Do colleges or universities have to register if the COI has a release security issue and the COI is stored in a laboratory?
In calculating whether a facility meets the applicable STQ for release-toxic or release-flammable chemicals, the facility need not include release-toxic or release-flammable COI that a facility manufactures, processes, or uses in a laboratory at the facility under the supervision of a technically qualified individual as defined in 40 CFR 720.3 Like EPA, the DHS laboratory quantities exclusion does not apply to specialty chemical production; manufacture, processing, or use of substances in pilot plant scale operations; or activities, including research and development, involving chemicals of interest conducted outside the laboratory. Facilities that engage in such activities must count those chemicals toward their respective STQ. Note, however, that while a facility need not count laboratory quantities of release chemicals of interest toward the facility’s STQ, a facility must still count laboratory quantities of theft/diversion and sabotage/contamination chemicals of interest toward th
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