EPCRA Tier II Reporting: The Top 10 Errors Checklist (2024)

Since 2018 Encamp’s Tier II Reporting solution has made us the EHS industry’s largest third-party filer of Tier II reports for Section 312 EPCRA compliance. As environmental regulation and compliance gurus who come from environmental management, state regulatory agency and EHS consulting backgrounds, we’ve helped our customers file thousands of Tier II reports to date… and counting.

So trust us, we know all about the complexities that come with Tier II reporting and environmental compliance regulations in general. We’re also fully aware of the problems of preparing Tier II reports and the errors that often show up during the report submission process.

Here are the Top 10 Tier II reporting issues we see most consistently — a checklist, if you will, to help your company avoid making the same mistakes:

Top 10 Errors
Checklist

  1. Companies don’t submit environmental compliance reports even though they should
  2. Chemicals are reported inconsistently across sites/facilities
  3. Chemical inventory is reported incorrectly or inaccurately
  4. Outdated or incorrect contact information
  5. Certain chemicals aren’t reported when they should be
  6. Chemicals are incorrectly-marked as extremely hazardous substances (EHSs)
  7. Increased reporting fees for incorrectly-marked chemicals
  8. Out-of-date Safety Data Sheets (SDSs)
  9. Wrong hazards are applied in reports
  10. Mixture components are incorrect

Guided Environmental Compliance

If even one of these issues applies to your company’s Tier II reporting, it’s a non-compliance red flag to regulators. Three or more? Maybe it’s time to re-examine your company’s reporting processes. Encamp’s Guided Environmental Compliance method blends high-tech solutions like digitization with high-touch support to make compliance data easier to manage for EPCRA compliance and automated Tier II reporting.

Along with our experienced Customer Success and compliance teams for all things Tier II, we aren’t just here to help you avoid reporting errors. We’re here to make sure your company maintains compliance via accurate EPCRA reporting and avoids non-compliance violations.

Common Tier II reporting errors in detail

#1: Companies don’t submit environmental compliance reports even though they should

It’s no secret that some companies don’t even realize EPA regulatory requirements like EPCRA Sections 311 and 312 apply to their facilities and certain hazardous chemicals. The Encamp technology’s built-in logic identifies chemical products and inventory levels that meet federal, state, and local reporting requirements for every facility and chemical, which ensures that you’re reporting when and where you should.

#2: Chemicals are reported inconsistently across sites/facilities

Companies report chemical names and related metadata inconsistently due mostly to human error and lack of attention to detail. For example, facilities contributing to Tier II report preparation many times don’t adequately identify and confirm extremely hazardous substances (EHS) on the EPA’s EHS list. Or they don’t properly verify the threshold planning quantity (TPQ) for an EHS. And whereas someone reports muriatic acid by its common name, someone else correctly reports the chemical hydrochloric acid. As a guardrail to ensure consistency, Encamp has integrated the EPA EHS list in its software, which lets you accurately populate hazardous chemicals by facility at implementation.

#3: Chemical inventory is reported incorrectly or inaccurately

Attribute this error to the same problems that lead to chemicals being reported inconsistently — but also add human error and the lack of a formal QA/QC process to ensure data quality and hygiene. Our technology automates reporting preparation and submissions to eliminate human error and provides built-in QA/QC checks for reporting tasks prior to report submission. Upfront during implementation, Encamp’s Customer Success and compliance teams also point out ways to merge products and contacts, eliminate unnecessary, outdated contacts, and explain state and local regulations if there’s confusion. Encamp’s compliance experts can also help with final reporting quality checks if customers request such assistance — essentially another step in guiding organizations through the compliance process.

#4: Outdated or incorrect contact information

Yes, keeping track of this information is usually mundane, manual work. But it’s surprising how often facility-levelemergency contacts are overlooked, not updated, or not properly verified prior to report submission. Encamp lets you build and maintain contact profiles for every site, which puts the information at a user’s fingertips.

Helpful tip: To answer questions from a SERC, LEPC, or local fire department, a facility’s designated contact should be knowledgeable both about the chemicals onsite and the resulting Tier II report.

