Document rp56nMk8LmmNdGJz4n62pVdwV
BORDEN, INC.
960 KINGSMILL PARKWAY. COLUMBUS. OHIO 43229
markIIbruenwalo, C.I.H.
MANAGUA PRODUCT SAFETY* TECHNICAL SERVICES
August 3, 1987
Mr. Peter L. de la Cruz, Esquire Keller & Heckman 1150 Seventeenth Street, N.W. Washington, D.C. 20036
RE: OSHA LABELING
Dear Peter:
Dr. Gottesman suggested I send to your attention the attached
letter we received from OSHA concerning target organ effect
labeling for PVC.
.
In light of your ongoing discussions with OSHA concerning a clarification on the labeling of PVC as a carcinogen under the Vinyl Chloride Standard and the Hazard Communication Standard, I' believe you might also want to address the issue raised in the attached letter at your August 24 meeting with Frank White at OSHA. This appears to be a generic issue for the PVC industry as a whole to address.
In the interim, we plan to contact the OSHA area office in Illinois to determine the basis for their "suggestion".
We would appreciate any comments that you might have on this subject.
Sincerely,
Mark A. Gruenwald
MAG: sis attachment cc: Dr. Gottesman
TELEPHONE: (614) 431-6610 TELEX: 246-692
VVV 000004207
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