Search

Update: 2018 TSCA Mercury Reporting Rule Revised

Posted on 11/22/2021 by Roger Marks and Lauren Scott


Update (11/8/21)

On November 8, a revision to EPA's 2018 rule "Reporting Requirements for TSCA Mercury Inventory: Mercury" was published to the Federal Register.

The original rule requires reporting from persons who manufacture (including import) mercury or mercury-added products, or otherwise intentionally use mercury in a manufacturing process. The latest update would mean companies that import pre-assembled products that contain a mercury-added component (such as a watch with a mercury-added battery) would be required to report such imports to EPA.

The original 2018 mercury reporting rule was challenged in the 2nd Circuit Court of Appeals in July 2018, and the court issued its decision on June 5, 2020, vacating an exemption for companies that import pre-assembled products containing a mercury-added component. In its decision, the court found that the exemption for importers of products containing mercury-added components was an unlawful interpretation of TSCA because it lacked a reasoned explanation.

The new revisions announced implement the court’s order vacating this exemption. This change goes into effect on December 8, 2021.


Original Article Text (7/6/18)

In late June 2018, US EPA finalized a rulemaking to require manufacturers, importers, distributors, and users of mercury and mercury-added products to report to EPA about their activities.

Issued under TSCA Section 8(b)(10), this new chemical reporting requirement will enable EPA to fulfill a statutory mandate under the Frank R. Lautenberg Chemical Safety for the 21st Century Act: Once every three years, EPA must release an “inventory of mercury supply, use, and trade” that includes data collected from industry.

EPA estimates the new reporting requirement—including time spent learning the new rule, determining applicability, etc.—will result in a burden of 72,600 hours and $5.8 million in the first year or reporting.
For more information on which industries may be affected by this rulemaking, see our coverage of the proposed rule published in October 2017.  


Who Is Excluded?

Not every facility that has mercury on site will be required to report. The following groups are not covered by the new mercury reporting requirement:
 
  • Persons who only generate, handle, or manage mercury-containing wastes
  • Persons who only manufacture mercury as an impurity
  • Persons engaged in activities involving mercury not with the purpose of obtaining an immediate or eventual commercial advantage
EPA is also working on exemptions for facilities that already report for mercury and mercury-containing products under TSCA Section 8(a) Chemical Data Reporting, or CDR, and the IMERC Mercury-added Products Database. 


TSCA Training—Anytime, Anywhere

Learn what you must know to achieve and maintain compliance with EPA’s Toxic Substance Control Act (TSCA) reporting, recordkeeping, and chemical management rules. The TSCA Regulations Online Course covers the detailed rules for handling, storing, processing, and manufacturing regulated chemical substances. Plus, learn what you must report, record, and keep on file to avoid TSCA fines.
 

Tags: EPA, mercury, new rules, reporting and recordkeeping, TSCA

Find a Post

Compliance Archives

Lion - Quotes

I really enjoyed this training. Even after years on both sides of the comprehension coin, I find myself still learning! The quality of the delivery exceeded much of the training I have received in the past.

Neil Ozonur

Safety Officer

Lion courses always set the bar for content, reference, and practical application. Membership and access to the experts is an added bonus.

John Brown, CSP

Director of Safety & Env Affairs

I was recently offered an opportunity to take my training through another company, but I politely declined. I only attend Lion Technology workshops.

Stephanie Gilliam

Material Production/Logistics Manager

More thorough than a class I attended last year through another company.

Troy Yonkers

HSES Representative

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

I have attended other training providers, but Lion is best. Lion is king of the hazmat jungle!!!

Henry Watkins

Hazardous Waste Technician

Well designed and thorough program. Excellent summary of requirements with references. Inclusion of regulations in hard copy form, as well as full electronic with state pertinent regulations included is a great bonus!

Oscar Fisher

EHS Manager

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

I had a positive experience utilizing this educational program. It was very informative, convenient, and rewarding from a career perspective.

John Gratacos

Logistics Manager

Very well structured, comprehensive, and comparable to live training seminars I've participated in previously. I will recommend the online course to other colleagues with training requirement needs.

Neil Luciano

EHS Manager

Download Our Latest Whitepaper

This report details major changes for hazardous waste generators from US EPA’s Generator Improvements Rule, as well as the latest updates from states that are still working to adopt new, stricter Federal requirements.

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.