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As of December 31, 2003, wood intended
to be used in residential settings cannot be treated with
chromated copper arsenate (CCA). Existing stocks of the wood
may be sold by retailers until such stocks are exhausted,
and consumers may continue to buy and use the wood for as
long as it is available. In order to ensure clear guidance
to wood treaters and others on what uses of CCA are allowed
and what uses are discontinued, EPA has prepared this guidance
document to ensure that CCA is being used consistently with
the terms of the December 31st phase-out. Since there are
so many types of dimensional lumber with a variety of uses,
it is important to provide clear, easy-to-understand, and
consistent guidance for the uses that can continue. Similarly,
it is also important to specifically identify the types of
wood that can no longer be treated with CCA products.
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Why is EPA issuing this new guidance?
- What was the process for comment and review
of the guidance document?
- What is included in the guidance document?
- What is the Agency's position on the use
of CCA to treat wood used in the construction of residential
retaining walls?
- What is the Agency's position on the use
of CCA in skirtboards and sillplates used in the post-frame
construction industry?
- What other clarifications are included in
the guidance document?
- What about the corrosivity of alternatives
(ACQ and copper azole)?
- Does this guidance change any uses of CCA
to treat wood for marine (salt water or brackish water)
use?
- What are the restrictions on exporting and
importing CCA-treated wood?
- What is the enforcement and compliance strategy?
- Where can I get further information?
EPA is releasing the document, Supplemental
Guidance on Interpretation of Revised Chromated Copper Arsenate
(CCA) Wood Preservative Label, to provide clarification
on the allowed and disallowed uses of CCA. As of December
31, 2003, CCA can no longer be used to treat wood that will
be used in virtually all residential settings. Along with
the pesticide product label, the guidance document provides
stakeholders, EPA Regional offices, consumers, public interest
groups, wood treaters, and registrants with a reference tool
to help determine what types of wood may continue to be treated
with CCA. The guidance document also provides a reference
table that contains the American Wood-Preservers' Association
(AWPA) commodity standards related to CCA, with key examples
of some of the uses which are permitted and disallowed. AWPA
is an international, non-profit, association established to
exchange technical information between industry, researchers
and users of treated wood.
Also, EPA's Office of Enforcement and Compliance Assurance
(OECA) will soon issue a CCA Compliance Strategy (which will
be posted on this site) to inform all interested parties about
the Agency's plans for compliance monitoring, targeting inspections,
and how to report tips and complaints.
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2. What was the process for comment
and review of the guidance document?
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In order to obtain input from interested parties, a draft
of the guidance document was sent to various wood treatment
experts, other stakeholders, AWPA, EPA Regional Offices, States,
public interest groups, and the registrants for review and
comment about its accuracy and clarity. In addition, comments
were taken from both the EPA-sponsored Antimicrobials Hotline
and from meetings with the Regional Offices and States. EPA
considered those comments received and then sent a second
revised draft of the guidance document out for comment. This
document addresses the comments received.
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3. What is included in the guidance
document?
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The guidance document is comprised of two basic sections.
First, a narrative section provides an overview of the label
revision process, information about exporting and importing
CCA-treated wood, and a list of allowed uses of CCA. The other
document includes a table which provides information on the
AWPA commodity standards related to CCA and some examples
of allowed and disallowed uses to provide clarification.
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4. What is the Agency's position
on the use of CCA to treat wood used in the
construction of residential
retaining walls?
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As of December 31, 2003, CCA cannot be used to treat wood
that will be used in the construction of retaining walls in
residential settings. The Agency has concern about the possibility
of such treated wood being used in the residential market
and the resulting potential for exposure. There are a number
of alternatives to CCA-treated wood currently available on
the market for use in retaining walls, including other wood
preservatives, such as ACQ and copper azole, as well as durable
woods such as western red cedar, yellow cypress, eastern white
cedar, and redwood, and alternatives to lumber, such as synthetic
materials and wood composites.
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5. What is the Agency's position
on the use of CCA to treat skirtboards and
sillplates used in the
post-frame construction industry?
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As of December 31, 2003, CCA cannot be used to treat wood
for skirtboards and sillplates in post-frame construction.
