TSCA 30/30
Keller and Heckman LLP presents a webinar series on the changes to the Toxic Substances Control Act (TSCA) resulting from the June 22, 2016 passage of the Frank R. Lautenberg Chemical Safety Act for the 21st Century (Lautenberg Act).
The TSCA 30/30 webinar series is presented by Keller and Heckman LLP's TSCA attorneys and scientists. Keller and Heckman LLP's TSCA Chemical Control Practice Group is the leading TSCA and Chemical Control legal firm with offices around the world, Serving Business Through Law and Science®.
This webinar series offers the option for live captioning, provided by Zoom.
Mark your calendars for the next TSCA 30/30
January 8, 2025 - Click Here to Register
Library of Past TSCA 30/30 Programs by Year
January 17, 2024 – Next Wave of Prioritization Candidates
February 14, 2024 – Industry on the Counter-Attack
April 10, 2024 - TSCA §6(a) Rules - Role of Non-Risk Factors in Risk Management
May 8, 2024 - The Final Methylene Chloride Risk Management Rule: Lessons Learned by Industry
June 27, 2024 - Are You Prepared for the 2024 CDR?
July 17, 2024 - EPA Enforcement
August 14, 2024 - State of Play of TSCA Litigation
September 18, 2024 - TSCA information disclosure litigation / Are Section 21 petitions serving as an end-run around the Section 6 prioritization/risk evaluation process?
October 16, 2024 - Bypassing EPA: Citizens Use of the Courts to Regulate Existing Chemicals and Enforce TSCA (TSCA §§ 20 and 21)
December 4, 2024 - Industry Update: Fixing TSCA
January 11, 2023 – TSCA Actions on EPA’s Regulatory Agenda and Cumulative Risk Assessment
February 8, 2023 – PFAS Test Orders, SNURS, Litigation, and Other Challenges
April 12, 2023 – TSCA Nomenclature–Friend and Foe
May 10, 2023 – Section 6(g) Critical-Use Exemptions
June 21, 2023 – Existing Chemicals Exposure Limits (ECELs) and Ruminations on Full Study Reports and Data Templates
July 12, 2023 – TSCA Section 6 Wake-Up Calls
August 9, 2023 – U.S. v. Inhance Case: Impurities v. Byproducts and SNURS and the Broader Implications for Industry
September 27, 2023 – The Seven Year Itch – Is it Time to Think of TSCA Reform (Again)?
October 11, 2023 – TSCA 30/30 Special 60-minute Webinar Focusing on EPA’s Final Rule to Require Reporting of PFAS Data Under TSCA
December 6, 2023 – TSCA Litigation Update
February 9, 2022 – Enforcement under the Biden Administration
March 23, 2022 – Recent Biden EPA Initiatives
May 11, 2022 – PFAS Updates
June 8, 2022 – Occupational Exposure Under the Biden EPA
July 13, 2022 – Pause or Play? Preemption under the Biden EPA
August 10, 2022 – Implications of the Major Questions Doctrine on TSCA Sec. 6 Bans and EPA revisions to the Generic SNUR provisions
September 14, 2022 – Contribution of TSCA to Sustainability
October 12, 2022 – Enforcing EPA's Long Chain PFAS SNUR: Uncertain Scope of Impurity and Byproduct Exemptions and Mixed Metal Oxide Compliance Advisory
December 14, 2022 – Proposals to Revamp TSCA New Chemicals Regulations
January 13, 2021 - District Court Compels Use of CDR to Fill Data Gaps in the Asbestos Risk Evaluation
February 17, 2021 - Section 4 Test Orders
March 17, 2021 - PFAS: Forever Chemicals and TSCA PBT Rule Update
April 7, 2021 - Perspectives on TSCA Implementation
May 12, 2021 - Use of the Toxic Release Inventory (TRI) to Support EPA Prioritization and Risk Evaluation Activities Under TSCA
