Final Revisions to the National Lead Laboratory Accreditation Program (NLLAP); Notice of Availability, 84576-84578 [2024-24558]
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84576
Federal Register / Vol. 89, No. 205 / Wednesday, October 23, 2024 / Notices
IV. Provisions for Disposition of
Existing Stocks
Existing stocks are those stocks of
registered pesticide products which are
currently in the United States, and
which were packaged, labeled, and
released for shipment prior to the
effective date of the cancellation action.
The existing stocks provisions for the
products subject to this order are as
follows.
The registrant, AMVAC, is prohibited
from selling, distributing, or using the
pesticides identified in Table 1 of Unit
II., except for proper disposal or for
export consistent with FIFRA section
17.
Effective on the date listed below,
persons other than the registrant are also
prohibited from selling, distributing, or
using existing stocks of these products
except for returning existing stocks to
AMVAC, properly disposing of existing
stocks and exporting existing stocks
consistent with FIFRA section 17.
Since the Agency’s August 6, 2024,
issuance of an Emergency Order of
Suspension in the Federal Register on
August 7, 2024 (89 FR 64445) (FRL–
12147–01–OCSPP), AMVAC has been
implementing a voluntary return
program of products containing DCPA.
AMVAC has directed end users to
return product to the retail
establishment where the product was
originally purchased. AMVAC is
collecting existing stocks from
distributors and retailers and working to
ensure the proper disposal of any
collected product.
Authority: 7 U.S.C. 136 et seq.
Dated: October 17, 2024.
Jean Anne Overstreet,
Director, Pesticide Re-Evaluation Division,
Office of Pesticide Programs.
[FR Doc. 2024–24511 Filed 10–22–24; 8:45 am]
BILLING CODE 6560–50–P
ENVIRONMENTAL PROTECTION
AGENCY
Program (NLLAP), which is a revision to
the EPA document titled ‘‘Laboratory
Quality System Requirements (LQSR)
Revision 3.0,’’ dated November 5, 2007.
The revised LQSR 4.0 updates and
streamlines the guidance by referencing
existing laboratory standards already in
practice by NLLAP participating
laboratories and directly related to
laboratory lead analysis; and includes
updates to the test and sampling method
standards to better complement EPA’s
lead-based paint program activities.
DATES: LQSR 4.0 is effective October 23,
2024. However, in order to be
recognized by the NLLAP, laboratories
and accreditation organizations that
currently administer the NLLAP can
comply with the standards of LQSR 3.0
or LQSR 4.0 until December 22, 2025.
After December 22, 2025, all NLLAPrecognized organizations must
implement and comply with the
standards of LQSR 4.0 in order to
maintain participation in NLLAP.
ADDRESSES: The docket for this action,
identified by docket identification (ID)
number EPA–HQ–OPPT–2023–0456, is
available online at https://
www.regulations.gov. Additional
information about dockets generally,
along with instructions for visiting the
docket in-person, is available at https://
www.epa.gov/dockets.
FOR FURTHER INFORMATION CONTACT:
For technical information contact:
Kathleen Ferry, Existing Chemicals Risk
Management Division, Office of
Pollution Prevention and Toxics,
Environmental Protection Agency, 1200
Pennsylvania Ave., NW, Washington,
DC 20460–0001; telephone number:
(202) 564–2214; email address:
ferry.kathleen@epa.gov.
For general information contact: The
TSCA-Hotline, ABVI-Goodwill, 422
South Clinton Ave., Rochester, NY
14620; telephone number: (202) 554–
1404; email address: TSCA-Hotline@
epa.gov.
SUPPLEMENTARY INFORMATION:
[EPA–HQ–OPPT–2023–0456; FRL–11424–
02–OCSPP]
I. General Information
A. Does this action apply to me?
Final Revisions to the National Lead
Laboratory Accreditation Program
(NLLAP); Notice of Availability
Environmental Protection
Agency (EPA).
