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The information contained in this site is provided for your review and convenience. It is not intended to provide legal advice with respect to any federal, state, or local regulation. You should consult with legal counsel and appropriate authorities before interpreting any regulations or undertaking any specific course of action.

EPA's Financial Responsibility Requirements for the
Hardrock Mining Industry and Their Potential Future
Impacts on Metal Finishers

July 2009

Initial Rules
The U.S. EPA has identified the hardrock mining industry as its priority for developing financial assurance requirements. Financial assurance requirements help ensure that owners and operators of these facilities, not taxpayers, foot the bill for environmental cleanup. These requirements will be developed under section 108(b) of the Comprehensive Environmental Response, Compensation and Liability Act, commonly called “Superfund.” EPA plans to propose the rule by spring of 2011.

Metal Finishing Impacts
The agency plans to examine other industries outside of the hardrock mining industry that also may warrant the development of financial responsibility requirements under Superfund by the end of the year. EPA plans to examine, at a minimum, the following classes of facilities:

  • hazardous waste generators,
  • hazardous waste recyclers,
  • metal finishers,
  • wood treatment facilities, and
  • chemical manufacturers.

This list may be revised as the agency’s evaluation proceeds. EPA is scheduled to publish the notice addressing additional classes of facilities the agency plans to evaluate by December 2009. At that time, the agency will solicit public comment.

Financial Assurance Requirements
Financial assurance requirements can promote responsible environmental practices within industries. Since Congress enacted Superfund in 1980, EPA has spent billions of dollars to clean up uncontrolled hazardous waste sites.

EPA decided to develop financial responsibility requirements for classes of facilities within the hardrock mining industry before it did so for other types of facilities. This conclusion is based upon those facilities’ sheer size; the enormous quantities of waste and other materials exposed to the environment; the wide range of hazardous substances released to the environment; the number of active hardrock mining facilities; the extent of environmental contamination, including the number of sites identified by EPA as needing cleanup under Superfund’s National Priorities List; and government expenditures, projected clean-up costs, and corporate structure and bankruptcy potential.

More information: http://www.epa.gov/superfund/policy/financialresponsibility/index.html

Contact Information: Latisha Petteway, petteway.latisha@epa.gov, 202-564-3191, 202-564-4355

Additional Resources
Readying For CERCLA Financial Assurance. Law 360, Portfolio Media, Inc.



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