#5: Certain chemicals aren’t reported when they should be

Without a centralized solution to manage and track chemicals onsite, it’s easy for personnel handling Tier II reporting at the facility level to overlook short-term or seasonal chemicals. These can be chemicals used for cleaning, specialty products, R&D purposes and so on. EPCRA Section 312 specifies that a business must account for any chemical present at a facility. EPA describes “present” as being onsite at any given time during the year above the TPQ for an extremely hazardous substance. Therefore, while a chemical might be onsite for only a short period of time, if it exceeds a state or federal threshold while at the facility, it must be reported.

#6: Incorrectly-marked extremely hazardous substances

Many companies either designate EHSs incorrectly or fail to designate a chemical as an EHS in the first place. Encamp’s built-in logic automatically flags chemicals that are on EPA’s EHS list, even if those chemical substances are part of a mixture.

#7: Increased reporting fees for incorrectly-marked chemicals

In and of itself, paying/tracking/reconciling/allocating fees is a huge Tier II reporting burden, especially when operations expand to more states and your facility count increases. Imagine, however, that an amended report has to be filed because a chemical was marked incorrectly.Along with trying to find time for the rework, the fees to file an amended report are much steeper than for initial submissions.

#8: Out-of-date Safety Data Sheets

From EPA: In 2012, OSHA modified its Hazard Communication Standard (HCS) to conform to the United Nations’ Globally Harmonized System of Classification and Labeling of Chemicals (GHS). As part of these modifications, chemical manufacturers and importers are required to re-evaluate chemicals according to the criteria adopted from GHS in order to ensure that pure chemicals and mixtures are classified appropriately. Any new criteria must be provided to downstream users in safety data sheets (SDSs).

OSHA regulations require an SDS to be revised within three months after a chemical manufacturer or employer becomes aware of new information concerning the hazards of a chemical. EPCRA regulations merely require that such revised SDSs also be submitted to the agencies that have the original SDS. Facilities should therefore consult the OSHA regulations and guidance to determine if a revised SDS must be prepared and subsequently submitted under EPCRA.

#9: Wrong hazard codes in reports

Again from EPA: Pursuant to 29 CFR 1910.1200(b)(6)(i), the OSHA HCS that sets the requirements for Material Safety Data Sheets (MSDSs) does not apply to hazardous waste as defined by the Solid Waste Disposal Act, as amended by the Resource Conservation and Recovery Act (RCRA) of 1976. EPCRA sections 311 and 312 require reporting only on hazardous chemicals for which an owner or operator of a facility is required to prepare or have available an MSDS. OSHA does not require MSDSs for hazardous waste; therefore, hazardous waste is not subject to EPCRA sections 311 and 312. Since facilities are not required to maintain MSDSs for hazardous waste, they are not required to report for these chemicals if requested by an LEPC.

#10: Mixture components are wrong

A final word from EPA: If a facility that produces, uses, or stores mixtures knows or reasonably should know the components of the mixture, the facility owner or operator must notify under EPCRA Section 302 if the extremely hazardous substance component is more than 1% of the total weight of the mixture and equal to or more than the threshold planning quantity. Even if EHS component information is not available on the SDS provided by the manufacturer, facilities are not exempt from Section 302 notification requirements.

In addition, per EPA guidelines, the owner or operator of a facility may meet the requirements of Sections 311 and 312 by choosing one of two options:

  • Providing the required information on each component that is a hazardous chemical within the mixture. In this case, the concentration of the hazardous chemical in weight percent must be multiplied by the mass (in pounds) of the mixture to determine the quantity of the hazardous chemical in the mixture. No MSDS must be submitted for hazardous components in a mixture with quantities in concentrations under 0.1% for carcinogens and 1% for all other hazardous components of the total weight of the mixture.
  • Providing the required information on the mixture as a whole, using the total quantity of the mixture.

When the composition of a mixture is unknown, according to EPA, facilities should report on the mixture as a whole, using the total quantity of the mixture. Whichever option the owner or operator decides to use, the reporting of mixtures must be consistent for Sections 311 and 312, where practicable.

And that’s it. The Top 10 Tier II reporting errors we see day and day out. Use this checklist to make sure they don’t show up in your company’s reports.

Transforming the way enterprises stay in compliance

Encamp is on a mission to create a world where good for business can equal good for the environment. We help enterprises transform compliance programs and human processes into a technology-driven system that lays the foundation for accurate and ongoing environmental compliance through a blended method of intelligent high-tech solutions and high-touch expert support.

