EPA has done a
very good job of disaggregating the burden estimate int labeling,
exemptions, CBI substantiation, and inventorying and presenting a
detailed basis for each of these burden estimates. The initial
three year burden is low relative to the eventual burden of th
asbestos rule since only a few products are effected at this stage
tha will apply for exemptions. The renewal ICR should reflect the
greater exemption activity expected in the future.
Inventory as of this Action
Requested
Previously Approved
09/30/1992
09/30/1992
6
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0
791
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MANUFACTURERS, IMPORTERS, AND
PROCESSORS OF ASBESTOS PRODUCTS SUBJECT TO THE BAN MUST LABEL THEIR
PRODUCTS WITH THE DATE THE PRODUCTS ARE BANNED IN DISTRIBUTION IN
COMMERCE, MUST TAKE AN INVENTORY OF THEIR STOCK ON HAND OF BANNED
PRODUCTS WHEN THE PRODUCTION OF THOSE PRODUCTS IS BANNED, AND MUST
KEEP NORMAL BUSINESS RECORDS OF SALE OF THOSE PRODUCTS. PERSONS
REQUESTING EXEMPTIONS MUST PROVIDE INFORMATION
On behalf of this Federal agency, I certify that
the collection of information encompassed by this request complies
with 5 CFR 1320.9 and the related provisions of 5 CFR
1320.8(b)(3).
The following is a summary of the topics, regarding
the proposed collection of information, that the certification
covers:
(i) Why the information is being collected;
(ii) Use of information;
(iii) Burden estimate;
(iv) Nature of response (voluntary, required for a
benefit, or mandatory);
(v) Nature and extent of confidentiality; and
(vi) Need to display currently valid OMB control
number;
If you are unable to certify compliance with any of
these provisions, identify the item by leaving the box unchecked
and explain the reason in the Supporting Statement.