Petition for Rulemaking

In December 2018, an article in this blog flagged a petition for EPA rulemaking under the Toxic Substances Control Act (TSCA) that, if denied, had the potential to set up precedent-setting litigation on citizens’ ability to use the courts to require EPA action under TSCA. Now, nearly a year later, the scenario that article described is coming true. In a challenge to EPA’s denial of that petition, a federal district court is poised to decide what constitutes a petition for issuance of a new rule as opposed to one for amendment of an existing rule—and in the process, to decide when a court may cast aside deference to EPA and undertake its own evaluation independent of the Agency’s record and conclusions.
Continue Reading Federal District Court Poised to Consider Petition for Issuance of a New Rule Versus Petition for Amendment of an Existing Rule

A recent petition for rulemaking could lay the groundwork for the latest test of TSCA’s citizen petition provisions—with the potential to set new precedents and interfere with EPA’s ongoing risk evaluation for asbestos.
Continue Reading TSCA Citizens’ Petition on Asbestos Raises Specter of Precedent-Setting Litigation