First Name | David |
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Last Name | Ferguson |
Email Address | dferguson@agcchem.com |
Affiliation | AGC Chemicals Americas, Inc |
Subject | Support for change in Electronic Cleaner Definition |
Comment | AGC Chemicals Americas, Inc. November 09, 2006 Clerk of the Board Air Resources Board 1001 I Street P.O. Box 2815 Sacramento, California 95812 Subject: Electronic Cleaner Definition Dear Clerk of the Board, AGC is a $14 Billion dollar manufacturer of commodity and specialty compounds employing 65,000 people at factories across the United States and abroad. We have been in business for 100 years and have a strong commitment to our employees, our community, and our environment. One of our specialty compounds is used in the electronic industry and falls within the guidelines of the substances that you are evaluating. We are limiting our comments to the Electronic Cleaner proposed definition change. AGC is in support of this proposed definition change. Furthermore, AGC is requesting that products used in the aviation maintenance and on energized components also be included into the exemption in the definition. These additional uses were uses for the compound HCFC 141b, which has been phased out of production. AGC respectively requests that these two other uses be incorporated into the definition. We appreciate the opportunity to comment on this important issue. Thank you for your time and consideration to this issue. Respectfully, David Ferguson AGC Chemicals Americas, Inc. 229 E. 22nd Street Bayonne, NJ 07002-5002 |
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Date and Time Comment Was Submitted | 2006-11-09 13:19:38 |
If you have any questions or comments please contact Clerk of the Board at (916) 322-5594.