Megan Walters

Megan is Encamp’s VP of Compliance & Customer Success and formerly a Senior Environmental Scientist. But she’s also a Certified Environmental and Safety Compliance Officer® (CESCO), an EHSMS Internal Auditor, a Certified Hazardous Materials Manager, eRailSafe certified, a HAZWOPER 40 Hour - Emergency Response Technician, and skilled in RCRA, DOT, and ISO 14001. Obviously, she knows “compliance.”

EPCRA Tier II Reporting: The Top 10 Errors Checklist (2024)

FAQs

EPCRA Tier II Reporting: The Top 10 Errors Checklist? ›

Tier II Reporting Thresholds

Extremely Hazardous Substances (EHS) in amounts greater than 500 pounds or the Threshold Planning Quantity, whichever is less, must be reported.

What needs to be reported on Tier II? ›

Tier II Reporting Thresholds

Extremely Hazardous Substances (EHS) in amounts greater than 500 pounds or the Threshold Planning Quantity, whichever is less, must be reported.

What is required on EPCRA section 312 tier II? ›

Under Section 312 of the Act, regulated industries must file an annual Tier II report with the SERC, LEPC, and local fire department for hazardous and/or extremely hazardous substances stored, used, or manufactured on site for more than a 24 hour period at any time during the previous calendar year.

What is Tier 2 facility in Epcra? ›

On the federal level, any regulated facility in the U.S. that stores or handles more than 10,000 pounds of hazardous chemicals must submit an annual Tier II inventory report.

What is the penalty for Tier 2 reporting? ›

Reports submitted after the due date of March 1, will be fined a one-time late fee of $250 per facility IAW KRS 39E. 990 (2). Facilities no longer need to submit to the KERC, Local Emergency Planning Committee (LEPC), and Fire Departments.

What are Tier 2 instructions? ›

This small-group targeted intervention is referred to as Tier 2 instruction. During Tier 2, a teacher, paraeducator, or specialist increases the time and intensity of instruction beyond the core reading program for students who did not make adequate progress in the general classroom — the Tier 1 instruction.

What is Tier 2 compliance? ›

Tier II reporting is one of the most common environmental compliance requirements for industrial facilities. To be applicable for reporting, your facility must have an Extremely Hazardous Substance (EHS) or another hazardous chemical present at or above a storage threshold amount.

What are the thresholds for Epcra reporting? ›

If there are 10,000 pounds or more of a hazardous substance or a reportable quantity of an extremely hazardous substance on site at any one time, a facility owner or operator is required to submit a Tier Two, Emergency and Hazardous Chemical Inventory each year.

What is Section 313 reporting requirements for Epcra? ›

Reports under Section 313 (EPA Form R or Form A) must be submitted annually to EPA and to designated State (or Tribal) agencies. Reports are due by July 1 of each year and cover activities at the facility during the previous calendar year.

What are the requirements for Epcra? ›

EPCRA requires facilities to report storage, usage, and releases of hazardous substances to federal, state and local government in an effort to improve chemical safety and protect public health and the environment.

What are Tier 2 restrictions? ›

No mixing of households indoors, apart from support bubbles. Maximum of six outdoors. Pubs and bars must close, unless operating as restaurants. Hospitality venues can only serve alcohol with substantial meals.

What are Tier 2 interventions for? ›

The focus at Tier 2 is supporting students who are at risk for developing more serious unwanted behaviors before they start. Essentially, intervention at this level is more targeted than Tier 1 but less intensive than Tier 3.

What is Tier 2 priority? ›

Tier 2 and Tier 4 Priority Services which falls under the points-based system. This is not a visa type but a service offered by the Home Office to allow workers wanting to switch, extend or change employers to obtain a new visa in 10 working days of the application being submitted.

What are Tier 2 reporting requirements? ›

Facilities that store hazardous chemicals must report their inventory in the Tier II report. Let us break down the reporting requirements. You must submit a report if: A facility has greater than or equal to 10000 pounds of any hazardous chemical by OSHA criteria, then it should be reported in the Tier II report.

What is the difference between Tier 1 and Tier 2 reporting? ›

SARA Title III does allow for the use of a Tier I, which requires information to be aggregated and reported by hazard category. The Tier II form requires information for each individual chemical and also information concerning specific location and storage of the reported chemical.

