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SM-32 (REV. 5*76) r& Shell Oil Company Interoffice Memorandum MAY 8, 1987 FROM: MANAGER ENVIRONMENTAL CONSERVATION - MANUFACTURING & TECHNICAL MANAGER HEALTH & SAFETY - MANUFACTURING & TECHNICAL TO: MANUFACTURING LOCATION MANAGERS ANACORTES ODESSA DEER PARK TAFT GEISMAR WILMINGTON MARIETTA WOODBURY MARTINEZ WOOD RIVER NORCO MANAGER DENVER SITE PROJECT - MANUFACTURING & TECHNICAL MANAGER PRODUCTS DISTRIBUTION - SUPPLY & TRANSPORTATION - REFINING & MARKETING SUBJECT: SARA TITLE III, "EMERGENCY PLANNING AND COMMUNITY RIGHT-TO-KNOW ACT OF 1986"; INFORMATION UPDATE Since our. memorandum to you of December 15, 1986 summarizing Title III of the Superfund Amendment and Reauthorization Act of 1986 (SARA), a number of questions on compliance have been raised by field locations and affected H.O. departments. In addition, peripheral issues have been identified by the SARA Implementation Task Force. These require resolu tion for effective implementation of SARA Title III requirements. The attached memorandum of April 27, 1987 from the Program Manager Environmental Affairs and its attachments provide updated information and interpretations. This includes (1) an overview summary of the Act, (2) issues with questions and answers related to compliance, and (3) other issues. While there are a number of important deadlines and issues disscussed in the attachment, we wish to highlight several points as follows: A workshop to address SARA Title III, CAER, and Shell's proposed Air Toxics Policy is being planned for location representatives, probably in September. All facilities are reminded that by May 17, 1987 any facility which has present an Extremely Hazardous Substance (EHS) in excess of the Threshold Planning Quantity (TPQ) established for that substance must notify the State Emergency Response Commission that it is subject to Subtitle A. Locations should be planning how to meet the October 17, 1987 reporting requirements. CW8712702 DPMC-03070 LAM 011662 / r- 2 Question and answer #5 in Environmental AffaiVs memorandum provides substantial guidance on the immediate and follow-up notification and reporting requirements in the event of a release. Prototype preplanned emergency notification announce ments are being developed for the EHS's of major concern to Shell facilities. The first of these preplanned announcements (chlorine) has been included as Attachment B to the Environ mental Affairs memorandum. It is expected that announcements for the remaining EHS's of major interest will be completed by July 1, 1987. Consideration is being given to updating Shell product MSDS sheets to include additional information for compliance with both CERCLA and SARA. Attachment C to Environmental Affairs memorandum is an updated list of Section 313 chemicals incorporating corrections made by EPA and supersedes the list contained in our previous memo randum. It is our intent to periodically issue update memoranda on SARA Title III. Environmental Conservation Department staff are available to answer any questions on the above. BCE/nrg Attachment CW8712702 DPMC-03071 LAM 011693 ( r cc: w/attachment ' Manager Marketing Engineering - Marketing - Refining & Marketing Manager Polymers Business Development - Chemical Manager Supply - Eastern Region - Refining & Marketing Manager Land Transportation - Refining & Marketing Manager Marine - Supply & Transportation - Refining & Marketing Manager Environmental Engineering - Corporate R&D-Engineering - Shell Development Manager Environmental Affairs - Health, Safety & Environment General Attorney Chemical/Environmental - Legal Manager Health, Safety & Environment - Marketing Engineering - Refining & Marketing Manager Operations Support - Products Distribution - Supply & Transportation - Refining & Marketing Superintendent Terminal Operations - DRMS - Supply & Transportation - Refining & Marketing Manager Solar Energy Business Development - Emerging Business - - Products Manager Environmental/Synfuels - Process Engineering - Manufacturing & Technical Manager Technical/Operations - Polymers & Catalysts - Chemical Venture Development Manager - Polymers Business Development - Polymers & Catalyst - Chemical Manager Regulations & Safety Services - Health, Safety & Environment Manager Transportation Safety & Regulations - Land Transportation - Refining & Marketing Medical Director - Occupational Health Surveillance - Health, Safety & Environment Manager HS&E - Services - Shell Development Senior Representative - Products P&I - Public Affairs - J. W. Gibson Environmental Programs Manager - Environmental Affairs - Health, Safety & Environment - J. A. Mullins Staff Engineer - Environmental Affairs - Health, Safety & Environment - J. A. Eslick Staff Specialist - P&I Products - Public Affairs - L. L. Lockner Senior Staff Engineer - Denver Site Project - Manufacturing & Technical - W. E. Adcock Senior Staff Research Engineer - Air, Waste & Groundwater Group - Environmental Engineering - Corporate R&D-Engineering - Shell Development - J. H. Moser Environmental Conservation Staff - Manufacturing & Technical Anacortes Manager Health, Safety & Environment Deer Park Superintendent Health, Safety & Environment Manager Health & Safety Geismar Manager Health, Safety & Environment Marietta Manager Health, Safety & Environment CW8712702 DFMC-08072 LAM 011694 ( f4 Martinez f Manager Environmental Conservation Manager Health & Safety Norco Manager Environmental Conservation Manager Health, Safety & Medical Odessa Manager Health, Safety & Environment Taft Manager Technical Safety & Training Representative Wilmington Manager Health, Safety & Environment Manager Environmental Conservation Woodbury Manager Technical Wood River Superintendent Environmental Conservation/Utilities Manager Safety & Industrial Hygiene HS&E-IS(2) With Separate Cover Letter Manager Regulations & Maintenance Standards - Shell Pipe Line Manager Health, Safety & Environment - Western Farm Service President - Triton Biosciences cc: w/o attachment General Manager Eastern Region - Refining & Marketing General Manager - Western Region - Refining & Marketing General Manager Marketing - Refining & Marketing General Manager Supply & Transportation - Refining & Marketing General Manager Industrial Chemicals - Chemical General Manager Polymers & Catalysts - Chemical General Manager Manufacturing - Manufacturing & Technical General Manager Engineering - Manufacturing & Technical Manager Process Engineering - Engineering-Products - Manufacturing & Technical Manager Technical - Eastern Region - Refining & Marketing Manager Technical/Operations - Western Region - Refining & Marketing Manager Technical/Operations - Lubricants - Refining & Marketing Technical Manager - Detergents & EO/EG Business Center - Chemical Manager Technical/Operations - Solvents Business Center - Chemical rwR717702 DPMC-08073 LAM 011695 SM-32 (REV. 5-78) I f Shell Oil Company Interoffice Memorandum ( ERV.'XONS. MFG. & ,TCH. F 87 APRIL 27, 1987 FROM: TO: PROGRAM MANAGER ENVIRONMENTAL AFFAIRS MANAGER ENVIRONMENTAL CONSERVATION; M&T MANAGER SAFETY AND ENVIRONMENTAL ENGINEERING; E&P MANAGER HEALTH, SAFETY AND ENVIRONMENT; SDC ADMINISTRATIVE MANAGERS: I&CS SHELL CREDIT CARD CENTER MANAGER CORPORATE AVIATION, P&AS 7* TRW ECE >i- Irgd_ jMB " VVAC FV/H RF.K LLH" JY7I__ i___ NRG_; JHJ J_CAL_{ CGW j FILE | ACTION DUE 7j ' SUBJECT: SARA TITLE III, "EMERGENCY PLANNING AND COMMUNITY RIGHT-TO-KNOW ACT OF 1986"; INFORMATION UPDATE Since the December 3, 1986, issuance of Environmental Affairs' summary of Title III of the Superfund Amendment and Reauthorization Act of 1986 (SARA), a number of questions on the subject of SARA Title III compliance have been raised by field locations and affected H.O. departments. Additionally, peripheral issues have been identified by the SARA Implementation Task Force which require resolution for effective implementation of SARA Title III requirements. Attachment A to this memorandum is intended to provide updated information and interpretations. The December 3, 1986 "Summary of Title III of SARA" should be considered the basic guidance document for location implementation of SARA Title III. It is our intent to periodically issue update memoranda on SARA Title III and to conduct a workshop in Houston for location representatives probably in September. Such a meeting would address SARA Title III requirements and the integration of SARA III, CAER and Shell's proposed Ait Toxics Policy. Please direct any questions on SARA III issues to