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EPA Adds Up YOUR Costs To Meet New Lead-Paint Rules for Public, Commercial Buildings

麻豆视频 Needs Your Help Confirming Whether the Cost Estimates Are Correct The U.S. Environmental Protection Agency (EPA) is exploring whether to expand its to cover construction work on existing public and private-sector commercial (P&C) buildings.聽The EPA has estimated how much it would cost YOU to meet its new lead-paint rules under consideration. 聽聽However, 麻豆视频 needs your thoughts on these EPA estimates to ensure they reflect real-world impacts of a potentially huge expansion of EPA鈥檚 current LRRP requirements. EPA鈥檚 anticipated action would add lead-related certifications, training, work practice, recordkeeping and other 聽requirements and costs to much of the construction work inside/outside existing P&C buildings, including restaurants, hotels, hospitals, churches and office buildings to name a few.聽 (For a detailed list of the types of buildings that could be regulated in the future, click here.) Three Areas Where We Need Your Feedback Please review EPA鈥檚 estimates of the time, tasks and costs burdens to the regulated community that would result from an expansion of the current LRRP rule to include P&C buildings.聽 Please let 麻豆视频 (pilconisl@agc.org) know by Dec. 7 whether these estimates are reasonably accurate鈥
  • Renovator Training and Certification Costs 鈥 EPA has estimated renovator training and certification costs, which range from $70.00 (refresher training) to $455.39 (classroom initial 8-hour course) per student, based on the anticipated availability of online training programs and/or travel to an in-seat course held within a 50-mile radius without hotel accommodations.聽 EPA is assuming that on-the-job training of the workforce, by the certified renovator, would take either 10 or 30 minutes depending on the format, and cost $5.00 to $15.00 per student.聽 Cost estimates include 鈥渢raining time burden鈥 in addition to tuition and expenses.聽 (For details on EPA鈥檚 training cost estimates and assumptions, click here.)
  • Work Practice Requirements and Costs 鈥 EPA has pulled together a listing of work practices that may be required under an LRRP rule for P&C buildings, such as interior containment and cleaning.聽 EPA has also estimated the costs associated with those practices (testing fees, shoe covers, wipes, polyethylene sheeting, etc.).聽 The estimated costs range from $0.01 for an electrostatic cloth sweeper (e.g., Swiffer) per 1,800 ft2 job to $613.80 in wet wipes (including labor) for the same square footage.聽聽 (Click here to see EPA鈥檚 list of potential work practice requirements for P&C buildings.聽 Click here to review EPA鈥檚 estimated costs associated with these work practice requirements.)
  • Recordkeeping Requirements and Costs 鈥 EPA has estimated a company鈥檚 recordkeeping costs, under an LRRP rule for P&C buildings, for the first/initial year of certification, re-certification years, and other years.聽 Costs include time to familiarize oneself with the rule requirements (3 hours), complete and return the certification form, and perform an estimated 4.8 hours per firm per year of recordkeeping responsibilities.聽 Total cost estimates are as follows: initial year $392.00; re-certification year $251.00 and; other years $227.00. (Click here to review EPA鈥檚 estimated recordkeeping costs.)
Please send your comments to 麻豆视频鈥檚 Leah Pilconis at pilconisl@agc.org by Dec. 7. Background EPA鈥檚 current LRRP rule applies whenever lead paint is affected by construction work in pre-1978 鈥渢arget housing鈥 or 鈥渃hild-occupied facilities鈥 only.聽 For several years, EPA has been working to develop a new federal rule to address purported lead-based paint hazards that may be created by renovations on the interior or the exterior of existing public and private-sector commercial buildings. In accordance with the terms of its聽聽with environmental and health advocacy organizations, the agency agreed to either sign a proposed rule by July 1, 2015, covering renovation, repair, and painting activities in P&C buildings, or determine that these activities do not create lead-based paint hazards. EPA recently notified the litigants that it is not going to meet the July 1, 2015, deadline for proposal. 聽EPA plans to revisit the timing of this rulemaking action after it conducts the necessary steps to complete: (1) the process (EPA has invited 麻豆视频 to a Dec. 9 meeting to begin discussion of the issues above), (2) (forthcoming), and (3) peer review of EPA鈥檚 鈥渢echnical approach鈥 documents. For more information on EPA鈥檚 LRRP requirements, read and contact Leah Pilconis at pilconisl@agc.org.