On June 15, 2016, Bergeson & Campbell P.C.’s (B&C®) memoranda, “TSCA Reform: An Analysis of Key Provisions and Fundamental Shifts in the Amended TSCA,” was quoted in the Inside EPA article, “Questions Linger On EPA Approach To TSCA Bill’s New Chemicals Program.”
“While Lautenberg appears to afford EPA the discretion needed to fashion an appropriate transitional policy for disposing of currently pending and suspended Section 5 notices, it does not require EPA to do this,” a May 25 detailed review of the final TSCA reform bill by the law firm Bergeson & Campbell says.