J. A. Eslick (421-3239). Attachment CB8711001 DPMC-08074 lam 011696 * cc: B. F. Aurelius A. D. DItmar/K. C. Crawford S. A. Bergman J. W. Gibson W. H. Owen, Jr. J. L. Rivard B. A. Stevens C. H. Long J. W. Bolden 0. D. Long 2 CB8711001 DPMC-08075 LAM 011697 ( ATTACHMENT A t SARA TITLE III IMPLEMENTATION GUIDANCE (4/30/84) I. OVERVIEW: A SUMMARY OF THE ACT SARA Title III consists of three subtitles which deal with: (A) Emergency Planning and Notification, (B) Reporting Requirements and (C) General Provisions. SUBTITLE A: Emergency Planning and Notification EPA has issued a list of 402 "Extremely Hazardous Substances" (EHS) which include "Threshold Planning Quantities" (TPQ) and "Reportable Quantities" (RQ). As of the date of SARA promulgation, October 17, 1986, releases of EHS to any environmental media (air, water, land) in excess of the RQ are required to be reported immediately* after the release to local emergency response groups and/or the National Response Center in those cases where the release is also covered under CERCLA. A written follow-up notification is required "as soon as practicable after the release". Although the release notification requirments of CERCLA are unchanged, the emergency notification requirements of Subtitle A (as they apply to community emergen cy response) do not apply to releases which result in exposure solely within the facility. Although Title III includes a general exemption for transportation (including storage incident to trans portation of any chemical subject to the title), the exemption does not apply to the emergency reporting requirements for releases of EHS under Subtitle A. By May 17, 1987, any facility which has present an EHS in excess of the TPQ established for that substance must notify the State Emer gency Response Commission that it is subject to Subtitle A. Upon request of the local emergency planning committee, a facility must provide information to the committee necessary for the development and implementation of the emergency response plan mandated by Subtitle A. SUBTITLE B: Reporting Requirements Section 311: By October 17,1987, facilities which are required to prepare or have available a material safety data sheet (MSDS) for a hazardous chemical under the OSHA hazard communication `See Q.5 and response for discussion of contents of release notification. CB8711001 DPMC-08076 lam 011698 ! f4 standard (HCS), must supply the MSDS (or a 'list of those chemicals requiring MSDS) to the local and state emergency response/planning groups and to the local fire department. Section 312: By March 1, 1988, facilities required to prepare or have available a MSDS under OSHA must submit an "emergency and hazardous chemical inventory form" (proposed by EPA on 1/27/87 but not expected to be finalized until mid-1987) to the local and state emergency planning/response groups and to the local fire department. Section 313: By July 1, 1988 and annually thereafter, facilities with 10 or more employees in the manufacturing sector (SIC Codes 20 through 39) must submit a "toxic chemical release form" for each toxic chemical listed in Congressional Committee Print No. 99-169 titled "Toxic Chemicals Subject to Section 313 of the Emergency Planning and Community Right-to-Know Act of 1986."* Reporting thresholds, subject to EPA revision, are established for reporting releases of toxic chemicals manufac tured, processed or otherwise used at the facility during the calendar year for which the release forms are prepared. SUBTITLE C: General Provisions This Subtitle addresses trade secrets, provision of information to health professionals, information availability to the public, en forcement and penalties, the "transportation exemption", and defini tions pertinent to Title III. II. ISSUES AND QUESTIONS RELATED TO SARA TITLE III COMPLIANCE SUBTITLE A Q.l. What locations/facilities must make notification of coverage by May 15, 1987? A. All locations/subsidiaries (except transportation and storage incident thereto) must make notification of coverage if they have present at a facility quantities of EHS in excess of the TPQ. In such cases, they should be prepared to notify the State Emergency Response Commission (SERC) that they are subject to the provisions of Subtitle A (i.e.: they are an "affected