内能环境 能源、商品和环境法律和政策开发 图族2023年1月19日22:39:11+00 en-US 时钟 一号 https://wordpress.org/?v=6.1.1&lxb_maple_bar_source=lxb_maple_bar_source https://insideenvironmentredesign.covingtonburlingblogs.com/wp-content/uploads/sites/47/2021/06/cropped-cropped-cropped-favicon-3-32x32.png 内能环境 32码 32码 监管者和决策者日益关注室内空气质量 //www.ludikid.com/2023/01/a-growing-focus-on-indoor-air-quality-by-regulators-and-policymakers/ Sarah Wilson、Thomas Brugato、Brendan Parets、John Mizerak、Lindsay Brewer和MollyBrown 图族2023年1月19日22:38:29+00 空气污染和温室气体控制 油气策略 空气质量 建构代码 CPSC EPA公司 毒气炉 室内空气质量 天然气 污染 公共卫生 //www.ludikid.com/?p=8407 p对齐=scenter++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++Continue Reading…

Congress, the media, and the public have given significant attention to remarks this week by a commissioner of the Consumer Product Safety Commission ("CPSC") indicating that the agency would be considering a federal ban on gas stoves due to their health effects.  The suggestion of a ban on gas stoves has drawn comments from bipartisan policymakers in both chambers, and even the White House has weighed in against the prospect of a potential ban.

The CPSC is unlikely to ban gas stoves in the near future, although it has the authority to ban unreasonably dangerous products that cannot be made safe, and has done so with toxic substances in children's products and other product categories in the past.   A CPSC rulemaking on mandatory safety standards for gas stoves, however, is a possibility, and that process may drive the establishment of voluntary industry standards by a standards-setting body.  Additionally, other federal and state regulators have recently sharpened their focus on indoor air quality and gas-powered appliances, for both health and environmental reasons.  The Environmental Protection Agency ("EPA"), for instance, is undertaking several activities related to indoor air quality.  And the California Air Resources Board ("CARB") recently adopted a plan that would effectively prohibit the sale of gas-powered space and water heaters in California by 2030.

Particularly with regard to federal regulatory activity on gas stoves and other gas-powered appliances, potentially affected parties will have ample opportunities to help shape the outcome of any mandatory or voluntary product standards put in place or accepted by the CPSC, and to engage with other regulators.  This alert provides an overview of recent and emerging legislative and regulatory activity related to indoor air pollution, focusing particularly on activity by the CPSC and EPA.  Companies—both those with interests in gas stoves and those concerned with indoor air quality issues more broadly—should carefully follow indoor air quality developments, including in their interactions with regulators, given the increased focus on this area.

Consumer Product Safety Commission

The Consumer Product Safety Act ("CPSA") tasks the CPSC with regulating the safety of consumer products, which the statute broadly defines as products sold or used by consumers.  The CPSA exempts from CPSC jurisdiction most items subject to regulation by another federal agency, including food, drugs, tobacco, pesticides, motor vehicles and motor vehicle equipment, and firearms.The CPSC has five commissioners and is bipartisan by statute, although one seat is currently vacant.

The CPSC has the power to promulgate product safety standards that are "reasonably necessary to eliminate or reduce an unreasonable risk of injury associated with such product."  The public, including industry, may offer written comments in a CPSC rulemaking on product safety standards, and the CPSC must "give interested persons an opportunity for the oral presentation of data, views, or arguments."  Additionally, if the agency receives a submission of a voluntary safety standard and determines that the standard is "likely to result in the elimination or adequate reduction of the risk of injury" and that "it is likely that there will be substantial compliance with such standard," it must terminate the rulemaking and rely on the voluntary standard. 

The CPSC faces a relatively high bar to implementing a mandatory safety standard, including the requirement that it make a finding that "the rule imposes the least burdensome requirement which prevents or adequately reduces the risk of injury for which the rule is being promulgated."  There is an even higher bar for banning a product, which requires a finding that there is "no feasible consumer product safety standard [that] would adequately protect the public from the unreasonable risk of injury associated with such product."  Both mandatory standards and a ban could be challenged in federal court, and most courts considering CPSC mandatory standards or bans have subjected the agency's required findings to stringent scrutiny.

Although Commissioner Trumka's recent remarks gained attention due to his reference to a potential ban on gas stoves, the adoption of voluntary or mandatory standards is a more likely outcome.  There is a clear CPSC interest in the topic.  The agency's fiscal year 2023 operating plan includes as a priority a focus on "chronic hazards, including hazards associated with ...万博体育app手机登录gas stoves" and sets a target date of March 1, 2023, for agency staff to provide a plan to the commissioners for seeking public input on the topic.  In considering the operating plan, the Commission unanimously accepted, as part of a larger manager's amendment, Commissioner Boyle's addition of "chronic hazards" to the agency's priorities.  During that meeting, Commissioner Trumka offered an amendment to begin rulemaking on standards for gas stoves, but he withdrew that amendment due to lack of support.  The instruction to begin seeking public input on gas stoves was a fallback, which the Commission adopted unanimously.

