Frequent Questions
- Asbestos
- Top 20 Asbestos Questions
- Asbestos in the Home
- Asbestos in Schools
- General
- Applicability of AHERA
- School Personnel Training
- Asbestos Sampling and Testing
- Inspections and Reinspections
- Annual Notification Requirements
- Local Education Agency Designated Persons
- Recordkeeping and Asbestos Management Plans
- Small-Scale and Short-Duration Projects
- Determining Friability
- Response Actions
- Operations and Maintenance
- Labeling of Asbestos-Containing Materials
- Asbestos Model Accreditation Plan (MAP)
- Asbestos in Vermiculite
- Finding Asbestos
- Asbestos in Brakes
- Reporting a Violation
- Biotechnology
- Chemical Information Collection and Data
- Federal Electronics Challenge
- Formaldehyde
- Import-Export
- Lead
- General Information About Lead
- General Information About the RRP Rule
- EPA/HUD Real Estate Notification & Disclosure Rule
- Testing for Lead
- Lead in Products
- Lead in Drinking Water
- Lead at Superfund Sites
- Renovation, Repair, and Painting Rule
- Authorized State and Tribal Programs
- Enforcement and Inspections
- Firm Certification
- Information for Do-It-Yourselfers
- Lead-Safe Certified Firm Logo
- Pre-Renovation Education
- Recordkeeping and Reporting Requirements
- Renovations covered by the RRP Rule
- Renovator Certification and Training
- Training Provider Accreditation
- Work Practice Standards
- Fees for Lead Abatement and RRP Programs
- Lead Abatement, Risk Assessment and Inspection
- Mercury
- Nanotechnology
- New Chemicals Program
- PBTs - persistent bioaccumulative toxic
- PCBs - polychlorinated biphenyls
- PFOA - perfluorooctanoic acid
- Section 8e
Information You Must Report
- Processing and Use Reporting Threshold
- Must processing and use activities be reported for inorganic chemical substances for the 2012 CDR submission period?
- If a company manufactures 90,000 lb in 2011, does the company need to report processing and use information for the 2012 CDR?
- Company A manufactures over 100,000 lbs of a chemical substance and exports 90% of it. Since the remaining 10% is less than 100,000 lbs, does Company A need to report processing and use information in Part III of the form?
- Has the threshold for processing and use reporting changed since the 2006 IUR submission period?
- Full Reporting for Chemical Substances
- What is full reporting under CDR?
- Which chemical substances are subject to full reporting?
- Partial Reporting Exemptions
- What are partial reporting exemptions?
- How do the “specific chemical substances” get listed for partial exemptions from CDR reporting?
- If a company manufactures more than 100,000 lb of a chemical substance listed as a petroleum process stream at 40 CFR 711.6(b)(1)) and is not the subject of any TSCA actions that would negate its partial exemption, which sections of Form U must be completed?
