EPA is finalizing a rule to help reduce harmful exposures to formaldehyde emitted into the air from certain composite wood products. What are composite wood products and what types are covered by the final rule? Composite wood products are wood products created by binding strands, particles, fibers, veneers, or boards of wood together with adhesives i. What is formaldehyde and how is it used in composite wood products? Formaldehyde is a colorless, flammable, strong-smelling chemical that is used in resins i.
What are the health effects of formaldehyde exposure? Formaldehyde exposure can have a negative effect on health, both in the short and long term. Formaldehyde can cause irritation of the skin, eyes, nose, and throat.
High levels of exposure may cause some types of cancers. When do the rule requirements go into effect? The formaldehyde emission standards go into effect one year after the rule is finalized. This date then triggers additional requirements for manufacturers, importers, fabricators e.
Who is subject to the final rule requirements? Those who sell, supply, offer for sale, manufacture or import composite wood products are subject to the final rule requirements.
This includes manufacturers, importers, fabricators e. Third party certifiers TPCs who certify that composite wood products are compliant with the EPA rule and accreditation bodies who accredit and oversee the TPCs are also affected by the rule.
What are the formaldehyde emissions standards for covered composite wood products? The formaldehyde emissions standards vary by type of regulated product. In the table below, the product is aligned with its emissions standard in parts per million ppm. How does this regulation differ from the CARB regulation? EPA worked to align the other requirements of the federal rule with the California requirements. However, there are a few differences.
Unlike the California requirements, among other things, the EPA rule will: require records be kept for 3 years versus 2 years, require importers to provide import certification under TSCA 2 years after rule finalization, require manufacturers to disclose upon request formaldehyde testing results to their direct purchasers and require laminated products not exempted from the definition of hardwood plywood to meet the hardwood plywood formaldehyde emissions standard seven years after the final rule is issued.
Will compliant wood products be labeled? Composite wood products, and finished goods containing composite wood products, are required to be labeled as TSCA Title VI compliant by one year after the final rule is issued.
How does EPA ensure that composite wood products do not exceed the emission standards? This helps to ensure only composite wood products compliant with the formaldehyde emission standards enter the supply chain.
Contact Us to ask a question, provide feedback, or report a problem. Jump to main content. Related Topics: Formaldehyde. Contact Us. What action is EPA taking today? Top of Page 2. Top of Page 3. Top of Page 4.As of Friday, June 1,manufacturers around the world are now required to import and sell in the U. This major milestone ensures that all panels and finished goods made with composite wood sold in the U.
This is good news for finished product manufacturers, who have the assurance that they can manage inventories well before the March 22, deadline for CARB reciprocity. There are also several provisions unique to the EPA regulation, including most notably:. These rules apply to both imported and domestic composite wood panels and finished products.
On March 13,the U. As a result, the previous December 12, compliance date is no longer applicable, and the new compliance dates are as follows. Composite wood panels manufactured before June 1, may be sold or used to fabricate finished goods at any time.
Fabricators must meet labeling and record-keeping requirements and source only:. Importers must comply with certification, labeling and record-keeping requirements. Distributors and retailers must meet record-keeping and label retention requirements. Laminated products made with urea-formaldehyde based resins must source only compliant wood core panels and comply with record-keeping requirements.
Laminated products made with NAF or phenol formaldehyde resins must source only compliant wood core panels and comply with record-keeping requirements. Laminated products made with urea-formaldehyde based resins must meet the requirements for hardwood plywood. Laminated products made with NAF or phenol formaldehyde resins must keep records demonstrating the use of these resins.
For additional information about the Federal Court's decision, see below under " Recent News. This information is designed to be a quick reference for impacted industries. This has required major investments in technology upgrades, quality assurance programs and third-party verification systems. CARB Resources. December August 8.
July June 6. June 4. June 1. May 2. March It is actually worth it for all importers to be aware, as there are forms for shippers in general to certify that their goods are either in compliance with applicable rules or not subject to them.
There are many, many goods commonly manufactured with one or more of these composite woods. However, products containing composite wood are certainly not limited to these.
This new final rule requirements affect many Universal Cargo clients as we serve a great deal of importers in the furniture industry. Of course, our furniture importing friends are not our only customers we are making sure are in compliance during the import process.
The big thing to know is that the final rule subjects products with composite woods to labelling and certification requirements. The U.