June 9, 2021 - Chickens Come Home to Roost - Biden EPA's Implementation of TSCA
July 14, 2021 - Section 8(d) Reporting Rule for High-priority Chemicals and Section 8(a) Proposal for PFAS Chemicals
August 18, 2021 - Development of Tiered Data Reporting To Inform TSCA Prioritization, Risk Evaluation, and Risk Management
October 13, 2021 - TSCA Regulation of Articles: A Fresh Look
November 10, 2021 - PFAS Update
December 8, 2021 - TSCA Litigation in the Biden Era
January 15, 2020 - PBT Risk Management Rule
February 12, 2020 - (Don't) Be Afraid of the TSCA PMN Process
March 11, 2020 - TSCA Hot Topics Q1 2020
May 13, 2020 - Recent Developments in TSCA Section 6 Scope Documents on High Priority Chemicals
June 10, 2020 - 2020 Chemical Data Reporting Cycle
July 15, 2020 - TSCA Instruments for Obtaining Data from Companies
August 12, 2020 - Risk Management Under Section 6 of TSCA
October 14, 2020 - TSCA CBI Substantiation Deadline and Subtleties
November 10, 2020 - EPA’s Anticipated TSCA New Chemical Review Procedural Rule
December 9, 2020 - 2020 Year in Review and 2021 Preview
January 9, 2019 - TSCA 2019 Outlook
February 13, 2019 - Prioritization is Coming – Preparing for March 2019 and Beyond
April 17, 2019 - The Challenge of Protecting CBI Under the New TSCA
May 15, 2019 - Chemical Data Reporting 2020 - Proposed Amendments
June 12, 2019 - LCSA at Three Years
July 10, 2019 - CANCELLED
August 14, 2019 - Industry Engagement With the New TSCA
September 11, 2019 - TSCA Confidential Business Information (CBI)
November 13, 2019 - EPA Draft Risk Assessment Scorecard
December 11, 2019 - Holiday “Invitations”: EPA’s Coming Risk Evaluation Fee Manufacturers List
January 10, 2018 – TSCA Section 21, Citizen Petitions Under the New TSCA – A Looming Threat
February 14, 2018 – Who Has the Better of the Argument – NGOs or EPA – When it Comes to Issuing Non-5(e) SNURs?
March 14, 2018 – Proposed New TSCA User Fees – Impacts and Issues
April 11, 2018 – EPA's Plan to Develop and Implement New Test Methods
May 9, 2018 – Transparency, Good Science, and the Future of TSCA Rulemaking
June 13, 2018 – TSCA on TRIAL
July 11, 2018 – The Anatomy of a TSCA Problem Formulation Document Using NMP as an Example
August 8, 2018 – New TSCA Second Anniversary Round-up
October 10, 2018 - EPA’s Working Approach to Pre-prioritization
November 14, 2018 – “Non-Order” SNURs and New Paths to PMN Approvals
December 12, 2018 – Risk Evaluation for Pigment Violet 29
January 11, 2017 - The EU and U.S. Approaches – Who Does a Better Job of Assessing Chemicals?
February 8, 2017 - The Chemical Prioritization Rule and Its Implications
March 8, 2017 - EPA's Call for Use Information for the First 10 Chemicals to Undergo Risk Evaluation
April 12, 2017 - Testing Under New TSCA: Not Your Grandfathers Section 4
May 10, 2017 - Using Exposure Assessment to Mitigate Risk Concerns
June 14, 2017 - EPA's Evolving Approach to "New" Polymers Under TSCA
July 12, 2017 - New TSCA - The Rules of Engagement
August 9, 2017 - Pre-prioritization of Existing Chemicals
September 13, 2017 - PBT Chemicals and the New TSCA
October 11, 2017 - Substantiating Confidential Business Information
November 8, 2017 - The TSCA Inventory "Reset"
December 13, 2017 - Potential Future of the Chemical Data Reporting Rule under TSCA