facility"). * Attachment C is an updated list of Section 313 chemicals incorporating corrections made by EPA and supersedes the list contained in our December 3, 1986, memorandum. CB3711001 DPMC-08077 LAM 011699 ( 5 Q.2. What guidelines exist to determine if a TPQ is .present at a facility? A. In determining whether a TPQ is present, EPA has stated IN THE PREAMBLE TO THE PROPOSED RULE ON "Hazardous Chemical Reporting" that EHS's which constitute less than 1% of a mixture do not have to be factored into the TPQ calculation. We recommend, however, that locations consider notification of coverage when the TPQ is not exceeded only by virtue of the 1% rule if it is judged that the release of an RQ is probable (i.e., to preclude the situation which could result when the 1% rule excludes a facility from making the 5/17 notification but which must (subsequently) report the release of a RQ of EHS). Q.3. What constitutes the release of an RQ when mixtures are involved? A.. The construction of SARA is such that releases of chemical mixtures containing an EHS are reportable under Subtitle A if the component EHS released in the mixture exceeds the established RQ for that substance. For example, on the MSDS for Shell gasoline, the only components listed as an EHS are tetraethyl and/or tetramethyl lead (TEL, TML). Since the concentration of these materials is less than 1%, notification of coverage is not required (see previous Q/A); however, a spill of gasoline where more than 10 pounds of TEL or 1 pound of TML is released would require a release report. Q.4. Does the petroleum exclusion of CERCLA exempt reporting of petroleum gasoline releases? A. The 1980 CERCLA provision included the so-called "petroleum exclusion" that exempts reporting releases of petroleum and petroleum derivatives (interpreted not to include petrochemicals) to the National Response Center (NRC). SARA Title III was enacted as a "stand alone statute", and does not include the petroleum exclusion available under CERCLA. Q.5. What information should be provided in the first notification ' of a release under SARA? A. As briefly noted in the overview of Subtitle A, releases of RQ's of EHS require immediate notification to the LERC following a release as well as written follow-up notification "as soon as practicable after the release." While much of the information required in the immediate notification will necessarily be based on reasonably objective best estimates from the facility, SARA Title III'also requires information relating to acute and chronic health risks, medical attention required, and proper precautions to be taken as a result of the release being CB371100 DPMC-08078 ^700 ( - < 6 reported. Contrary to our original guidance, 'we do not believe the use of USDS information only will fully serve our best interests since the medical information should relate to the specific release. Consequently, prototype preplanned emergency notification announcements are being developed for the EHS's of major concern to Shell facilities. These announcements have been designed to meet the emergency notification requirements of Section 304; however, it is required that the locations select from options that have been previously evaluated for use by potential release scenarios. The first of these preplanned announcements (chlorine) has been included as Attachment B to this memorandum. It is expected that announcements for the remaining EHS's of major interest will be completed by July 1, 1987. The preplanned announcements will also be the basis of the written follow-up notification. While our December guidance suggested that 15 days was a reasonable period in which to submit the follow-up notification, that length of time has no basis in the statute and public pressures may well require a much more prompt response. The preplanned announcement, tailored by the location with the objective release data, will be completed by H.O. to address the health risks and medical issues associated with the release. This information cannot be preplanned completely, since it is "release-specific" in that the duration and exposure levels of the release (i.e. the dose) directly affect the risks and medical attention required. If prepared promptly, the written notice can become (or