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CHEMICAL RELEASE FOLLOWUP NOTIFICATION FORM EPCRA Section 304 Kanawha Putnam Emergency Planning Committee 120 3rd Avenue South Charleston, West Virginia 25303 304.414.3600 (Phone) KPEPC.orgEPA Identification
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How to fill out chemical release follow-up notification

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How to fill out chemical release follow-up notification

01
Gather all necessary information including the chemical released, quantity released, date and time of release, location of release, and any actions taken to address the release.
02
Complete the appropriate forms provided by the regulatory agency overseeing chemical releases.
03
Submit the completed notification form to the regulatory agency within the specified timeframe.

Who needs chemical release follow-up notification?

01
Any facility that releases a reportable quantity of a hazardous substance into the environment may be required to submit a chemical release follow-up notification.
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The chemical release follow-up notification is a report that notifies relevant authorities about the release of certain hazardous chemicals into the environment, providing further details and updates following an initial notification.
Facilities that have reported a release of chemicals that meet or exceed the threshold levels outlined by environmental regulations are required to file a chemical release follow-up notification.
To fill out a chemical release follow-up notification, provide details such as the date and type of release, the chemicals involved, the estimated quantity released, the environmental impact assessment, and any corrective actions taken.
The purpose of chemical release follow-up notification is to ensure transparency and accountability in reporting environmental hazards, to provide updated information about the release, and to facilitate appropriate responses by authorities.
Information that must be reported includes the specifics of the chemical released, the estimated amount, the date and time of the release, the potential impact on health and the environment, and remedial measures taken.
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