ACTION: Notice.
khammond on DSKJM1Z7X2PROD with NOTICES
AGENCY:
The Environmental Protection
Agency (EPA or Agency) is announcing
the availability of the document titled
‘‘Laboratory Quality Standards for
Recognition (LQSR 4.0)’’ under the
National Lead Laboratory Accreditation
SUMMARY:
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18:48 Oct 22, 2024
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You may be potentially affected by
this action if you perform or may
perform testing under the Agency’s
regulations regarding lead or otherwise
interact with such testing programs.
Specifically, entities potentially affected
by these revisions are Fixed-Site,
Mobile, and Field Sampling and
Measurement Organizations (FSMOs)
that perform lead testing. Analytical
testing laboratories currently recognized
by the NLLAP and accreditation
organizations that currently administer
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Sfmt 4703
the NLLAP or other organizations that
might seek a Memorandum of
Understanding (MOU) with the Agency
to become an accreditation organization
could be affected by these revisions. In
addition, certified inspectors, certified
risk assessors, developers,
manufacturers, distributors of
equipment and supplies used by FSMOs
testing lead might also be affected by
these revisions; and EPA-authorized
state and tribal lead-based paint training
and certification programs may also be
affected by these revisions.
Other entities potentially affected by
changes to the NLLAP for lead testing
are the owners and managers of target
housing and child-occupied facilities, as
well as realtors, lessees, and residents,
who ultimately pay for the testing
services and stand to benefit by
obtaining lead test results quicker.
Since other entities may also be
interested, the Agency has not
attempted to describe all of the specific
entities that may be affected by this
notice. If you have any questions
regarding the applicability of this notice
to a particular entity, consult the
technical person listed under FOR
FURTHER INFORMATION CONTACT.
B. What action is the Agency taking?
EPA is finalizing the proposed
revisions to the LQSR, now named
‘‘Laboratory Quality Standards for
Recognition’’ (LQSR 4.0), with certain
changes prompted by public comments.
C. Reasonable Availability to the Public.
You may access the International
Organization for Standardization and
International Electrochemical
Commission (ISO/IEC) Standard 17025:
2017 (E) ‘‘General requirements for the
competence of testing and calibration
laboratories’’ through the American
National Standards Institute (ANSI)
Incorporation by Reference (IBR)
reading room at https://ibr.ansi.org/, as
well as the American Society for Testing
and Materials (ASTM) standard E1583–
21a ‘‘Standard Practice for Evaluating
Laboratories Engaged in Determination
of Lead in Paint, Dust, Airborne
Particulates, and Soil Taken from and
Around Buildings and Related
Structures’’ at astm.org. These standards
were incorporated into the LQSR 4.0
and referenced in this document.
II. Background
EPA is identified by Congress as the
federal agency responsible for
establishing an accreditation program
for laboratories participating in the
analysis of lead in paint, soil and dust
samples as a part of a national
residential lead-based paint abatement
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khammond on DSKJM1Z7X2PROD with NOTICES
and control program. In response to this
federal mandate, the Office of Pollution
Prevention and Toxics (OPPT)
established the NLLAP which
recognizes laboratories that have
demonstrated the ability to accurately
analyze for lead in paint, dust, and soil
samples. EPA also publishes the LQSR
which sets the minimum lab standards
under Toxic Substances Control Act
(TSCA) section 405(b) for laboratory
analysis of lead in paint films, soil, and
dust.
There are two basic components to
the NLLAP. The first component is a
laboratory proficiency testing program
(the Environmental Laboratory
Proficiency Analytical Testing (ELPAT)
Program) administered by the American
Industrial Hygiene Association (AIHA)
in conjunction with EPA’s NLLAP.
AIHA sends out ELPAT proficiency
testing samples on a quarterly basis
(four test rounds per year). AIHA
assimilates the test results for each test
round and evaluates the laboratories’
performance on a statistical basis. The
second component of the NLLAP is a
system audit to be conducted by a
laboratory accrediting organization
recognized by EPA. EPA currently
recognizes the organizations as
accrediting organizations through a
memorandum of agreement (https://
www.epa.gov/lead/national-leadlaboratory-accreditation-programnllap). Once a laboratory successfully
meets the requirements of the ELPAT
Program and passes an NLLAP system
audit, the laboratory is recognized by
EPA under the NLLAP.