replace) the traditional holding statement. SUBTITLE B Q.6. What facilities must submit MSDS's or lists of chemicals requiring MSDS's by October 17, 1987? A. EPA makes it clear that at the present time, Subtitle B is applicable only to those facilities required to prepare or have available MSDS under the OSHA hazard communication standard. While at present Subtitle B is applicable only to manufacturing facilities with 20-39 SIC code and to distributors who supply manufacturing facilities (E&P is not yet covered under Subtitle B), EPA advises that when the OSHA hazard communication standard is revised to include additional SIC codes, the requirements of Subtitle B will apply to those newly covered facilities. Therefore, all functions should anticipate coverage under Sections 311 and 312 of SARA III, Subtitle B. CB8711001 DPMC-08079 LAM 011701 ( { , - J..-' f 7 Further, some states with OSHA plans may hatfe Hazard Communication Standards in place with broader SIC coverage than the current federal OSHA Hazard Communication Standard. In such cases, it is our opinion that the broader coverage of the state standard also triggers broader coverage of SARA Title III MSDS requirements. Q.7. Should a location submit the actual MSDS or only the list of materials required to have an MSDS? A. Section 311 permits the facility to choose between submitting the appropriate MSDS or a list of the chemicals requiring MSDS to the LERC by October 17, 1987. Since a list of chemicals is also required by the OSHA Hazard Communication Standard (HCS), it may seem easier to submit the HCS list. However, the SARA listing required under Section 311 requires additional detail that could become a burden to prepare, depending on the final regulations expected by mid-summer. Accordingly, the choice of MSDS submittal by October 17, 1987, may be preferred, and is provided for in the statute. Another issue encountered is whether all available MSDS should be submitted, or only those which are required under the OSHA HCS. Currently available MSDS (Shell's and supplier's) do not distinguish those that are required by the OSHA HCS. One way to approach this problem is to consider the various types of MSDS The following groupings are enc (a) Feedstocks (b) Purchased Materials (c) Intermediates and Process Streams (d) Products (e) Waste Streams Product Safety and Compliance, HS&E, has been requested to review Shell products MSDS (group d) to determine the efficacy of designating which are or are not required by OSHA HCS. All MSDS created for intermediates and process streams and hazardous waste streams (groups c and e) should, by definition, be required by OSHA HCS. Locations should review the categories of feedstocks and purchased materials (groups a and b) to determine which are required by OSHA HCS. With this information in hand, locations can better choose whether to submit all roo? i i nm DPMC-08080 lam 011702 ( << available MSDS, or only those required by OSHA HCS. Note that the Section 312 chemical inventory report forms required on March 1, 1988 provides a substantial incentive to reduce the materials covered to only those required by OSHA HCS. That incentive justifies the effort to reduce the list to only those materials for which MSDS are required. In summary, unless the pending chemical inventory reporting regulation is completed in time to be utilized by October 1987, locations may choose to submit their MSDS at that time and change to listing in conjunction with the inventory report forms for the March 1988 reporting deadline. Further, locations may choose to submit all available MSDS for ease of compliance by October 17, 1987 or to submit only those that are required by OSHA HCS if that work has been completed by that date. The compliance burden for submitting the chemical inventory report forms (Section 312) by March, 1988 may be reduced significantly by limiting the list of materials to be reported to only those for which MSDS are required. III. OTHER ISSUES While not considered a SARA Title III issue per se, consideration is being given to updating Shell product MSDS sheets to include the following "quantity related" information for compliance with both CERCLA and SARA: (a) Subtitle A "Threshold Planning Quantities" and "Reportable Quanti