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<br />n <br />11 <br /> <br />n <br /> <br />If any reportable metal is alloyed with aluminum in solid form in this company's raw <br />material, it is reportable, because all oithe raw material is melted at some point in the <br />process and no longer fits the definition of an article. <br /> <br />fl <br />I \ <br />l j <br /> <br />5. QUESTION: My business brings in quantities of prefabricated brake lining, for fitting <br />to brake shoes and other friction apparatus. The MSDS for the lining indicates a percent- <br />age of "phenolic resins," but does not give the percentage of phenol in the resins. Vari- <br />ous fonus of phenol are listed as reportable. Instead of a CAS number for the resins, the <br />MSDS says "Mixture." Each MSDS lists the percentage of resin in the product, which <br />may vary from 5 to 25 percent. What should I report? <br /> <br />11 <br />t } <br /> <br />:1 <br />t j <br /> <br />ANSWER: In this case there is not sufficient information available to the manufacturer <br />to make meaningful reporting possible. The amount and form of phenol in the brake' <br />lining is unknown. Further, brake lining falls within the definition of an article, and <br />substances in an article, that are not removed from the article in manufacturing, are not <br />reportable. <br /> <br />. . <br /> <br />6. QUESTION: We use zinc plated hardware cloth purchased from a local building supply <br />store. There is no MSDS (it is an article), and there are no grindings, fumes, or dust when <br />we cut it into squares. We have no way of determining the thickness or weight of the <br />zinc. Is the zinc galvanizing reportable? <br /> <br />.. 1 <br /> <br />L .1 <br /> <br />ANSWER: No. The cloth falls within the definition of an article~ Reportable sub- <br />stances not removed from an article during manufacturing are not reportable. <br /> <br />~ l <br /> <br />7.' QUESTION: In manufacturing our product, our company uses numerous grinding <br />wheels that are made partially of hazardous substances. How do we report these? <br /> <br />ANSWER: In a case such as this it would be necessary to document (or estimate) the <br />weight of the grinding wheels when new (or at the beginning of the year), subtract the <br />weight when removed from service (or at the end of the year), apply the percentages of <br />hazardous materials to the difference, and report those amounts. under output type 3, <br />quantity transferred away from the facility as waste. These amounts would also be used <br />as the input amounts for those substances. <br /> <br />8. QUESTION: How do we quantify welding rod, the alloy metals and fumes? Most of <br />the metal, minus tips left over, is deposited upon the base metal weld; the flux coating is <br />lost as a fugitive emission. Should we be tracking just.the nickel, chromium, lead, and <br />other alloys, and how do we measure fumes? <br /> <br />ANSWER: Inputs will be the weight of welding rod in the input categories. Outputs <br />include amounts shipped as product, fugitive emissions, waste (tips), etc. See also Ques- <br />tion 11 for guidance in how to account for each component metal, and Question 45 re- <br />garding welding on manufacturing equipment. <br /> <br />F-3 <br />