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| Organization | Harmonization with consent order |
|---|
1 organization-typed comment could not be identified.
Explorer
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- 1 comment from the past week
One comment matches your current view and arrived in the last week. Read this week's comments with stance, commenter type, and AI summaries on the paid plan.
- Jul 7, 2026Comment submitted by Steven SingletonSupportAcademic📎 Attachment
An independent researcher submits a structured examination supporting the proposed nineteen SNURs while advocating for a more durable, hazard-tiered architecture. The commenter argues that the current per-chemical batch model is structurally leaky and proposes a system of self-executing mechanisms, data-escrow, and hazard-based tiers to improve regulatory durability and transparency.
Read comment → - Jun 29, 2026Comment submitted by James ScarboroughSupportIndividual
The commenter supports the EPA's use of the TSCA significant-new-use mechanism to maintain oversight of activities that do not conform to existing TSCA Orders. They request that the EPA improve the public record by adding a nonconfidential, substance-by-substance implementation appendix and providing clearer assumptions behind the SNUN and export-notification burden estimates.
Read comment → - Jun 26, 2026Comment submitted by Onium PAG ConsortiumOtherBusiness📎 Attachment
Lawrence E. Culleen, representing the Semiconductor Photoacid Generator (PAG) Consortium, requests that the EPA harmonize the language of the proposed Significant New Use Rules (SNURs) with the terms of a predicate Consent Order. He also identifies a typographical error in the PMN number cited in the Supplementary Information for one of the substances.
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