ties" for EHS; (b) "Reportable Quantities" under CERCLA; (c) Section 312 "Reporting Thresholds" below which no facility is re quired to submit hazardous chemical inventories by March 1, 1988 and annually thereafter; and (d) Section 313 "Reporting Thresholds" for submitting toxic chemical .release forms by July 1, 1988 and annually thereafter. If this is done, the information could be included in a separate sheet with the MSDS or in Section XI, "Environmental Protection" on the MSDS for those hazardous and toxic chemicals and EHS of concern at Shell facilities. However, this would also require a substantial commitment to revise the MSDS in this fashion, and to keep the data current. Comments are requested on the necessity or value of including such information on or with the MSDS. CB87U001 DPMC-08081 lam 011703 A* ATTACHMENT B SARA TITLE III EMERGENCY NOTIFICATION INSTRUCTIONS THIS "EMERGENCY NOTIFICATION" FORMAT MAY BE USED FOR THE IMMEDIATE NOTIFICATION REQUIREMENTS OF SARA TITLE III [SEC. 304(B)(2)]. THE REPORTING LOCATION SHOULD FILL IN THE INFORMATION ON P.l AND SELECT THE APPROPRIATE, SUBSTANCE-SPECIFIC ANNOUNCEMENT FOR P.2. UNDER 'SARA TITLE III, NOTIFICATION IS NOT REQUIRED FOR ANY RELEASE WHICH RESULTS IN EXPOSURE SOLELY WITHIN THE SHELL FACILITY [SEC. 304(a)(4)]. COVERED FACILITIES SHOULD PRE-PLAN THE RECIPIENTS OF THE SARA TITLE III EMERGENCY NOTIFICATION FOR THEIR LOCATION. SEE SEC. 304(b)(1): COMMUNITY EMERGENCY COORDINATOR STATE EMERGENCY PLANNING COMMISSION IN THE EVENT THE ABOVE ARE NOT YET ESTABLISHED, NOTIFY: THE FIRE DEPARTMENT WITH JURISDICTION _____________ THE STATE ENVIRONMENTAL AGENCY A COPY OF THE IMMEDIATE NOTIFICATION SHOULD BE RETAINED, TO DOCUMENT THE EMERGENCY INFORMATION ACTUALLY PROVIDED, AND AS A BASIS FOR THE SUBSEQUENT WRITTEN NOTICE [SEC. 304(c)]. TRANSPORTATION RELEASES ARE SUBJECT TO THE EMERGENCY NOTIFICATION REQUIREMENTS. THE OWNER OR OPERATOR OF THE COMMON CARRIER IS LEGALLY THE 'RESPONSIBLE PARTY FOR EMERGENCY NOTIFICATION OF TRANSPORTATION RELEASES. SUCH RELEASES MAY BE REPORTED TO 911, PER SEC. 304(b)(1), OR TO THE FIRE DEPARTMENT WITH JURISDICTION AND THE STATE ENVIRONMENTAL AGENCY. (NOTE - 911 MAY NOT BE AVAILABLE IN MANY AREAS). CAB8709902 DPMC-0808 LAM 011704 * SARA TITLE III EMERGENCY NOTIFICATION Page 1' GENERAL My name is and I represent Shell Oil Company. The of Shell Oil Company located at (Name of Facility) (Address) has had a release of '. This material, (Chemical Name or Identity) (Repeat Chemical Name) (is/is not) classified as an "extremely hazardous substance" under section 302(a) of the Emergency Planning and Community Right-To-Know law. The quantity of the material released is: [estimated at pounds.] Or [is expected to exceed the reportable quantity but cannot be estimated at this time.] The release occurred at approximately and: (Time) [continued for about minutes] Or [is still continuing]. The release was into: [the air] ^Or [the water] (Specify) Or [land] (Specify). The following emergency actions have been taken to control or contain the relase: [Note: this information is optional; not required by Sec. 304(b)(2)], CAB3709902 DPMC-08083 LAM 011705 Page 2- ,, CHLORIN E^rr^,--y'_ SARA TITLE III EMERGENCY NOTIFICATION Chlorine [Reportable Quantity - 10 Pounds] Chlorine is a gas with a pungent odor detectable at very low concentrations. It can produce severe irritation to the eyes, nose, and respiratory tract, with chest pain and breathing difficulty. At higher concentrations, it can impair actions, and result in death. Precautions (choose one of the following, basis best estimates of the scope and duration of the release, and previous planning or modeling) (1) This release was very minor in nature. No affect on the public is expected, and no precautions are necessary. (2) This release is not expected to cause any significant medical problems, although odor will be detectable, and some persons may experience mild respiratory irritation. (3) Persons in affected areas are advised to remain inside with doors and windows shut and air conditioner turned off. Sensitive persons or persons with heart or lung diseases may experience more severe irrita tion and may need to be evacuated from the area. (4) Shell Oil Company is advising that an orderly evacuation of affected areas be considered by the appropriate authorities. . Medical Attention Exposed persons exhibiting symptoms of respiratory distress should seek medical attention at once. Additional Information For additional information, authorities may contact (Name) our .