The agency is also facing congressional pressure to begin promulgating safety standards for gas stoves.  In December, on the same day that a study was published indicating that gas stoves may be a major cause of childhood asthma, a group of House and Senate Democrats wrote the CPSC to urge the agency to begin a rulemaking to address health risks from gas stoves.  The letter included a focus on the impacts of indoor air quality on vulnerable populations, which is consistent with the priority listed in the CPSC fiscal year 2023 operating plan to "enhance agency data collection and analysis of product safety incidents, injuries, and deaths to identify vulnerable populations" and to "allocate safety work to better address any existing safety disparities among such identified vulnerable populations." 

Environmental Protection Agency

The EPA has also shown a growing interest in indoor air quality, including related to emissions from gas-powered appliances.  The EPA has expansive statutory authority to research, but not regulate, indoor air quality issues under the Radon Gas and Indoor Air Quality Research Act of 1986.  Despite lacking authority to regulate in this area, the EPA's research can be authoritative and lead to regulatory and legislative activity and industry scrutiny.  For example, the EPA's 1993 report on the risks of secondhand smoke exposure influenced public understanding of the dangers of secondhand smoke and the subsequent proliferation of smoke-free laws.  A recently published report by the National Academies of Sciences, sponsored in part by the EPA, stressed the importance of issues relating to indoor chemicals, and the effect of these chemicals on air quality and human health.

As part of its efforts on indoor air quality, EPA has also become involved with indoor air quality sensor technology.  Most notably, the EPA recently published guidance on the benefits and limitations of low-cost air quality monitors.  While noting that air quality monitors may be helpful in measuring indoor pollution, the EPA also cautioned consumers that there is limited information as to the accuracy of these monitors and noted that there is "currently no widely accepted air concentration limits for most pollutants indoor."  The guidance also reflects increased concerns about indoor air pollution, including from stoves, stating that "[i]n some instances, you may wish to use one or more monitors to compare pollutant levels or environmental factors before, during, and after an activity like cooking."  The development of indoor air quality monitors may be significant to providing alternatives to simply banning products, by providing consumers with information they can use to respond to indoor air quality issues.  Similarly, enhanced research regarding indoor air pollution may provide greater clarity about pollutant levels of concern indoors.

The EPA also has jurisdiction under the Federal Insecticide, Fungicide, and Rodenticide Act over air-cleaning devices if device claims include pest or other micro-organism mitigation (e.g., air filters, air purifiers).  The agency has significantly increased its focus on these devices due to the COVID-19 pandemic, and we can expect a continued concern with indoor air quality issues to result in continued EPA engagement regarding this category of products.

As additional evidence of the agency's interest in these issues, the EPA published a request for information in October 2022, seeking input on "actions, strategies, tools and approaches that support ventilation, filtration and air cleaning improvements, and other actions" to promote indoor air quality, with a focus on reducing disease transmission indoors.  The request for information was prompted, in part, by the Biden Administration's Clean Air in Buildings Challenge, which calls on building owners and operators to improve indoor air quality and reduce the spread of COVID-19.

Finally, in exercising its authority to address outdoor air pollution, the EPA may affect indoor appliances and indoor air quality.  For example, in August 2022 environmental groups, including the Sierra Club, petitioned the EPA to list heating appliances (including indoor appliances such as space heaters, gas stoves, and dryers) as a source category under the Clean Air Act and to issue performance standards.

State and Local Legislation

State and local regulators and legislative bodies have also engaged in activity related to gas-powered appliances.In addition to the California Air Resources Board plan that would effectively prohibit the sale of gas-powered space and water heaters in California by 2030,  amendments to the state's building code that strengthened ventilation standards and established requirements for single-family homes to be ready for electric appliances went into effect on January 1.  The Los Angeles prohibition on gas appliances in new buildings will be effective this month, and in November 2022, the largest county in Maryland passed a law requiring all new construction to be fully electric by the end of 2026.  Numerous other local governments have enacted their own gas bans, although there is currently ongoing litigation regarding whether these gas bans may be preempted under the Energy Policy and Conservation Act.  Additionally, these gas bans have prompted backlash from some state governments.  As of June 2022, 20 states have passed legislation prohibiting local communities from enacting gas bans, and legislators in states where such "preemption legislation" failed may try again in the coming year.

Product manufacturers, retailers, and consumers can expect continued state and local legislative activity on gas appliances in 2023.  For example, New York's Climate Action Council plan, passed in December, contains recommendations for implementing New York's 2019 Climate Leadership and Community Protection Act.  The plan calls for making buildings more energy efficient through a mix of adopting zero-emission building codes and standards and providing incentives to transition to energy efficient appliances.  Cities such as Denver and Eugene, Oregon, are also considering bans on natural gas in new residential buildings.

