Showing posts with label Green Chemistry. Show all posts
Showing posts with label Green Chemistry. Show all posts

Thursday, September 18, 2014

Draft DTSC Work Plan Signals Expansion of California Green Chemistry Initiative

As part of its Safer Consumer Products Regulation (SCPR) under California’s Green Chemistry Initiative, the Department of Toxic Substances Control (DTSC) on September 13, 2014 issued its Draft Priority Product Three-Year Work Plan. Companies that manufacture or sell products within the seven categories identified in the draft Work Plan will need to pay close attention to the pre- and then final rulemaking process.

Under the SCPR, DTSC is required to:
  • identify products that contain one or more of the nearly 1200 “candidate chemicals” that have been identified by DTSC based on the risk that they may present to the environment or human health,
  • prioritize those products for review under an “alternatives analysis” to assess whether there are safer alternatives to the chemicals presently in use, and then
  • consider a number of possible “regulatory responses” based on the results of the alternatives analysis, which at its most extreme includes the possibility of banning the sale of the product in California. 
DTSC’s initial list of proposed “priority products,” which is still in the rule-making process, includes:
  • Spray Polyurethane Foam (SPF) Systems containing unreacted diisocyanates,
  • Children’s Foam Padded Sleeping Products containing Tris(1,3-dichloro-2-propyl) phosphate (TDCPP), and
  • Paint and Varnish Strippers with methylene chloride.
The seven broader categories of products that DTSC will review as part of the three-year Work Plan are:
  • Beauty, Personal Care and Hygiene Products (body wash and soaps, cosmetics, nail and hair care products, lotions, etc.),
  • Building Products—limited to paints, adhesives, sealants, flooring,
  • Household, Office Furniture and Furnishings—limited to those treated with flame retardants and/or stain resistant chemicals,
  • Cleaning Products,
  • Clothing,
  • Fishing and Angling Equipment, and
  • Office Machinery—e.g., printer inks, specialty paper, toner cartridges.
The Work Plan can be downloaded here. DTSC is holding preliminary Work Shops on September 25 in Sacramento, and September 29 in Cypress. Comments on the draft Work Plan are due by October 13, 2014, although DTSC acknowledges that implementation of the SCPR, and in particular selection of priority products, will be a long process, and that significant input from all stakeholders will be critical. 

-- Josh Bloom and Chris Jensen

For more information, please contact Josh Bloom at (415) 228-5406 or jab@bcltlaw.com; Chris Jensen at (415) 228-5411 or cdj@bcltlaw.com; or Samir Abdelnour at (415) 228-5443 or sja@bcltlaw.com.

Wednesday, March 26, 2014

DTSC Announces Initial Priority Products Under Green Chemistry Regulations

The next phase of California’s Safer Consumer Products regulations (SCPR), also known as the Green Chemistry regulations, began on March 13, 2014, with the Department of Toxic Substances Control’s announcement of the three initial “priority products” proposed for comprehensive review and “alternatives analysis” under the SCPR.  Those products are being proposed by DTSC as priority products because they contain one or more chemicals of concern identified by DTSC under the regulations, and, according to DTSC, have the potential to cause significant harm to people or the environment, are widely used, and create the potential for significant exposure to the public from the chemicals in the products.

The three products proposed for designation as priority products, and the chemicals for which they have been associated, are:
  • Children’s foam sleeping products containing chlorinated Tris (TDCPP, or tris(1,3-dichloro-2-propyl) phosphate), used as a chemical flame retardant,
  • Spray polyurethane foam systems containing unreacted diisocyantates (SPF), used in home and building insulation, weatherization, sealing and roofing, and
  • Paint stripper containing methylene chloride.
The next step will be a rulemaking process that will result in DTSC’s final determination whether to list those products, and the adoption of associated regulations.  Once the regulations are adopted, which will likely take at least another year, manufacturers of the products will need to notify DTSC that they make one of the priority products, and ultimately perform an “alternatives analysis” to determine whether safe ingredients are available and feasible.
 