Eastern time. You can also send an email to tsca-hotline epa. It cannot be disclaimed. Of course, if you ship through Universal Cargowe always work hard to guide you through the import and export process to make sure you meet all requirements with your cargo, so its shipment goes as smoothly as possible. In order to be compliant with the new TSCA Title VI labelling requirements, fabricators of finished goods that contain composite wood products must label every finished good they produce, or every box or bundle containing finished goods.
However, CARB recommends labeling panels and finished goods offered for sale in California as being compliant with both sets of regulations, because retailers and consumers are familiar with the CARB Phase II label already.
The regulations specify the minimum information required for a label, but do not specify the format, color, size, or font for the label. This form is similar to the wood one explained above, requiring importers to check a box stating either that all chemical substances in their shipments comply with all applicable rules or orders under TSCA or that all chemical substances in their shipments are not subject to TSCA before signing. Although the final rule discussed in this blog just went into effect on March 22nd, TSCA has been around since with additional sections being added over the years.
What rules are we talking about? The final rule creates requirements on three composite woods: hardwood plywood medium-density fiberboard MDF, which includes thin-MDF particleboard There are many, many goods commonly manufactured with one or more of these composite woods.
Leave a Comment. Save my name, email, and website in this browser for the next time I comment. All Rights Reserved. Carriers Expect To Recoup IMO Fuel Costs Through Shipper Contracts carbon emission, carriers, container shipping, exporters, freight rates, fuel, fuel prices, Global Business, importers, international business, International Shipping, ocean freight, ocean freight rates, ocean shipping. What Is New With Maritime Business in China, container shipping, freight forwarders, freight rates, importers, importing, international business, International Shipping, maritime shipping, ocean freight, shippers, shipping, shipping companies.We at Timber Products Company are dedicated to producing the highest quality wood products through sustainable and environmentally responsible practices.
This certification and our compliance statements are also included in all our invoices and order acknowledgements. We maintain an excellent reputation with state and federal agencies that oversee environmental issues. Hardwood Plywood Facilities:. All certificates are available in our librarylisted under our environmental certifications and certificates. Effective June 1,Title VI of the Toxic Substances Control Act sets a new standard for allowable emissions from adhesives used in composite wood products.
We prioritize sustainability throughout the manufacturing process, from harvesting raw materials all the way to producing finished panels. Our wood products already meet the TSCA Title VI chemical emissions standardsso our customers can rest assured that the panels we sell adhere to all applicable regulations.
Timber Products will label all its products by April 16,ahead of the compliance date of June 1,set by the EPA. Although our hardwood plywood and composite panels are already Title VI compliant, we are committed to perpetually improving our sustainability efforts.
Even before CARB enacted its Phase 2 standards inwe made strides in minimizing harmful emissions to ensure high air quality, and we look forward to continuing to innovate towards a cleaner, greener future. TSCA Title VI requires labeling on composite wood panels manufactured with adhesives containing formaldehyde and other chemicals that can emit harmful gasses, as well as finished goods made with these products.
All applicable panels from Timber Products Company will be labeled to certify that they meet federal emissions standards. With the implementation of the Title VI regulations, products do not have to be dual labeled. Read more about this announcement on the Air Resources Board website.
If your product is made with particle board, hardwood plywood, or medium density fiberboard, you must label it appropriately. To learn more about Title VI and how it affects you and the products we supply, read our recent press release from June 18th, or speak to a Timber Products expert.
Emissions Standards for Engineered Wood Products We at Timber Products Company are dedicated to producing the highest quality wood products through sustainable and environmentally responsible practices. Environmentally Certified We maintain an excellent reputation with state and federal agencies that oversee environmental issues.
See Our Certifications.
Formaldehyde Emission Standards for Composite Wood Products
Frequently Asked Questions. What is Timber Products doing to meet these standards? Will this change how Timber Products approaches sustainability? How will this legislation affect my business? My business is in California. Who Certifies Timber Products manufacturing facilities?
Where can I find more information about this legislation?This article provides a general outline of the TSCA Title VI requirements applicable to manufacturers of finished products containing composite wood panels, as well as the key dates for compliance, which have only just been finalized through recent litigation. This exemption applies only to labeling; products such as small picture frames and others that meet the de minimis definition must still be made with compliant composite wood and comply with recordkeeping requirements.
Sourcing requirements The central requirement for manufacturers of finished goods is that they use compliant composite wood and that this is documented throughout the supply chain.
On March 13,the U. Fabricators must either begin using TSCA Title VI certified composite wood panels in all component parts and finished goods by June 1,or be able to prove that the composite wood panels or component parts were manufactured before, or were in inventory prior to, that date.