Non-Governmental Organizations

Non-governmental organizations are likely to continue advocating for regulation of gas-fueled appliances and indoor air quality.  For example, a 2022 study conducted by the U.S.公众兴趣研究集团教育基金和Sierra俱乐部发现,消费者在各零售商购物可能无法了解与燃气炉和通风需求相关的健康风险,此外,2022年6月,美国医学协会传递了分辨率..manbext网页版and asthma," and resolving to advocate for programs to encourage the transition from gas stoves to electric stoves.

Opportunities for Companies

Clearly, indoor air quality concerns are not going away, and we expect continued regulatory and policymaking focus on these issues.  Companies selling products that may contribute to indoor air quality issues should consider monitoring these developments, participating in rulemaking and legislative processes, and proactively taking steps to evaluate and mitigate any indoor air quality risks (e.g., enhanced ventilation, monitoring), and develop a legal and regulatory strategy.  Others may want to consider both the benefits and the risks associated with providing air-cleaning and air-monitoring technologies to consumers, which will continue to be an area of significant regulatory and legislative focus. 

If you have any questions concerning the material discussed in this post, please contact the authors.

国家科学院报告室内空气质量问题和调控考量 //www.ludikid.com/2022/05/national-academies-of-sciences-report-highlights-indoor-air-quality-issues-and-regulatory-considerations/ 托马斯布鲁加托 2022年5月24日20:30:13+00 CoVID-19 空气质量 净空技术 CDC EPA公司 室内空气质量 国家科学院 //www.ludikid.com/?p=7742 2022年5月24日 国家科学院发布一份报告 由EPACDC等赞助Continue Reading…

            On May 24, 2022, the National Academies of Sciences released a report, sponsored by EPA, CDC, and others, on indoor chemistry and air quality issues.  The report stresses the importance of these issues given that "people spend, on average, more than 80 percent of their time" in indoor environments, "often in close proximity to sources and processes that emit chemicals" and biological pollutants.  A main theme of the report is that there remain many outstanding questions in this area, and that "the management of indoor chemistry is at a nascent stage," but rapidly evolving.

            Several aspects of the report are likely to be of particular interest to companies that market products for indoor use, particularly air cleaning and air sensor products.

            First, the report underscores the importance of indoor air quality, an issue that has gained increased prominence as a result of the COVID-19 pandemic, and discusses various air-cleaning technologies.  The report noted the importance of "air-cleaning technologies," while stating that for some technologies, "[t]he lack of testing and regulation has led to rampant unsubstantiated claims about efficacy and health benefits of devices.  The potential health risks and benefits resulting from their use warrant further investigation and potential certification or regulatory oversight."  The report suggested that one way to address these concerns would be the development of "[s]tandardized consensus test methods."

            The report's focus on this issue highlights that companies that market air-cleaning devices should ensure that they are in compliance with all applicable regulatory requirements, such as EPA's requirements for pesticide devices, and maintain adequate substantiation for the claims made for their air-cleaning devices.  Other regulatory requirements, including those imposed by FDA, the FTC, states, and others may also apply, depending on the device's intended use and the claims made for the device.  This has been an area of heightened focus since the start of the COVID-19 pandemic, and companies that are not compliant run the risk of agency enforcement actions, consumer lawsuits, and other adverse actions.

            Second, the report notes a trend of the "increased use of consumer-grade indoor air quality monitors," which "may help improve indoor air quality and present opportunities for citizen science" by providing actionable information regarding indoor air quality issues in real time.However, the report also observed that some devices may suffer from "potential accuracy and precision performance issues," and that effective use of these devices would require users to be "equipped with enough knowledge to interpret the information they provide."  Similar to air-cleaning devices, the report suggested "[c]ertification processes for consumer-grade sensors" and the development of "consensus test methods" may be appropriate, noting that test methods for PM2.5 and CO2 are being developed.

            Companies developing these sorts of sensors should carefully consider both the accuracy of the information those sensors generate, as well as the information and recommendations that are provided to users of those sensors.  Again, regulatory and litigation risks may exist if inaccurate information or recommendations are provided.

            Third¸ echoing recent Biden Administration themes, the report noted that indoor air quality can have particular environmental justice considerations due to the "potentially unique indoor environments documented in low-income, rural, and cold-climate areas as well as in communities of color."  The report also noted that indoor air quality issues also have cross-cutting linkages with climate change, outdoor air quality, and energy efficiency considerations, which the report indicated warrant further study.

         Finally, the report observed that management of indoor air quality poses significant regulatory challenges, including because of the "inherent challenges in regulating non-occupational indoor air quality, such as privacy, personal liberty, and property rights."  The report suggested that, moving forward, a combination of "[b]uilding codes, standards, and guidelines," as well as regulation of "emission factors of new and recycled products introduced indoors," and of indoor-air cleaning technologies and sensors, may all be part of a set of "crosscutting, multipronged … solutions."

Baidu
map