(Title of Person) at telephone(s) This notice was given orally to: Name Phone Time CAB3709902/A DPMC-08084 LAM 011706 -f ATTACHMENT C ^-::2Q63 - - > -x. Full Text ADDITIONS TO EPA LIST OF CHEMICALS SUBJECT TO REPORTING UNDER TITLE 111 OF SUPERFUND AMENDMENTS, AS WELL AS ORIGINAL LIST (52 FR 9538; March 25, 1987) tOPTS--I0C001A; FRL-317S-1] Statement of Policy and Guidance Bearding Petitions Under Section 313 of Title III of the Superfund Amendments and Reauthorization Act of 1986; Technical Amendments agency: Environmental Protection Agency (EPA). action: Notice: Technical amendments. summary: EPA is adding to the list of chemicals subject to the provisions of section 313 of the Emergency Planning and Community Right to Know Act of 1S86. This document is a technical amendment that merely adds chemicals and categories that were inadvertently omitted from the initial published list. EFFECTIVE DATE; March 25,1387. FOR FURTHER INFORMATION CONTACT: Edward A. Klein. Director. TSCA Assistance Office (TS-799), Office of Toxic Substances. Environmental Protection Agency. Rm. E-343. 401 M St., SW.. Washington. DC 20460, 202-5541404. SUPPLEMENTARY INFORMATION: In the Federal Register of February 4.1987 (52 FR 3479), EPA issued the initial "List of Toxic Chemicals Subject to the Provisions of section 313 of the Emergency Planning and Community Right to Know Act of 1986." The initial list is set forth in Senate Environment and Public Works Committee Print 99169. EPA inadvertently omitted various chemicals and categories in its Federal Register document and is adding these as follows: (Additions to) List of Toxic Chemicals Subject to the Provisions of Section 313 of the Emergency Planning and Community Right to Know Act of 19G3 Chemical Same Antimony compounds Arsenic compounds B.irium compounds Beryllium compounds Cadmium compounds Chlurophenols Chromium compounds Cobalt compounds Copper compounds Cyanide compounds C.ycol compounds Loud compounds Manganese compounds Mercury compounds Nickel compounds Polybrominated biphenyls (PSBs) Selenium compounds Ch*ma M 1 Cts No. ------------------------------------------------ T Silver compounds Thallium compounds Suiyadef*y<J*- - - - - - - - - - - - - - - - - - ------ -------- C L Aed Blue 9. 6*trjno`*urn salt CL Aod Blue 9. cSso&um * 123729 265C162 3644459 Zinc compounds CL Aod - ------ 4623796 CJ SiK Grn 4 - ___ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ 569^2 The entire list of toxic chemicals set CL Base Rq i - - 969366 forth in the Senate Committee print will be codified at a future date. Cl C*so#y YeOow 3 _ Cl Food Rod 9._ _ _ _ _ _ _ _ Cl Food Red 15 _ _ ___________ -- 28J2406 3761533 618S9 Dated: March 16.1987. Victor J. Kimm. CJ Sotont Qrarqo 7 -- -- CX Socwvm Yno 3_ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ C.L Soweni Ynow m - - .... _ _ _ _ _ _ _ _ 3118979 97563 642079 Acting Assistant Administratorfor Pesticides and Toxic Substances. CL V*i YeJow 4 and compounds___ _ _ _ _ _ _ _ _ _ _ _ _ _ _ CaKJum eyarj/rutK_ _ _ _ _ _ _ 122665 7440439 155627 (FR Doc. 87-6451 Filed 3-24-87; 8:45 am] Ccir:i*n Cjrtursd. _ ______________ _ 133062 63252 List of Toxic Chemicals Subject to the CaiOon (fas........... __ 751*0 56225 Provisions of Section 313 of the Emergency Planning and Community 0*00*14 _ _ . .. . . Cawgrw* -- . _ _ _ CNoranfawi_ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ 463161 12CSC9 122904 Right to Know Act of 1936 O0dr 57749 CMonrvaJed 9uorecbon (Freon U3)- - - - - - 75121 CMofin# .... ........................ . 77*7.105 Nana \ <Ui No CNOrna toOMtu . -- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - lOC-iyJ<4 C7^0FO*C*DC tea - - 7S'.*8 AcfMi'jsr .0*............. ........ ....... Ace'aruat----------_---------- A;*ion ------------- ---- --Ace`cn*t~e,___ ---______ 2 Aceryiar`-ic*li.-crir#---------- Acrcirn------------------------ Acrytjrvc*_____ . ------- Ac-^tC 4CG____ _ - .. Ac.-v:cT.i.*-_____________ Ad.