9600-035 Mercury Reporting

Confidential Business Information Claims under the Toxic Substances Control Act (TSCA) (Final Rule)

2706.02 Form 9600-035_Mercury Reporting

OMB: 2070-0223

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Expires
2/28/2025

Late Submission Explanation
Submitting Official Information
Name of Authorized
Official

(first)

(middle)

(last)

Company Name

Position

Email Address

Phone Number

CBI:

D

CBI:

D

Mailing Address 1
Mailing Address 2
City

State

Postal
Code

(middle)

(last)

Country

Technical Contact
Name of Technical
Contact

(first)

Company Name

Position

Email Address

Phone Number

Mailing Address 1
Mailing Address 2
City

State

Postal
Code

Country

My company manufactures (other than imports) elemental mercury

D

My company reported amount of manufactured mercury in the most recent Chemical Data Reporting (CDR) reporting
cycle.
During the selected calendar year, my company manufactured (other than imported) a total of pounds of elemental mercury.

D

During the selected calendar year, my company stored between and pounds of elemental mercury on-site.
My company does not store elemental mercury on-site. D

D

During the selected calendar year, my company stored between and pounds of elemental mercury off-site.
My company does not store elemental mercury off-site. 0

D

During the selected calendar year, my company distributed pounds of elemental mercury into domestic commerce.
My company does not distribute elemental mercury. D

D

My company domestically distributed elemental mercury to the following industry : check all that apply

D

Additional Information:

D

My company imports elemental mercury to the United States

D

CBI

CBI

My company reported amount of imported mercury in the most recent Chemical Data Reporting (CDR) reporting cycle.
During the selected calendar year, my company imported a total of pounds of elemental mercury.

D

My company imported elemental mercury from the following country: check all that apply

D

During the selected calendar year, my company stored between and pounds of elemental mercury on-site.
My company does not store elemental mercury on-site. D

D

During the selected calendar year, my company stored between and pounds of elemental mercury off-site.
My company does not store elemental mercury off-site. 0

D

During the selected calendar year, my company distributed pounds of elemental mercury into domestic commerce.

D

Form 9600-035

Paperwork Reduction Act: This collection of information is approved by OMB under the Paperwork Reduction
Act, 44 U.S.C. 3501 et seq. (OMB Control No. 2070-0207). Responses to this collection of information are
mandatory for certain persons, as specified at 40 CFR 713.7. An agency may not conduct or sponsor, and a person
is not required to respond to, a collection of information unless it displays a currently valid OMB control number.
The public reporting and recordkeeping burden for this collection of information is estimated to be 23 hours per
response. Send comments on the Agency’s need for this information, the accuracy of the provided burden estimates
and any suggested methods for minimizing respondent burden to the Regulatory Support Division Director, U.S.
Environmental Protection Agency (2821T), 1200 Pennsylvania Ave., NW, Washington, D.C. 20460. Include the
OMB control number in any correspondence. Do not send the completed form to this address.

Claim:	Technical	Contact	Information
Applicable	Only	to	General	CBI	Claims

Yes

No

CBI

A	person	may	assert	a	claim	of	confidentiality	for	the	specific	chemical	identity	of	a	chemical	substance	as	described	in	§	711.15(b)(3)	of	this	part	only	if	the	identity	of
that	chemical	substance	is	treated	as	confidential	in	the	Master	Inventory	File	as	of	the	time	the	report	is	submitted	for	that	chemical	substance.	Generic	chemical
identities	and	accession	numbers	may	not	be	claimed	as	confidential.	To	assert	a	claim	of	confidentiality	for	the	identity	of	a	reportable	chemical	substance,	you	must
submit	with	the	report	detailed	written	answers	to	the	questions	from	subsection	(b)	and	to	the	following	questions.
1. Please	specifically	explain	what	harm	to	the	competitive	position	of	your	business	would	be	likely	to	result	from	the	release	of	the	information
claimed	as	confidential.	How	would	that	harm	be	substantial?	Why	is	the	substantial	harm	to	your	competitive	position	likely	(i.e.,	probable)	to	be
caused	by	release	of	the	information	rather	than	just	possible?	If	you	claimed	multiple	types	of	information	to	be	confidential	(e.g.	site
information,	exposure	information,	environmental	release	information,	etc.),	explain	how	disclosure	of	each	type	of	information	would	be	likely	to
cause	substantial	harm	to	the	competitive	position	of	your	business.
test
2. Has	your	business	taken	precautions	to	protect	the	confidentiality	of	the	disclosed	information?	If	yes,	please	explain	and	identify	the	specific
measures,	including	but	not	limited	to	internal	controls,	that	your	business	has	taken	to	protect	the	information	claimed	as	confidential.	If	the
same	or	similar	information	was	previously	reported	to	EPA	as	non-confidential	(such	as	in	an	earlier	version	of	this	submission),	please	explain
the	circumstances	of	that	prior	submission	and	reasons	for	believing	the	information	is	nonetheless	still	confidential.
test
3A.	Is	any	of	the	information	claimed	as	confidential	required	to	be	publicly	disclosed	under	any	other	Federal	law?	If	yes,	please	explain.
test
3B.	Does	any	of	the	information	claimed	as	confidential	otherwise	appear	in	any	public	documents,	including	(but	not	limited	to)	safety	data
sheets;	advertising	or	promotional	material;	professional	or	trade	publications;	state,	local,	or	Federal	agency	files;	or	any	other	media	or
publications	available	to	the	general	public?	If	yes,	please	explain	why	the	information	should	be	treated	as	confidential.
test
3C.	Has	a	patent	been	published	for	the	chemical	identity	you	claim	confidential?	What	chemical	identity	information	is	not	revealed	by	the
patent?	How	is	release	of	that	specific	information	likely	to	cause	substantial	competitive	harm?	And	failure	to	explain	this	harm	may	lead	to
denial	of	your	confidentiality	claim.
test
4. Is	the	claim	of	confidentiality	intended	to	last	less	than	10	years	(see	TSCA	section	14(e)(1)(B))?	If	yes,	please	indicate	the	number	of	years
(between	1-10	years)	or	the	specific	date	after	which	the	claim	is	withdrawn.
test
5. Has	EPA,	another	federal	agency,	or	court	made	any	confidentiality	determination	regarding	information	associated	with	this	chemical
substance?	If	yes,	please	provide	the	circumstances	associated	with	the	prior	determination,	whether	the	information	was	found	to	be	entitled	to
confidential	treatment,	the	entity	that	made	the	decision,	and	the	date	of	the	determination.
test

X

X

X

X

X

X

X


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