The Agency has concerns about the possibility of this size
dimensional lumber being diverted to the residential uses
where the potential for exposure exists. Dimensional lumber
is characterized as having the following measurements: two
inches up to, but not including, five inches thick, and two
or more inches wide (e.g., 2" x 4"). There are a number of
alternatives to CCA for this particular use currently available
on the market (see Question 4 for examples of such alternatives).
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6. What other clarifications are
included in the guidance document?
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- Under AWPA Standard C16 - Wood Used on Farms: round
agriculture poles and posts (including farm-fence rails)
are allowed to be treated with CCA. Under agricultural poles,
round farm-fence rails can also be treated with CCA. As
before, agriculture fence posts (round, half-round, and
quarter round) can be treated with CCA.
- Under AWPA Standard C34 - Shakes and Shingles:
tile batts (1" strips used in roofing) can be treated with
CCA.
- Under AWPA Standard C30 - Cooling Tower Use, there
is new label language (the 2002 edition of the AWPA Standards
added the C30 standard--lumber, timber and plywood for Cooling
Tower use only as an allowable CCA use).
- Under AWPA Standard C18- Marine/Salt Water Use
- there is revised label language, affecting such uses as
of December 31, 2004 (members out of water and not subject
to splash and not in soil use will not be allowed as of
this date–see Question 8).
- Some various use interpretations have been added to the
table; for example wood used in the construction of roller
coasters (under AWPA Standard C14) can be treated with CCA,
as well as nail laminated members (under AWPA Standard C28)
can be treated with CCA.
- Clarification on a number of instances where CCA cannot
be used to treat wood used on farms have also been included,
such as wooden tomato stakes and wooden grape stakes.
- Additionally, an extensive definition section has been
added for reference at the end of the guidance document.
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7. What about the corrosivity of
alternatives (ACQ and copper azole)?
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The Agency is aware of that some new generation wood preservatives
may have the potential to corrode fasteners. Manufacturers
of ACQ and copper azole are working to provide better information
on types of fasteners (e.g., stainless and galvanized steel)
that are more appropriate to use with wood treated with these
pesticides. Fact sheets on ACQ, copper azole, and other alternatives
will be available on this website soon. Additionally, information
on the appropriate fasteners can be obtained by contacting
the manufacturers.
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8. Does this guidance change any
uses of CCA to treat wood for marine (salt water
or brackish water) use?
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Yes, recently the registrants have agreed to voluntary cancel
the use of CCA under the marine use standard, AWPA Standard
C18, effective December 31, 2004. This standard refers specifically
to "members out of water and not subject to salt water splash
and not in soil use." This means that CCA will not be allowed
to be used to treat wood for marine construction on decking,
railings, and boardwalks effective December 31, 2004. EPA
will publish this label amendment for public comment. Furthermore,
it is acceptable to use CCA to treat wood for marine construction
in salt water or brackish water, for such things as pilings
and submerged crossbracing.
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9. What are the restrictions on
exporting and importing CCA-treated wood?
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As of December 31, 2003, it is illegal to treat wood with
CCA for any prohibited residential use, including wood imported
to be used domestically or exported for use in other countries.
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10. What is the enforcement and
compliance strategy?
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The Office of Enforcement and Compliance Assurance (OECA)
has developed a strategy that will help ensure compliance
with the label and describes EPA's plan for inspections. For
inspections, EPA will first inspect CCA-producing establishments
to ensure that the correct labeling is being placed on the
pesticide product. Following that, inspections will be conducted
at wood treatment facilities to determine compliance with
the new labeling. Inspections may also be conducted at lumberyards
and home supply centers to determine if dimensional lumber
treated with CCA is being delivered, and, if so, whether the
lumber was treated before December 31, 2003. The Office of
Pesticide Programs has requested that the EPA Regional Offices,
which reviewed and commented on the strategy, track the outcome
of CCA inspections conducted by the States, including those
inspections that are a result of a tip or complaint.
For more information, call the Antimicrobials Hotline at
703-308-0127, or email info_antimicrobial@epa.gov.
The Federal Register publication of the cancellation notice
can be found at: http://www.epa.gov/fedrgstr/EPA-PEST/2003/April/Day-09/p8372.htm.
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