Solvent News
- HSIA Disappointed With EPA’s Proposed Ban Of Consumer, Industrial And Commercial Uses Of Methylene Chloride
- HSIA Files Comments on EPA’s Risk Determination for Trichloroethylene
- HSIA Files Comments on EPA’s Risk Determination for Perchloroethylene
- HSIA Files Comments on EPA’s Risk Determination for Methylene Chloride
- HSIA Comments on the Proposed Phasedown of HFCs (attachments available by request)
- HSIA Files Request for Correction of EPA’s Risk Assessment of Carbon Tetrachloride
- HSIA Comments on EPA’s Draft Risk Assessment of Perchloroethylene
Attachments to HSIA Comments on EPA’s Draft Risk Assessment of Perchloroethylene - HSIA Comments on EPA’s Draft Risk Assessment of Trichloroethylene
- HSIA Comments on EPA’s Draft Risk Assessment of Carbon Tetrachloride
- Presentation to EPA on the HSIA Sponsored TCE Cardiac Study
- Q&A on EPA’s Final Rule Banning Consumer Use of Methylene Chloride-Based Paint Strippers
- HSIA’S Response to EPA’s Final Rule Banning Consumer Uses of Methylene Chloride Based Paint Strippers
- HSIA Comments on EPA’s Problem Formulation Documents for Carbon Tetrachloride
- HSIA Comments on EPA’s Problem Formulation Documents for Methylene Chloride
- HSIA Comments on EPA’s Problem Formulation Documents for Perchloroethylene
- HSIA Comments on EPA’s Problem Formulation Documents for Trichloroethylene
- HSIA Comments on Science Transparency
- HSIA Statement in Support of the Continued Use of Methylene Chloride-Based Paint Strippers
- Recent Media Reports Falsely Identify Alternatives to Methylene Chloride- Based Paint Strippers As Equally Effective and Safer
- Safe Use and Handling of Methylene Chloride- Based Paint Strippers
- HSIA Comments on TSCA Problem Formulation for TCE, Perc, DCM and CTC
- Additional HSIA Comments on Problem Formulation for CTC
- HSIA Strongly Encourages the Use of These Icons on Methylene Chloride Paint Stripper Product Labels
- HSIA Comments on TSCA Section 6 Proposed Rule Prohibiting the Use of TCE for Aerosol Degreasers and Spot Cleaners by Dry Cleaners
- HSIA TSCA Comments Addendum – Halogenated Solvents Production and Use Summary
- HSIA TSCA Comments on Perchloroethylene
- Attachment #1 – TSCA Comments on Perchloroethylene
- Attachment #2 – TSCA Comments on Perchloroethylene
- Attachment #3 – TSCA Comments on Perchloroethylene
- Attachment #4 – TSCA Comments on Perchloroethylene
- Attachment #5 – TSCA Comments on Perchloroethylene
- HSIA Files TSCA Comments on Carbon Tetrachloride
- HSIA Files TSCA Comments on Methylene Chloride
- Exhibit One/TSCA Comments on Methylene Chloride
- HSIA Files TSCA Comments on Trichloroethylene
- HSIA’s Presentation to OMB on TCE in Spot Cleaners and Aerosols
- HSIA’s Presentation to OMB on TCE in Vapor Degreasing
- HSIA’s Presentation to OMB on Methylene Chloride Based Paint Strippers
- HSIA Comments on New York State’s Proposal to Ban Perchloroethylene
Archives
- EPA Releases its draft risk evaluation of methylene chloride
- HSIA comments on OEHHA’s Draft Inhalation Cancer Unit Risk Factor for Perchloroethylene
- HSIA Comments on the Proposed ATSDR Draft Profile of Percholoroethylene
- HSIA Comments on the Proposed ATSDR Draft Profile of TCE
- HSIA/CPDA/PETA file additional comments on EDSP
- National Clothesline Ad and Interview with Paul White
- HSIA Comments on EPA’s TSCA Work Plan Risk Assessment Program for Methylene Chloride
- HSIA Comments on the EPA’s TSCA Work Plan Risk Assessment for Trichloroethylene
- National Clothesline Ad Interview with John Jeon
- National Clothesline Ad and Interview with Dry Cleaner John Bacon
- HSIA responds to the National Clothesline article entitled “Perc Users Should Study Alternatives”
- HSIA Comments on EPA’s “Work Plan”
- HSIA files comments with EPA in support of the Crop Life petition relating to the EDSP Program
- HSIA Sends a Letter to the Editor of the Wall Street Journal in response to their July 28, 2011 article entitled “The New Dirt on Dry Cleaners”
- HSIA Files Comments on the Ozone Transport Commission’s Model Rule for Solvent Degreasing
- TetraTech Report on the Cost Implications for the Potential Lowering of the Maximum Contaminant Level for Trichloroethylene
- HSIA Files Petition with EPA to list nPB as a Hazardous Air Pollutant
- HSIA Questions the Feasibility of CalOSHA’s Proposed Permissible Exposure Level For Tricholoroethylene
- HSIA Provides Comments to Cal/OSHA’s Health Expert Advisory Panel on the Proposed Permissible Exposure Limit for Trichloroethylene
- HSIA Files Comments on EPA’s Review of Existing National Primary Drinking Water Regulations and Proposed Maximum Contaminant Levels for Perchloroethylene and Trichloroethylene
- Media Overstate Risks, Toxicologists Say
- The Science Advisory Board completes its Review of EPA’s draft IRIS assessment entitled “Toxicological Review of Trichloroethylene”
- HSIA Sends a Letter to EPA regarding the Toxicological Review of Trichloroethylene
- HSIA Submits a Statement to the EPA Chartered Science Advisory Board prior to their December 15, 2010 Meeting on the draft Trichlorethylene IRIS Assessment
- HSIA Submits Comments to the EPA Chartered Science Advisory Board Prior to their December 15, 2010 Quality Review of the Trichloroethylene Panel’s Draft Review of the Draft IRIS Toxicological Assessment
- The Science Advisory Board’s Draft Peer Review of EPA’s Draft Integrated Risk Information System (IRIS) Assessment of Trichloroethylene is Released (August 25, 2010)
- HSIA Comments on the Toxicological Review of Dichloromethane (methylene chloride) In Support Of The Summary Information on the EPA Draft Integrated Risk Information System (IRIS) Draft Released on March 2010
Press Releases
- HSIA Files Petition for Judicial Review of EPA’s Rule Banning the Sale of Methylene Chloride-Based Paint Strippers
- Charles River Laboratory (CRL) Study Shows Animals Exposed In-Utero to Tricholoroethylene (TCE) in Drinking Water Do Not Show Increase In Congenital Heart Defects
- HSIA Supports OSHA’s Citing and Fine of Best Tub & Tile, LLC for Serious Safety Violations Relating to an Employee’s Exposure to Methylene Chloride
- HSIA is Concerned About Recent Reports of Deaths Associated with Inappropriate Use of Methylene Chloride by Bathtub Refinishers