Search

How GHS HazCom Affects Your EPCRA Responsibilities

Posted on 7/14/2015 by Anthony Cardno

Under Section 311 of the Emergency Planning and Community Right-to-Know Act (EPCRA), facilities subject to OSHA's Hazard Communication Standard must submit copies of Safety Data Sheets (SDSs) to Local Emergency Planning Committees (LEPCs), State Emergency Response Commissions (SERCs), and local fire departments. The Environmental Protection Agency has promulgated rules in 40 CFR 370 that cover both initial and revised submissions of SDSs to those agencies.

EPCRA SDS Submission Requirements

Per 40 CFR 370.33(a), a copy of the SDS must be initially submitted within three months of the facility first being required to prepare or have the SDS for a chemical or within three months of a chemical becoming present on site in an amount exceeding the appropriate threshold. The thresholds are based on how much of each chemical the facility has on site at any one time. They are as follows:

  • ≥10,000 lbs. for any hazardous chemical (as defined by OSHA at 29 CFR 1910.1200); or
  • ≥500 lbs or ≥ the chemical's threshold planning quantity, whichever is lower, for any extremely hazardous substance (as listed by the EPA at 40 CFR 355, Appendix A).
GHS/EPCRA: EPCRA reporting under GHS hazcom

Per 40 CFR 370.33(b), facilities that have already submitted an SDS to local and State authorities must also submit a revised SDS within three months after discovery of significant new information about the chemical for which the SDS was submitted.

GHS Changes to Safety Data Sheets

The question is: Do changes to the SDS under OSHA's Global Harmonization System (GHS) Rule count as "significant new information"?

The EPA's answer: it depends.

The GHS rule requires chemical manufacturers and importers to re-evaluate chemicals in light of newly adopted international criteria, re-classify those chemicals as necessary, and then provide that information to users via revised SDSs. But the GHS rules also changed the format of the SDSs, creating a specific and uniform 16 sections to be filled out. Manufacturers and importers are also required to send these modified SDSs to users, even if the materials covered were not re-classified. The deadline for submission of revised/modified SDSs to users was June 1, 2015.

What If GHS Changed the Chemical Classification?

If the classification of the hazardous chemical has changed based on the GHS new criteria, EPA considers the re-classification to be "significant new information." If the facility has previously submitted an SDS for that chemical to its LEPC, SERC, and fire department, then a revised SDS must be submitted to those same agencies within three months of the facility receiving the SDS from the manufacturer/importer.

However, if the facility receives an SDS that has simply been modified to fit the new 16-section format with no changes to the chemical's classification, EPA suggests the facility check with its State agency for guidance, as EPCRA allows states flexibility in implementation.

Expert HazCom and EPA Regulations Training

At the Complete Environmental Regulations Webinar EH&S professionals learn what to report, collect, and keep on file to comply with EPA's major air, water, and chemical programs. From reporting and permitting under the Clean Air Act and Clean Water Act to chemical management and reporting under TSCA, FIFRA, EPCRA, and more, you will leave ready to navigate the EPA regulations that affect your facility with confidence.

Tags: EPCRA, GHS, HazCom, reporting and recordkeeping, Safety Data Sheets

Find a Post

Compliance Archives

Lion - Quotes

I really enjoy your workshops. Thank you for such a great program and all the help Lion has provided me over the years!

George Chatman

Hazardous Material Pharmacy Technician

These are the best classes I attend each year. I always take something away and implement improvements at my sites.

Kim Racine

EH&S Manager

My experience with Lion training, both online and in the classroom, is that they are far better organized and provide a better sequential explanation of the material.

Robert Roose

Manager, Dangerous Goods Transportation

These are the best commercial course references I have seen (10+ years). Great job!

Ed Grzybowski

EHS & Facility Engineer

Lion's online training is more comprehensive, has better slides, and is a superior training experience than what I would get from other trainers.

Robert Brenner

District Environmental Manager

The instructor was very dedicated to providing a quality experience. She did her best to make sure students were really comprehending the information.

Stephanie Venn

Inventory Control Specialist

My experience with Lion classes has always been good. Lion Technology always covers the EPA requirements I must follow.

Steven Erlandson

Environmental Coordinator

Lion's course was superior to others I have taken in the past. Very clear in the presentation and the examples helped to explain the content presented.

George Bersik

Hazardous Waste Professional

Much better than my previous class with another company. The Lion instructor made sense, kept me awake and made me laugh!

Marti Severs

Enterprise Safety Manager

Lion courses are the standard to which all other workshops should strive for!

Brody Saleen

Registered Environmental Health Specialist

Download Our Latest Whitepaper

Find out what makes DOT hazmat training mandatory for employees who sign the hazardous waste manifest, a “dually regulated” document for tracking shipments.

Latest Whitepaper

By submitting your phone number, you agree to receive recurring marketing and training text messages. Consent to receive text messages is not required for any purchases. Text STOP at any time to cancel. Message and data rates may apply. View our Terms & Conditions and Privacy Policy.