Comments US Chamber Pyrolysis Oils FINAL

Published

August 19, 2023

Share

The U.S. Chamber submitted the following comments on the U.S. Environmental Protection Agency Proposed Rule: Significant New Use Rules on Certain Chemical Substances (23-2.5e) (EPA-HQ-OPPT-2023-0245). 

"Dear Mr. Wysong:

The U.S. Chamber of Commerce (Chamber) appreciates the opportunity to comment on the U.S. Environmental Protection Agency’s (EPA’s or Agency’s) proposed significant new use rules (SNURs) for “Certain Chemical Substances (23-2.5e)” under the Toxic Substances Control Act (TSCA).

The 2026 State of American Business

Discover what U.S. Chamber President and CEO Suzanne Clark and leading business leaders are saying about the state of the economy and the top issues shaping the domestic and global business landscape in 2026 and beyond.

The Chamber’s members include companies across all sectors that are impacted by TSCA— chemicals, coatings, refining, petrochemicals, petroleum, forestry, wood products, batteries, electronics, energy, and electricity, among many others. These companies, which manufacture and use chemicals subject to regulation under TSCA, deliver products and innovation that are integral not only to the health and well-being of the American people, but also to the domestic economy and supply chain. Chemical technologies improve our quality of life in numerous ways by providing new solutions to problems in health, materials, transportation, agriculture, and energy usage. Protecting the health of workers and surrounding communities is a priority for our members."

Comments US Chamber Pyrolysis Oils FINAL