On May 29, 2024, the US Environmental Protection Agency (EPA) released the latest version of the Toxic Substances Control Act (TSCA) Inventory, which includes 886,770 chemical substances, of which 42,377 are active chemicals. This update to the TSCA Inventory includes the addition of more than 130 substances formerly on the confidential list and 29 existing substances.
For businesses exporting chemicals to the United States, it is crucial to first verify whether the chemicals are listed on the TSCA Inventory. This determines whether they are considered existing substances under the Act, which in turn defines their regulatory obligations. CIRS has updated its database with the latest TSCA Inventory data.
Companies that wish to find out this information can conduct a search via our free tool: https://www.chemradar.com/
The TSCA Inventory is updated twice a year to ensure accurate and current chemical data. The next update is expected in early 2025. ChemRadar will continue to provide the latest TSCA Inventory updates.
Confidential Inventory vs. Non-Confidential Inventory
A chemical on the TSCA Non-Confidential Inventory can be identified as an existing US chemical by name or CAS number. For chemicals on the Confidential Inventory, a confidential search is required. US companies must submit a bona fide intent to the EPA for an official inquiry.
Active and Inactive Substances
Under the TSCA Comprehensive Update Act, substances used commercially within ten years are labeled as active, prioritized for screening, and first in line for risk assessments if deemed high-priority. Companies must submit Form B to the EPA to activate inactive substances for production, import, or use. Both active and inactive substances are classified as existing substances in the US, requiring enterprises to fulfill two specific obligations.
a. Chemical Data Reporting (CDR)
Entities must submit electronic reports via e-CDRweb for sites with annual chemical production or importation exceeding 25,000 pounds (11.3 metric tons). Reports are required every four years.
b. Significant New Use Reporting (SNUR)
Entities planning to produce or use chemicals designated by the EPA for significant new uses must notify the EPA 90 days in advance. This allows the EPA to review and manage potential risks to human health and the environment.
Our Services
- TSCA Inventory and confidentiality consultations;
- Strategic compliance for TSCA-listed chemicals;
- Exemptions for pre-manufacture notifications including R&D and low-volume substances;
- Pre-Manufacture Notifications (PMNs); and
- Significant New Use Notifications (SNUNs).
Why you should choose us
- We can provide an efficient, high-quality service via our US subsidiary;
- We have extensive regulatory expertise and technical strength;
- We can provide multilingual support in English, Japanese, and Chinese;
- We provide swift, confidential client responses; and
- We are specialized in global chemical regulations, focusing on EU REACH for US companies.
If you need any assistance or have any questions, please contact us via service@cirs-group.com.
Source from CIRS
Disclaimer: The information set forth above is provided by cirs-group.com independently of Alibaba.com. Alibaba.com makes no representation and warranties as to the quality and reliability of the seller and products.