Comments on California's Safer Consumer Products Program
Comments on the Department of Toxic Substances Control (DTSC) Proposed Initial Priority Products
NRDC's comments submitted to California's DTSC in support of the listing of all three priority products: children’s sleeping products containing TDCPP, spray polyurethane foam systems containing unreacted diisocyantes, and paint strippers containing methylene chloride, July 9, 2014
Comments on the Department of Toxic Substances Control (DTSC) Draft Priority Product Work Plan
NRDC supports the identification of all seven categories named in the draft work plan as well as the potential candidate chemicals of interest, October 21, 2014
Comments on the Department of Toxic Substances Control Draft (DTSC) Stage 1 Alternatives Analysis Guidance
Comments from NRDC submitted to California's DTSC on Draft Stage 1 Alternatives Analysis Guidance under the Safer Consumer Products regulations, November 16, 2015
Comments on the Department of Toxic Substances (DTSC) Control Alternatives Analysis Guide
Comments from NRDC submitted to California's Department of Toxic Substances Control on their Draft Stage Alternatives Analysis Guide under the Safer Consumer Products regulations, February 3, 2017
Comments on the Listing of Spray Polyurethane Foam (SPF) Systems with Unreacted Methylene Diphenyl Diisocyanates (MDI) as a Priority Product
Comments summarizing NRDC’s strong support of the listing of SPF systems containing MDI as a Priority Product. SPF systems containing MDI meet the Key Prioritization Principles for Product-Chemical Identification listed in the Safer Consumer Products Regulations, June 6, 2017