How long do you have to keep Tier 2 reports? ›

Tier II Chemical Reports give information about the facility, hazardous chemicals, and emergency contacts. Facilities must keep their most current Tier II Report until they file a new report, which then becomes the most current. The TCEQ, Tier II Chemical Reporting Program must keep all Tier II Reports for 30 years.

What is Tier 2 spend reporting? ›

Tier 2 diversity reporting is a process where suppliers can share their diversity spend with their customers. The process allows organizations to recognize the effect of their spend with suppliers who engage with diverse suppliers, as well as their direct spend with diverse suppliers.

What key information is contained in a Tier 2 form? ›

The purpose of this form is to provide state, tribal, and local officials, and the public with specific information on potential hazards. This includes the locations, as well as the amount, of hazardous chemicals present at facilities during the previous calendar year.

What is second tier reporting? ›

Tier II reporting is used by the EPA to track and enforce rules related to the storing of hazardous materials in your facility. Housing hazardous chemicals in your facility can pose an immense risk to your workers, the environment, and surrounding communities.

What is a Tier 2 reporting entity? ›

A Tier 2 entity is a 'reporting entity' as defined in SAC 1 Definition of the Reporting Entity that does not have 'public accountability' as defined in AASB 1053 and is not otherwise deemed to be a Tier 1 entity by AASB 1053. The following for-profit entities are deemed to have public.

References

Top Articles
Visiting The "Welcome To Las Vegas" Sign In 2024
Academic Policies | Texas ECE
Xre-02022
English Bulldog Puppies For Sale Under 1000 In Florida
Warren Ohio Craigslist
Chalupp's Pizza Taos Menu
Wausau Marketplace
Craigslist Pet Phoenix
Hallowed Sepulchre Instances & More
Evita Role Wsj Crossword Clue
Snarky Tea Net Worth 2022
Smokeland West Warwick
Was sind ACH-Routingnummern? | Stripe
Immediate Action Pathfinder
Help with Choosing Parts
Echo & the Bunnymen - Lips Like Sugar Lyrics
2024 U-Haul ® Truck Rental Review
D10 Wrestling Facebook
Cvs Appointment For Booster Shot
Missed Connections Dayton Ohio
Khiara Keating: Manchester City and England goalkeeper convinced WSL silverware is on the horizon
8664751911
Las 12 mejores subastas de carros en Los Ángeles, California - Gossip Vehiculos
I Saysopensesame
Raz-Plus Literacy Essentials for PreK-6
Little Rock Skipthegames
Danielle Ranslow Obituary
Boxer Puppies For Sale In Amish Country Ohio
Telegram Voyeur
Violent Night Showtimes Near Johnstown Movieplex
Bayard Martensen
Yayo - RimWorld Wiki
John Philip Sousa Foundation
24 Hour Drive Thru Car Wash Near Me
Warren County Skyward
Beth Moore 2023
Property Skipper Bermuda
Verizon Outage Cuyahoga Falls Ohio
Union Corners Obgyn
O'reilly's Palmyra Missouri
Great Clips Virginia Center Commons
Discover Things To Do In Lubbock
Mikayla Campinos Alive Or Dead
Brutus Bites Back Answer Key
Uno Grade Scale
Amourdelavie
Optimal Perks Rs3
David Turner Evangelist Net Worth
Cool Math Games Bucketball
Ranking 134 college football teams after Week 1, from Georgia to Temple
La Fitness Oxford Valley Class Schedule
Honeybee: Classification, Morphology, Types, and Lifecycle
Latest Posts
Article information

Author: Golda Nolan II

Last Updated:

Views: 6098

Rating: 4.8 / 5 (58 voted)

Reviews: 89% of readers found this page helpful

Author information

Name: Golda Nolan II

Birthday: 1998-05-14

Address: Suite 369 9754 Roberts Pines, West Benitaburgh, NM 69180-7958

Phone: +522993866487

Job: Sales Executive

Hobby: Worldbuilding, Shopping, Quilting, Cooking, Homebrewing, Leather crafting, Pet

Introduction: My name is Golda Nolan II, I am a thoughtful, clever, cute, jolly, brave, powerful, splendid person who loves writing and wants to share my knowledge and understanding with you.