Document Ra94Bd0wvq6bo0eL9dEOENxy8

Vista Chemical Company 15990 North Barker's Landing Road Post Office Box 19029 Houston, Texas 77224 Phone (713) 531-3200 RF XF; August 22, 1988 Mr. John Blum Hoechst celanese 1389 Schoolhouse Road New Castle, Delaware 19720 VISTA Dear John: Enclosed are examples of our responses to customer inquiries on Proposition 65. The requests we get vary from a simple yes/no request to the concentration form I've enclosed. We generally try to be as quantitative as possible in our responses. To further define the status of our FVC products, we are developing leaching data on compounds with the highest levels of additives, i.e. lead, on the Preposition 65 list. The proposed TCLP method will probably be used for this analysis. Hopefully this data will allow us to make some judgement on the release or exposure potential to environmental media. We are in the process of modifying our MSDS, where applicable, to contain specific Proposition 65 warnings. Sincerely, Thcmas G. Grumbles, C.I.H. Environmental Quality Manager dlj Enclosures cc: Tom Davis VVV 000008537 7 Vista Chemical Company 15990 North Barkers landing Road Post Office Box 19029 Houston, Texos 77224 Phone (713) 531-3200 August 1, 1988 VISTA Re: PROPOSITION 65 Dear Mr. Coolidge: Attached are the chemical concentration forms you requested for Vista PVC products you purchased. Please be aware that the concentrations listed are weight percents of the additive containing the listed material and may not be the actual concentration of the Proposition 65 chemical. In addition to the additive chemicals, Vista PVC compounds may contain trace quantities of vinyl chloride. The concentration is typically less than 1.0 ppm. Please call me at 713-531-3445 if you have questions on this information. Sincerely, Thomas G. Grumbles, C.I.H. Environmental Quality Manager dlj Attachment 00000953B VVV CALIFORNIA PROPOSITION 65 CHEMICAL CONCENTRATION FORM The following products supplied to Electri-Flex Company, contain the chemicals listed on the attached sheet which appear an the California list of chemicals known to the State to cause cancer, reproductive toxicity or birth defects as of this date. These products are the only products sold to Electri-Flex Company by this firm that contain any of the chemicals on the California list. ELECTRI-FLEX STOCK NO. 03019 03016 03173 03282 03016 03016 03016 VENDOR STOCK NO. NAME OF LISTED CHEMICAL Cadmium Lead Chromate Cadmium Lead Lead Chromate CONCENTRATION OF LISTED CHEMICAL (%) 0.76 1.45 0.53 2.84 0.71 2.43 2.61 1.81 2.95 COMPANY NAME Vista Chemical Company NAME OF PERSON COMPLETING THIS FORM ThTM*3 G- Grumbles (Print) TITLE Environmental Quality Manager vvv 000008539 Vista Chemical Company 15990 North Barker's Landing Road Post Office Box 19029 Houston, Texas 77224 Phone (713) 531-3200 March 16, 1988 VISIA RE: CALIFORNIA PROPOSITION 65 Dear Mr. Alchimisti: In regards to your request, our records indicate you purchase FVC compound. Based on our understanding of Proposition 65 the following information is provided. PVC compound may contain trace amounts of residual vinyl chloride. The amount is variable but typically well below 1.0 ppm. The wire and cable compounds you buy also contain lead compounds. However these lead compounds are bound in the FVC matrix and typically not released to the environment. Please feel free to call me at 713/531-3445 if you have questions on the above. Sincerely, Thomas G. Grumbles, C.I.H. Environmental Quality Manager ajo cc Bill Hurmicutt Bob Means VVV 000008540