The selection of children’s foam sleeping products containing Tris was particularly curious because those products have already been subject to significant and widespread citizen enforcement under Proposition 65.  Putting aside whether those Proposition 65 cases were warranted, manufacturers of those products are generally phasing out the use of Tris as a chemical flame retardant.  Why DTSC selected a product for which manufacturers have essentially been performing some level of alternatives analysis for the past few years is not readily apparent.
 
 
For more information, contact Josh Bloom at jab@bcltlaw.com or (415) 228-5400.

Wednesday, February 6, 2013

California Green Chemistry Proposed Regulations Revised Yet Again

On January 28, 2013, the California Department of Toxic Substances Control (DTSC) issued further revisions to its proposed Safer Consumer Product Alternatives regulations, more commonly referred to as the "Green Chemistry" regulations.  This is one of a number of revisions DTSC has made to get the Green Chemistry program off the ground. 

Consistent throughout the process, the basic four-step structure of the regulations remains unchanged: 
  1. Identification of Chemicals of Concern,
  2. Development of a Priority Products list for which Alternatives Analyses must be conducted,
  3. Performance of an Alternatives Analysis for each Priority Product by manufacturers, importers, or retailers, and
  4. DTSC's "regulatory responses" following the Alternatives Analysis, which, at their most extreme, may result in prohibiting the sale of the product in California.
The 30-day public comment period on this latest revision ends on February 28, 2013.
  
Upcoming:  Josh Bloom, a Barg Coffin partner and Chair of the Bar Association of San Francisco's Environmental Law Section, will be moderating and speaking at the Bar's May 2, 2013 Green Chemistry Program, featuring Debbie Raphael, Director of DTSC.  The program will run from 5:30pm-7:30pm, at One Embarcadero Center, 18th Floor, San Francisco, at the offices of Nixon Peabody.  Further details and registration materials forthcoming, but feel free contact Barg Coffin for more information.
 
--Josh Bloom
 
Barg Coffin has an extensive consumer products practice, including Green Chemistry, Proposition 65, metals in jewelry, and CPSIA laws.  If you would like more information about the proposed Green Chemistry regulations, please contact Josh Bloom jab@bcltlaw.com, (415) 228-5406, or Rick Coffin rcc@bcltlaw.com, (415) 228-5420.  On the web at www.bcltlaw.com

Tuesday, August 7, 2012

California Green Chemistry Regulations Proposed

On July 27, the California Department of Toxic Substances Control (DTSC) issued revised proposed Safer Consumer Product Alternatives regulations, more commonly referred to as the "Green Chemistry" regulations.  This is DTSC's third attempt to get the Green Chemistry program off the ground, and is the result of an extensive informal review process. 

The basic structure of the regulations has remained consistent throughout each proposed iteration, outlined by a four-step process: 
  1. Identification of Chemicals of Concern,
  2. Development of a Priority Products list, for which Alternatives Analyses must be conducted,
  3. Performance of an Alternatives Analysis for each Priority Product by manufacturers, importers, or retailers, and
  4. DTSC's "regulatory responses" following the Alternatives Analysis, which, at its most extreme, may result in prohibiting the sale of the product in California.
The proposed Green Chemistry regulations are the most ambitious in the nation, the impacts will be far- reaching, and once implemented will likely be viewed as a model by other states.  

A public hearing is scheduled for 10:00 a.m. on September 10, 2012 at 1001 "I" Street in Sacramento, and the 45-day public comment period ends on September 11, 2012.

--Josh Bloom

Update:  The Department of Toxic Substances Control has extended the public comment period for the proposed Green Chemistry regulations, to October 11, 2012. The public hearing will proceed as initially scheduled on September 10, 2012.


Barg Coffin has an extensive consumer products practice, including Green Chemistry, Proposition 65, metals in jewelry, and CPSIA laws.  If you would like more information about the proposed Green Chemistry regulations, please contact Josh Bloom jab@bcltlaw.com, (415) 228-5406, or Rick Coffin rcc@bcltlaw.com, (415) 228-5420.  On the web at www.bcltlaw.com