Sell through All composite wood panels manufactured or imported before June 1, may be used to fabricate component parts or finished goods at any time. Panels manufactured, or imported after that date, must be certified to be used in finished goods or component parts. TSCA Title VI places limits on stockpiling, so product manufacturers will need to review this carefully in preparing for the June 1, compliance date. Importantly, there is no sell through provision for finished goods made with CARB 2-certified panels prior to March 22, As a result, finished product manufacturers will need to manage inventories carefully to ensure they have only products made with TSCA Title VI certified composite wood by March 22, Finished goods manufacturers must also keep all bills of lading, invoices or comparable documents demonstrating the purchase of compliant composite wood for three years starting June 1, The first category refers to panels which have a wood or woody grass veneer attached to a composite wood substrate with a no added formaldehyde NAF or phenol-formaldehyde resin.
Fabricators of these laminated products must use compliant composite wood substrates beginning June 1,but are exempt from other requirements, except for recordkeeping requirements that would apply beginning March 22, The second type refers to panels that use any other formaldehyde-based resin to attach a wood or woody grass veneer e.
In addition to the requirement to use compliant core material by June 1,the second type of laminated products must also meet the emissions limit for hardwood plywood 0. Import certification Importers of finished goods containing composite wood panels must remember that June 1, also represents the import-by-date, so any product coming into the country must meet all requirements on that day or it may not be imported into the country. Additionally, an import certification requirement will be triggered March 22, for all importers of composite wood panels and component parts or finished goods destined for end use.
North American mills have invested millions of dollars since to voluntarily meet the CARB emissions requirements on a national basis. These emissions requirements, which have been adopted at a national level under TSCA Title VI, are widely viewed as the most stringent in the world.
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Formaldehyde Emission Standards for Composite Wood Products
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Learn more here. This document has been published in the Federal Register. Use the PDF linked in the document sidebar for the official electronic format. EPA is taking direct final action to amend a final rule that published in the Federal Register on December 12, concerning formaldehyde emission standards for composite wood products.
Laws and Regulations
The amendment will allow compliant composite wood products and finished goods that contain compliant composite wood products that were manufactured prior to December 12, to be labeled as Toxic Substances Control Act TSCA Title VI compliant.
This means that regulated composite wood products and finished goods that meet the required formaldehyde emissions standards could be voluntarily labeled as compliant as soon as compliance can be achieved. This will enhance regulatory flexibility and facilitate a smoother supply chain transition to compliance with the rule's broader requirements, as well as promote lower formaldehyde emitting products entering commerce earlier than under the rule as originally published.
EPA believes that the amendment is non-controversial and does not expect to receive any adverse comments. However, in addition to this direct final rulemaking, elsewhere in this issue of the Federal RegisterEPA is promulgating the amendment as a notice of proposed rulemaking that will be used in the event of adverse comment on the amendments within this direct final action. This final rule is effective on August 25, without further notice, unless EPA receives adverse comment by July 26, If EPA receives adverse comment, we will publish a timely withdrawal in the Federal Register informing the public that the rule will not take effect.Please contact customerservices lexology.
Employees can sue for unsafe work environment. At Jackson Lewis, we pride ourselves in providing advice to employers on how to prevent or minimize workplace related claims. Employers are obligated to warn consumers and employees of any risks involved with exposure to products or space exhibiting certain levels of chemicals. This article addresses the new TSCA rules that employers should look into to protect themselves from notice of violations and claims, not only from consumers, but from their own employees who might be exposed to chemicals.
These labelling requirements have a two-stage implementation. However, on March 22,the second stage comes into effect. In order to be compliant with the new TSCA Title VI labelling requirements, fabricators of finished goods that contain composite wood products must label every finished good they produce, or every box or bundle containing finished goods. However, CARB recommends labeling panels and finished goods offered for sale in California as being compliant with both sets of regulations, because retailers and consumers are familiar with the CARB Phase II label already.
The regulations specify the minimum information required for a label, but do not specify the format, color, size, or font for the label. These choices are left to the fabricator of finished goods to allow flexibility to meet the needs of individual companies. The required information may be on a separate label or incorporated into other existing labels. Individual companies may include any additional information they deem necessary. The label should be in a location that is easily accessible.
Importers, distributors, and retailers must leave intact labels on finished goods, including component parts sold separately to end users. However, they do not have any additional labelling requirements, as long as they have not modified the finished goods. If you would like to learn how Lexology can drive your content marketing strategy forward, please email enquiries lexology. And free to boot! Please keep providing it. Back Forward. Share Facebook Twitter Linked In.
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