Does Management of CKD Pose Human Health and Environmental Problems?
Might Current Practices Cause Problems in the Future? B. Step 2: Is More Stringent Regulation Necessary and Desirable? C. Step 3: What Would be the Operational and Economic Consequences of a Decision to Regulate Under Subtitle C? IV. Regulatory Determination for Cement Kiln Dust V. Next Steps VI. Regulatory Flexibility Analysis VII. Executive Order 12866 VIII. Regulatory Determination Docket I. Background A. Statutory Authority EPA is issuing today’s notice under the authority of section 3001(b)(3)(C) of the Resource Conservation and Recovery Act (RCRA), as amended. This section requires that, after completing the Report to Congress (RTC) mandated by section 8002(o) of RCRA, the EPA Administrator must determine whether Subtitle C regulation of CKD waste is warranted. The RTC documents EPA’s study of CKD. It was signed by the Administrator on December 30, 1993. B. Public Comment Process After submitting the RTC to Congress, EPA provided the public with an opportunity to comment on the r