“In meetings with EPA and in our comments on the rule, we raised a number of concerns that have gone unaddressed in this final rule: that’s disappointing. High on that list is the application of the Safer Technology Alternatives Analysis. We believe it should be an enforcement tool used on a case-by-case basis, not an industry requirement as the final rule indicates. Additionally, we think the requirement for third party audits are less robust than internal auditors who know location and processes.
“Our manufacturers continue to make improvements and are committed to providing a safe workplace for our employees and the communities that surround our facilities. Unfortunately, adding an additional layer of regulation could impede, rather than promote, safety improvements as well as creating additional burdens.”
In the picture: Donna Harman, President and CEO of American Forest & Paper Association