Document Em23E0nmL0RXEjvmwqgoj4Oqn
Message
From:
Sent: To: CC:
Subject:
Beck, Nancy [/0=EXCHANGELABS/OU=EXCHANGE ADMINISTRATIVE GROUP (FYDIBOHF23SPDLT)/CN=RECIPIENTS/CN=168ECB5184AC44DE95A913297F353745-BECK, NANCY] 10/27/2017 10:39:59 PM
STANLEY M l L S T E I J7EZZ.ZJ
Mary Hanley (Hanley.Mary@epa.gov) [/o=ExchangeLabs/ou=Exchange Administrative Group (FYDIBOHF23SPDLT)/cn=Recipients/cn=58e0d3d52d424d45ae88e4386ae4f8dd-Hanley, Mary] RE: SOT-ACS Colloquium
Stan, Apologies fo r th e delayed response. Its been a b it busy here. Regarding y o u r q ue stion , you are co rre ct: The d e fin itio n o f "ch em ical substance" in TSCA Section 3(2) was n o t changed u nd er th e 2016 a m e nd m e nts. For purposes o f TSCA, "ch em ical substance" does n o t include (am ong o th e r things) "a n y drug, cosm etic o r device" as d e fin e d in FFDCA.
Let me know if you have any additional questions. Regards, Nancy
Nancy B. Beck, Ph.D., DABT D eputy A ssistant A d m in is tra to r, OCSPP P: 202-564-1273
M
l
!
L_E_x_.__6_P_e_r_s_o_n_a_l _P_r_iv_a_c_y__(P__P_)
| i
beck.nancy@epa.gov
From: STANLEY MILSTEIN ZZZZZZkAZZZZZZZj
Sent: Tuesday, O cto b e r 17, 2017 10:04 AM
To: Beck, Nancy < Beck.N ancy@ epa.gov>
Cc: STANLEY MILSTEIN f
Ex. 6
|
Subject: FW: SOT-ACS C olloquium
2nd transmittal (to correct typo in my opening appellation). This is not a USG laptop. Mea culpa..
From: STANLEY MILSTEIN j
Ex. 6
j
Sent: Tuesday, October 17, 20179:59 AM .........................J
To: beck.nancy@epa.gov
Cc: STANLEY MILSTEIff.............. eZ 6 ............... ]
Subject: SOT-ACS Colloquium
Dear Dr. Beck (Nancy) --
Good morning. It was very good meeting you last week at ACS HQ for the joint ACS-SOT meeting. Thanks very much for your outstanding presentation on the new TSCA updates mandated by the Frnak Lautenberg Chemical Safety Act (LCSA).
The question that I had spoken of in our post-talk "sidebar" was whether under "Scope" or "Definitions", "cosmetic ingredients", "cosmetics", or other ingredients and finished products in the range regulated by FDA under the federal FD&C Act are covered by EPA as "chemical substances"; I believe that they weren't previously covered under TSCA (1976) and that in the new LCSA, this hasn't changed. I just wanted to confirm this with you, if you know.
Sierra Club v. EPA 18cv3472 NDCA
Tier 12
ED 002061 00050321-00001
Many thanks for your courtesy in taking the time to answer this question. `Much appreciated.
Stan Milstein
Stanley R. Milstein, Ph.D. 50 Year Member-ACS Acting Deputy Director, (Retired) - FDA/CFSAN/OCAC Senior Area IV Director, Society of Cosmetic Chemists (SCC)
Ex. 6
i.____________________________________________________!
Sierra Club v. EPA 18cv3472 NDCA
Tier 12
ED 002061 00050321-00002