Document J3r00OdOmJ6DkRXmLRgGGjM16

PGoodrich The BFGoodrich Company Geon Vinyl Division 6100 Oak Tree Boulevard Cleveland, Ohio 44131 216-447-6000 / June 17, 1992 Ms. Cindy Tchilinguirian Additives Toxicology Group NSF International (NSF) P.O. Box 130140 Ann Arbor, MI 48113-0140 Dear Ms. Tchilinguirian: I am returning the attached TDRS - Form B under Std. 60/61 on 820X13 for forwarding to the appropriate supplier. 820X13 is not a BFGoodrich product. Sincerely, THE BFGOODRICH COMPANY Connie N. Dillon Regulatory and Data System Specialist CND/jp cc: Joe Kelley BFG15190 cn 05 BFGoodrich Canada Inc. Geon Vinyl Division To: See Below From: Carl Reid JUNO $1982 Niagara cc: A. Shaidle, M. Waher Dr. R. Hinderer ^ Date: June 2, 1992 Subject: \/TSCA TRAINING f' 06 / f > ' tj'y frGf'-if / TO: T. Fletcher - Scotford M. Dessureault - Shawinigan Mike Marshall - Cleveland A1 Shaidle asked me to summarize the Niagara Plant TSCA Training Programme, after his conversations with Mike Marshall, Bill McDonald and Denis Belzille: 1) Department Managers will be trained in basic requirements, to become conversant with the programme being introduced in U.S.A. plants. 2) We will include requirements for "allegations" and "substantial risk" in our routine WHMIS Safety training, to ensure compliance by all employees. Since Ontario legislation does not formally cover "allegations" and "substantial risks" as in TSCA, plant employees must sign off when they ) receive this training /lw Carl Reid BFG15191 June 4, 1992 Beth Landskroner SUBJECT: GEON 83405 TRANS 002/CQQLEY I have reviewed the FDA status on the above referenced compound. The compound's ingredients are either Generally Recognized As Safe (GRAS), Prior Sanctioned (PS) or meets the specific requirements under Indirect Food Additives Regulations 21CFR.174 through 178. If I can be of further assistance, please give me a call. \~fj Connie N. Dillon Ext. 7831 0604-1/jp BFG15192 21563001 21563002 BFG15193