*:n________ _________ _ AV crkjrce---------------------- - - Aiurwum UrT' of Cun) .. Akjrrurrafr ---- j-AoinoA'itmAejeww - ---- 4 -Aninoaictsizene A-Armnrrup>AriYl- - - - ------ 1.Ammo-2-/T5#:ny**/,tn*jQusono Ammonia_ ----- AmocnHj'r. nrtrait (scU;W) . Ammoftouffl suffat* A/** c-Arssrcno ----- - pAmvcma . _ ------ . _ .-- O-Antfajin* ftydrcc-icnde__-- Antnracena ------- - - _ ArtiftyyiY ard CCts-u/vJS----Ar^erxc and comocturds Au<vn (fn^ejo)_________ A^rimn^ _ - Barwm and CO^OCahV.s____ . Bcrzai enuye*_______ __ e-nzamxjo--------------------- ------ E%nrrv*_______________ ___ _____________ _________ ... .. --. 8-;nz>c tncf.uy Bruntricnkv<3) ----------- S-yn^Ty* CTlQnde ______ __ _______ ___ 6cr:ov< p*ffC**o ... .... ---------- ------- G.snjvi CT'Qf C*------------------------------------- at<3 compounds ------------------ 7*cro 6c:js 676l 7JC54 107028 79C6I 79'07 107:31 300002 1C7051 7*29905 t3**28t 117793 6C093 92571 2290 766*417 6464122 7733X2 62533 90C40 10*9*9 134292 12C127 *4*0360 7**0362 1332214 4^2609 744C293 96673 552*0 71432 92675 96077 96M4 $4160 10C4J7 744(1417 2-CMo*ac*icor-nv>ij 5322*4 C,4eroC*uene! 1C69C7 C"-4jfcoe*r>ai*! 5)Ci5e CJ^arosman* crtrsi4)! 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Pho)onor< ac*c PhoChou) (y">ow o> n::j -- Phtf**r. anftyd'-Ct...__ P*ci< acid_____________________ Poiychwnaied ooftcnyis (PC3) P*cpane *xion-------- ------------ beta-Prci^oiaci'ine_______ Procnaideftyd________________ iQ-6t 101666 74953 I0 7T9 76933 6C3*4 743V tudtOI 624529 60626 929-8 * 3'32 75 $05-502 9*2C3 131327 91598 ?**0C20 7697372 - 139139 99692 99953 92933 1*36755 51752 SO 69755 1C0027 79169 15610$ 12:697 924163 5iit5 62759 66356 621647 4<4400 59692 759733 664935 16543556 ICO754 2734:31 20616:20 56312 eriii Tvc95? I065C3 SCI 37 754*5 766*352 77231*0 55**9 668?1 1325263 H20714 57576 !232M 114261 Gtcrrucai Not* ' Cai No . 115071 75558 75569 P, ...... uceoi Siccfum (manufactitfngi . . 6*0*2 *wrtri.rt# <talufar.nl T!*J*e?40fCVOT* (P*CMOOlfty*OTJ________ 77S2-5" 74*22?^ 13:0732 7757838 100*35 96793 7b6*S19 1002*0 \27'U 961115 74AT2S0 62555 132651 t3;*201 13463677 O-TotuOtf* Nydrocfttenri* ... TnffLkv'nn 106633 56*6*9 9-.CS7 9552* 636215 6*X)i352 6-5 7f9 1.1.1.Tr<fioretunc (Methyl cTAyciOfrnl______ 1 1 7-TANMrttffiUM 71555 I s S-TnrNaoehMH 9535* U.*-Tnmt**v bcn?*M 1562796 95C36 126727 Vny^n c*or<*. Xy<tr* i*fr**f)l 74I7S22 553622 75:$4 1320207 src27 7*40Cee 12122677 11 r EPA PROPOSAL TO DESIGNATE THREE AREAS IN ATLANTIC OCEAN AS SITES FOR DISPOSING OF DREDGED MATERIALS FROM SOUTHEAST HARBORS (52 FR 9894; March 27,1987) ENVIRONMENTAL PROTECTION AGENCY 40 CFR Part 228 IOW-4-FRL-3175-61 Ocean Dumping; Proposed Designation of Sites agency; Environmental Protection Agency (EPA). action: Proposed rule. summary; EPA today proposes to designate all of the existing dredged material disposal site offshore Sjvannah. Ceorgia. and part of existing dredged material disposal sites offshore Charleston. South Carolina, and Wilmington. North Carolina, as EPA approved ocean dumping sites in the Atlantic Ocean for the dumping of dredged materia! from thesp three harbor areas, respectively. These site designations are being proposed for an indefinite period of time, but are subject to continued monitoring in order to insure that adverse environmental impacts do not occur. The der.isiun to reduce the size of the existing Charleston and Wilmington sites is bused on projected future dredged material disposal volumes jnd Ihc facilitation of monitoring. In addition EPA proposes to approve, for a fuuryear period following filial designation, the entire existing Charleston sile fur use only for dredged materials from the Charleston Harbor Deepening project. This action is necessary to provide acceptable ocean dumping siles for the current and future disposal of dredged material date; Comments must he received on or before May 11. 1907. aodresses: Send comments to; Sally S Turner. Marine and Estuarine Branch. Water Management Division. EPA. 345 Caurtland Street NE. Atlanta. CA 30305. The File supporting these proposed site designations is available for public inspection at the fallowing locations: EPA Public Information Reference Unit (PiRU). Ronm 290-1 (rear). 401 M Street SW,, Washington. DC 4-3-a7 PuDiisnaa By THE BUREAU OF NATIONAL AFFAIRS, INC.. Wasrunglcn. 0 C 20037 DPMC-08086 LAM 011708