supplemental analysis of metabolite clearance.
Under a proposed consent decree in Our Children's Earth Foundation v. Wheeler, No. 3:19-cv-07125 (N.D. Cal.) brought under §113(g) of the CAA, the EPA must perform its non-discretionary duties to review existing new source performance standards for secondary lead smelters, lead-acid battery manufacturing plants, surface coating of plastic parts for business machines, and automobile and light-duty truck surface coating operations and to review existing NESHAPs governing dry cleaning facilities, paint stripping and miscellaneous surface coating operations, and lead-acid battery manufacturing by the deadlines established in the consent decree.
Under a proposed consent decree in Our Children's Earth Foundation v. Wheeler, No. 3:19-cv-07125 (N.D. Cal.) brought under §113(g) of the CAA, the EPA must perform its non-discretionary duties to review existing new source performance standards for secondary lead smelters, lead-acid battery manufacturing plants, surface coating of plastic parts for business machines, and automobile and light-duty truck surface coating operations and to review existing NESHAPs governing dry cleaning facilities, paint stripping and miscellaneous surface coating operations, and lead-acid battery manufacturing by the deadlines established in the consent decree.
Under a proposed consent decree in Our Children's Earth Foundation v. Wheeler, No. 3:19-cv-07125 (N.D. Cal.) brought under §113(g) of the CAA, the EPA must perform its non-discretionary duties to review existing new source performance standards for secondary lead smelters, lead-acid battery manufacturing plants, surface coating of plastic parts for business machines, and automobile and light-duty truck surface coating operations and to review existing NESHAPs governing dry cleaning facilities, paint stripping and miscellaneous surface coating operations, and lead-acid battery manufacturing by the deadlines established in the consent decree.
Under a proposed consent decree in Our Children's Earth Foundation v. Wheeler, No. 3:19-cv-07125 (N.D. Cal.) brought under §113(g) of the CAA, the EPA must perform its non-discretionary duties to review existing new source performance standards for secondary lead smelters, lead-acid battery manufacturing plants, surface coating of plastic parts for business machines, and automobile and light-duty truck surface coating operations and to review existing NESHAPs governing dry cleaning facilities, paint stripping and miscellaneous surface coating operations, and lead-acid battery manufacturing by the deadlines established in the consent decree.
Under a proposed consent decree in Our Children's Earth Foundation v. Wheeler, No. 3:19-cv-07125 (N.D. Cal.) brought under §113(g) of the CAA, the EPA must perform its non-discretionary duties to review existing new source performance standards for secondary lead smelters, lead-acid battery manufacturing plants, surface coating of plastic parts for business machines, and automobile and light-duty truck surface coating operations and to review existing NESHAPs governing dry cleaning facilities, paint stripping and miscellaneous surface coating operations, and lead-acid battery manufacturing by the deadlines established in the consent decree.
Under a proposed consent decree in Our Children's Earth Foundation v. Wheeler, No. 3:19-cv-07125 (N.D. Cal.) brought under §113(g) of the CAA, the EPA must perform its non-discretionary duties to review existing new source performance standards for secondary lead smelters, lead-acid battery manufacturing plants, surface coating of plastic parts for business machines, and automobile and light-duty truck surface coating operations and to review existing NESHAPs governing dry cleaning facilities, paint stripping and miscellaneous surface coating operations, and lead-acid battery manufacturing by the deadlines established in the consent decree.
EPA announced the availability of and seeks comment on the Integrated Risk Information System (IRIS) Assessment Plan for Oral Exposure to Vanadium and Compounds, which outlines the objectives for the IRIS assessment and the type of evidence considered most pertinent to address the scoping needs.
EPA announced the availability of and seeks comment on the Integrated Risk Information System (IRIS) Assessment Plan for Oral Exposure to Vanadium and Compounds, which outlines the objectives for the IRIS assessment and the type of evidence considered most pertinent to address the scoping needs.
EPA announced the availability of and seeks comment on the Integrated Risk Information System (IRIS) Assessment Plan for Oral Exposure to Vanadium and Compounds, which outlines the objectives for the IRIS assessment and the type of evidence considered most pertinent to address the scoping needs.