TSCA Work Plan Chemicals
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On June 22, 2016, President Obama signed the Frank R. Lautenberg Chemical Safety for the 21st Century Act, which updates the Toxic Substances Control Act. EPA will update its web pages to conform to the provisions of the statute, but until then some content may be out of date. Learn more about the new law, find summary information and read frequently asked questions.
- Toxic Substances Control Act (TSCA) Work Plan
- Learn About Ongoing TSCA Work Plan Chemical Assessments
- 2014 Update to the TSCA Work Plan
- How Were the TSCA Work Plan Chemicals Selected
- Will EPA Consider Chemicals Not on the TSCA Work Plan
Toxic Substances Control Act (TSCA) Work Plan
As part of EPA’s chemical safety program, EPA has identified a work plan of chemicals for further assessment under the Toxic Substances Control Act (TSCA). EPA's TSCA Work Plan helps focus and direct the activities of its Existing Chemicals Program.
Originally released in March 2012, EPA's TSCA Work Plan helps focus and direct the activities of its Existing Chemicals Program. The Work Plan was updated in October 2014. The changes to the TSCA Work Plan reflect updated data submitted to EPA by chemical companies on chemical releases and potential exposures.
For more information about work currently being done, see "Assessments for TSCA Work Plan Chemicals."
2014 Update to the TSCA Work Plan
In October 2014, EPA issued the TSCA Work Plan for Chemical Assessments: 2014 Update to reflect updated data submitted to EPA by the chemical industry on chemical releases and potential exposures. The updated TSCA Work Plan contains 90 chemicals. This was the first update to the TSCA Work Plan.
Read the TSCA Work Plan for Chemical Assessments: 2014 Update for the current TSCA Work Plan and more information on why chemicals were deleted or added.
The new data was submitted in 2012 under TSCA's Chemical Data Reporting or in 2011 as part of the EPA's Toxics Release Inventory reporting. These data were used to update the exposure rankings for the chemicals initially screened as part of the Work Plan. These data were also used to screen ten Action Plan chemicals and two additional chemicals identified by the Agency during EPA’s assessment of flame retardants.
Learn more about flame retardants. The exposure ranking is part of the screening methodology used to develop the Work Plan in 2012 and is described in detail in the Work Plan Methods Document. Read the Flame Retardants flyer for Consumers.
How Were the TSCA Work Plan Chemicals Selected?
After gathering input from stakeholders, EPA developed criteria used for identifying chemicals for further assessment. The criteria focused on chemicals that meet one or more of the following factors:
- Potentially of concern to children’s health (for example, because of reproductive or developmental effects)
- Neurotoxic effects
- Persistent, Bioaccumulative, and Toxic (PBT)
- Probable or known carcinogens
- Used in children’s products
- Detected in biomonitoring programs
Using this process, EPA in 2012 identified chemicals in the TSCA Work Plan as candidates for assessment over the next several years, as they all scored high in this screening process based on their combined hazard, exposure, and persistence and bioaccumulation characteristics. In 2014, using new information submitted to the Agency, EPA updated the TSCA Work Plan.
Read the TSCA Work Plan Chemicals Methods Document for a detailed explanation of the approach the Agency used to identify these chemicals.
View the Step 2 list of candidate chemicals. In 2012, EPA scored these chemicals based on hazard, exposure and persistence/bioaccumulation criteria as part of Step 2 in the Work Plan methodology in order to identify candidate chemicals for near-term review and assessment under TSCA.
Will EPA Consider Chemicals Not on the TSCA Work Plan?
Identification of chemicals as Work Plan Chemicals does not mean that EPA would not consider other chemicals for risk assessment and potential risk management action under TSCA and other statutes. EPA will consider other chemicals if warranted by available information.
EPA will also continue to use its TSCA information collection, testing, and subpoena authorities, including sections 4, 8, and 11(c) of TSCA, to develop needed information on additional chemicals that currently have less robust hazard or exposure data.