In June 2023, federal agencies released their “Spring 2023” Regulatory Agendas that provide an outlook for numerous upcoming regulatory actions on chemicals which could have significant implications for the regulated community. Hunton Andrews Kurth LLP’s regulatory team have provided analyses of these upcoming regulatory actions:
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Minnesota Becomes Second State To Pass Sweeping PFAS Ban and Reporting Law Targeting All Products
EPA Releases Proposed Rule under TSCA to Ban or Restrict Most Uses of Methylene Chloride
EPA Proposes National Primary Drinking Water Regulation to Set Stringent Limits on PFAS in Drinking Water, Including Four Newly Targeted Substances
EPA Proposes A Cumulative Risk Approach for Chemical Risk Assessment under TSCA
Announcement: Recent Regulatory Agendas Show Numerous Delayed Awaited Agency Actions on PFAS and TSCA Chemicals
Do the Products You Sell Contain PFAS?
EPA Finalizes its Long-Awaited IRIS Handbook Updating a Number of Key Elements
What could the US EPA’s proposed Superfund listing for PFOA and PFOS mean for industry?
Liability Looms Large as EPA Seeks Naming Certain PFAS as CERCLA Hazardous Substances
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