Over the past two years, several changes have been made to the reporting requirements under EPCRA 313 - or commonly referred to as Toxic Release Inventory (TRI) reporting. Depending on the amounts of 313 chemicals processed or "otherwise used" at a facility, a TRI report may be required.
Links to relevant amendments to TRI reporting requirements:
Use of NAICS codes, instead of SIC codes to determine applicability
Changes to reporting Persistent, Bioaccumulative and Toxic Chemicals (PBT) on Form R Reports
Proposed additional chemicals to list of 313 chemicals subject to TRI report
EPA Clarification of Article Excemption Under EPCRA Section 313
Caltha LLP provides specialized expertise to clients nationwide in the determine TRI reporting requirements, developing 313 chemical tracking procedures, and preparing Toxic Release Inventory reports.
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