EPA Extends Compliance Dates For Composite Wood Products

The U.S. Environmental Protection Agency will issue a final rule that will extend compliance dates for the national Formaldehyde Emission Standards for Composite Wood Products, according to Furniture Today.

“As announced on its website this week, the dates will be amended as follows:

* Emission standards, recordkeeping and labeling provisions from December 12, 2017, to December 12, 2018
* Import certification provisions from December 12, 2018, to March 22, 2019
* Laminated product producer provisions from December 12, 2023, to March 22, 2024
* The conclusion of the transition period for CARB Third-Party Certifiers from December 12, 2018, to March 22, 2019

“On July 11, the EPA also published a direct final rule that would remove a provision that prohibited the early labeling of compliant products before the original December 12 deadline. As it received no adverse comments on this matter, the rule has been changed to allow companies to label compliant products before the new December 2018 deadline. That change became effective August 25, meaning that companies can begin labeling product manufactured by this date.

“The EPA said it has received no negative comments on these changes, which are being finalized as proposed.”

From Floor Daily: https://www.floordaily.net/flooring-news/epa-extends-compliance-dates-for-composite-wood-products

EPA Withdraws Final Rule Delay For Formaldehyde

After receiving negative feedback from the industry, the Environmental Protection Agency (EPA) withdrew its Direct Final Rule Wednesday, removing delayed compliance dates for certain formaldehyde emissions standards on wood products.

“Since the direct final rule and proposed rule’s publication, EPA has received several comments on the proposed amendments to the compliance dates that the agency considers to be adverse,” the agency said.

Published in May, the Direct Final Rule gave the composite wood industry more time to comply with certain standards, including extending the deadline to meet emissions standards, record keeping provisions and labeling rules:
• Emissions, recordkeeping and labeling provisions – March 22, 2018
• Import certification – March 22, 2019
• Laminated products – March 22, 2024

The rule also proposes to extend the transitional period for CARB-certified third-party certifiers (TPCs) to March 22, 2019.

The EPA will instead proceed with a final rule based on its proposed rule published on May 24 after considering all public comments.

From Woodworking Network: https://www.woodworkingnetwork.com/news/woodworking-industry-news/epa-withdraws-final-rule-delay-formaldehyde?ss=news,news,woodworking_industry_news,news,almanac_market_data,news,canadian_news

EPA’s Final Rule Extends Formaldehyde Compliance Dates

EPA issued a proposed Direct Final Rule, concerning formaldehyde emission standards for composite wood products, extending all of the TSCA Title VI compliance deadlines to account for the delays to the originally published effective date. The rule was published in the Federal Register May 24. The new compliance dates are as follows:

• Emissions, recordkeeping and labeling provisions – March 22, 2018
• Import certification – March 22, 2019
• Laminated products – March 22, 2024

The rule also proposes to extend the transitional period for CARB-certified third-party certifiers (TPCs) to March 22, 2019.

This proposed rule will enter into effect within 45 days of publication in the Federal Register if EPA does not receive any adverse comment within 15 days.

“The federal regulation that definitively addresses formaldehyde emissions from composite wood products sold in the United States was first published in the Federal Register on Dec. 12, 2016, by the U.S. Environmental Protection Agency. If properly enforced, the regulation can ensure that all products – both domestic and imported composite wood panels and the finished products containing them – meet the world’s most stringent standards for formaldehyde emissions. It also marks the culmination of over 30 years of product stewardship by the composite wood industry, which through voluntary efforts and consistent and progressive work with regulators, has successfully developed products that consistently meet or exceed these tough standards,” said Jackson Morrill, president of the Composite Panel Association.

From Woodworking Network: https://www.woodworkingnetwork.com/news/woodworking-industry-news/epas-final-rule-extends-formaldehyde-compliance-dates?ss=news,news,woodworking_industry_news,news,almanac_market_data,news,canadian_news

EPA Still Gathering Input On Hardwood Plywood Formaldehyde

The EPA, expected to issue soon a final rule to implement the Formaldehyde Standards for Composite Wood Products Act, which added Title VI to the Toxic Substances Control Act.

It’s latest comment period is still open until November 7:

The EPA reviewed its emission inventory and compliance databases to determine if its current information was sufficient to conduct an RTR for the PCWP NESHAP and develop emission limits for the remanded PCWP process units. The available data for the affected population of plywood, composite wood products, and lumber dry kilns was found to be insufficient to adequately review and evaluate the emission standards for these source categories. The ICR will provide specific, required information, including emission inventories, compliance demonstrations, process changes, and information about control technologies/practices adopted since the application of maximum achievable control technology (MACT). Table 1 contains the North American Industry Classification System (NAICS) codes of facilities impacted by this information collection. Only major sources and synthetic area sources for these NESHAP categories will be affected by this information collection.

There will be a survey phase, Phase I, and a contingent testing phase, Phase Start Printed Page 62126II, in this information collection. Phase I seeks to collect facility-level information (e.g., facility name, location, contact information, and process unit details), emissions information, compliance data, control information, and descriptions of technological innovations. Phase I will be sent to all known operators of PCWP facilities that are major sources for hazardous air pollutants (HAP) regulated by these standards and synthetic area sources which used technology to avoid major PCWP NESHAP source status. Phase I responses may contain CBI. The survey will be provided and collected in an electronic format. The submission requires the owner or operator to certify that the information being provided is accurate and complete.

Read more at Woodworking Network: https://www.woodworkingnetwork.com/management/epa-hardwood-plywood-formaldehyde-rule-goes-live-federal-register-october-27-2016