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EPA Will Not Require Lead Paint Clearance Testing; 澳门六合彩开奖预测鈥檚 Work Pays Off

The U.S. Environmental Protection Agency (EPA) has decided against expanding its Lead Renovation, Repair and Painting (LRRP) rule to include lead-dust sampling and clearance testing requirements, the Agency on July 15.听 澳门六合彩开奖预测 played a key role in communicating the construction industry鈥檚 concerns with the proposed 鈥渃learance testing鈥 requirements.听 澳门六合彩开奖预测 worked alongside a coalition of real estate and development groups to present a collective industry voice that has led EPA to refrain from straddling contractors with costly and unnecessary dust wipe sampling and laboratory analysis requirements. After reviewing 澳门六合彩开奖预测鈥檚 and other public comments and available science, EPA has abandoned its plan to require contractors to test dust to prove the absence of lead following construction projects covered by the federal LRRP rule.听 According to EPA estimates, the cost of its proposed additional testing requirements would have come at a price of $300 million per year (2010$).听 澳门六合彩开奖预测 praised EPA for rightly recognizing that the existing lead-safe work practices and clean up requirements under the LRRP rule 鈥 鈥 will protect people from any lead dust created during renovation jobs, without the need for additional costly clearance requirements. EPA had agreed to complete a final rule addressing the 鈥渃learance testing鈥 issue by July 15 as part of an agreement to settlement litigation with the Sierra Club and other petitioners over certain post-renovation cleaning requirements of the current LRRP rule. The requires businesses that repair or renovate older buildings 鈥 specifically homes, schools and daycare centers built prior to 1978 鈥 to adhere to strict lead-safe work practices. 聽Contractors currently are required to wipe down disturbed surfaces after the work is complete and match the result to an EPA-approved card to determine whether lead paint dust is present.听 The proposal shot down this month would have required contractors to take additional steps to demonstrate that dust-lead levels remaining in the work area are below regulatory levels. Excessive, Costly Clearance Testing Rejected Specifically, under EPA鈥檚 鈥渃learance testing鈥 , the remodeler would have been required to collect several dust samples from surfaces both in the work area and immediately outside it, send them to an EPA-accredited lab聽for lead testing (or hire a certified testing specialist to examine the work area), and then provide the results to the building owner and occupants to document numeric lead levels.听 What is more, for some renovations, EPA鈥檚 proposal went so far as to consider that lead dust levels after the renovation must be below the regulatory dust-lead hazard standards. 聽These provisions would have added significant liability to renovation and remodeling firms and their workers by potentially making them responsible for lead exposure issues that existed in the work area before the renovation work began, as well as outside the area where the work took place.听 Moreover, as the , so would any new lead-dust testing or clearance requirements. 澳门六合彩开奖预测鈥檚 Work to Block Clearance Testing Requirements 澳门六合彩开奖预测 worked closely with the Real Estate Roundtable, the National Association of Home Builders, National Association of Realtors庐, Building Owners and Managers Association International and more than a dozen other groups to oppose to EPA鈥檚 鈥渃learance testing鈥 proposal. The coalition鈥檚 letter聽maintains that EPA has statutory authority only to suggest guidelines for the conduct of LRRP activities, not to impose work practice standards. Moreover, the coalition鈥檚 letter points out that EPA has not established that all LRRP activities being regulated create lead-based paint hazards and (as stated in 澳门六合彩开奖预测鈥檚 prior letter) EPA has not conducted a 鈥渟tudy of certification鈥 nor has the Agency convened a Small Business Advocacy Review Panel. The coalition鈥檚 letter also stresses that the proposed 鈥渃learance testing鈥 requirements are inconsistent with the enabling statute (the Toxic Substances Control Act) because they would eliminate the distinction between abatement and renovation and that EPA has acted in an 鈥渁rbitrary and capricious鈥 manner because it has failed to consider cost and liability factors in this rulemaking. On Capitol Hill, 澳门六合彩开奖预测 and its coalition partners leaned on lawmakers to carry industry鈥檚 message. Senator James Inhofe (R-Okla.) led a group of Republican senators in sending a letter to the EPA Administrator Lisa Jackson in April lobbying against the 鈥渃learance testing鈥 mandate.听 In the House of Representatives, the coalition also worked with Rep. Denny Rehberg, a Montana Republican, who offered an amendment聽to the Department of the Interior鈥檚 appropriations bill that would restrict EPA funding until the agency 鈥渁pproves a test kit that meets the 鈥榝alse positive鈥 and 鈥榝alse negative鈥 criteria stated in the regulation.鈥 Minor LRRP Rule Revisions Finalized Although EPA is not imposing clearance requirements, the final rule clarifies and strengthens the current lead-safe work practices.听 It states that uncertified workers should be trained by certified renovators in lead-safe work practices and that certified renovators should ensure their workers contain lead dust and debris. Other minor revisions to the LRRP rule include鈥
  • A provision allowing a certified renovator to collect a paint chip sample and send it to a recognized laboratory for analysis in lieu of using a lead test kit;
  • Minor changes to the training program accreditation application process;
  • New standards for e-learning in accredited training programs;
  • Minimum enforcement provisions for authorized state and tribal LRRP programs (authorization to charge higher penalties for noncompliance);
  • Minor revisions to the training and certification requirements for renovators; and
  • Clarification of requirements for vertical containment on exterior renovation projects, the prohibited or restricted work practice provisions, and the requirements for high-efficiency particulate air (HEPA) vacuums.
聽to read a pre-publication version of EPA's final rule.听 The revisions above will take effective 60-days after publication in the Federal Register. Looking Ahead EPA reports on their press release website that significant fines have been levied against contractors not conducting lead safe practices as mandated by law. EPA warns that it will aggressively enforce the LRRP rule and continue its extensive education and outreach program. 澳门六合彩开奖预测 is continuing its work with a coalition of real estate and development groups to identify issues and items that could be included in a comment package responding to EPA鈥檚 forthcoming LRRP proposal covering renovations of both the exteriors and the interiors of public and commercial buildings. Meanwhile, the court-ordered deadlines for promulgating such rules have been clarified and extended; the legally-required process of evaluating the rules鈥 impact on small businesses has been delayed; and Congressional officials are criticizing EPA鈥檚 implementation of the current LLRP rule and the lack of sufficient evidence to warrant expansion.听 For 澳门六合彩开奖预测鈥檚 most recent update on EPA plans to expand the LRRP rule, . 澳门六合彩开奖预测 will continue to hold EPA accountable for ensuring that an adequate stock of trained contractors are available across the country and for specifiying testing kits that meet the level of accuracy called for by the current LRRP rule. Background The current LRRP rule doesn't apply to every contractor or to every job.听 It applies to paid contractors working in pre-1978 housing, child-care facilities and schools with lead-based paint. The covered facilities include residential, public or commercial buildings where children under the age of six are present on a regular basis as well as all rental housing. The rule requires that renovators are trained in the use of lead safe work practices, that renovators and construction firms be certified, that providers of renovation training be accredited and that renovators follow specific work practice standards.听 It includes provisions for the retention of compliance records, and the verification of compliance with work practice obligations, as well as pre-renovation education requirements (i.e., distribute EPA pamphlets and document compliance). Additional information on this rule can be found at .