In 1993, EPA issued its first version
of the LQSR, which outlined minimum
requirements for NLLAP recognized
laboratories. An organization requesting
NLLAP recognition shall be a laboratory
capable of performing sampling and/or
lead testing. A laboratory shall have
distinct staffing, instrumentation,
sampling, and test methods, as
appropriate, and depending upon the
type, a laboratory may have multiple
physical facilities and may use field test
kits. The last revision of the LQSR was
published in 2007, LQSR 3.0, to attain
recognition under the NLLAP as a leadtesting laboratory.
III. EPA Response to Public Comments
EPA requested comment on the
revisions to LQSR 3.0 (88 FR 78355,
November 15, 2023 (FRL–11424–01–
OCSPP)). A docket was created and
used to receive public comments on
EPA’s proposed revisions through
December 15, 2023 (Docket Number
EPA–HQ–OPPT–2023–0456). EPA
received a total of three comments, two
from NLLAP accrediting bodies and one
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from an individual. The two accrediting
bodies commented (EPA–HQ–OPPT–
2023–0456–0006, EPA–HQ–OPPT–
2023–0456–0005) in general support of
EPA’s updates to the LQSR (i.e., LQSR
4.0), including the alignment to the
current version of ISO/IEC 17025 as
well as the ASTM E1583–21a Standard.
A. Reporting Limit Issue
One commenter (EPA–HQ–OPPT–
2023–0456–0005) expressed concern
over the ‘‘reporting limit issue’’ created
by the proposed dust-lead hazard
standard (88 FR 50444) and encouraged
EPA to amend the LQSR to allow
laboratories to have reporting limits
above their method detection limit
(MDL) without requiring the MDL
multiplier. In addition, the commenter
(EPA–HQ–OPPT–2023–0456–0005)
recommended that the amended LQSR
not require that the laboratories have a
reporting limit of at least half of the
lowest regulatory level, stating this
would be interpreted to be 50% of zero.
EPA disagrees that 50% of zero would
have been the reporting limit under the
dust-lead proposal. As EPA explained in
its dust-lead proposed rule (88 FR
50444), if the rule were to be finalized
as proposed, the dust-lead clearance
levels would become the ‘‘action level’’
as described in LQSR 4.0, not the dustlead hazard standards which EPA had
proposed to be ‘‘any reportable level as
analyzed by a laboratory recognized by
EPA’s NLLAP’’. Learn more about EPA’s
efforts to lower the dust-lead hazard
standards and post-abatement dust-lead
clearance levels under TSCA sections
402 and 403: https://www.epa.gov/lead/
hazard-standards-and-clearance-levelslead-paint-dust-and-soil-tsca-sections402-and-403. However, in response to
concerns raised regarding the impacts of
lower clearance levels and the reporting
limit on laboratories, EPA has modified
LQSR 4.0’s Section 5.3 Test and
Sampling Methods so that NLLAPrecognized laboratories that analyze
dust wipe samples for lead must show
that they can achieve a quantitation
limit ‘‘equal to or less than . . . 80% of
the lowest action level (i.e., regulatory
limit) for dust wipe samples’’; this is a
shift from the draft LQSR 4.0 where it
was 50%. To be clear, under the current
dust-lead regulations for floors (i.e., 10
micrograms per square foot (mg/ft2)), the
quantitation limit under the final LQSR
4.0 would be 8 mg/ft2. For the two
options for clearance or action levels
proposed in the dust-lead proposal, the
corresponding quantitation limit under
the final LQSR 4.0 would be 4 mg/ft2 (for
an action level of 5 mg/ft2 for floors) or
2.4 mg/ft2 (for an action level of 3 mg/ft2
for floors) when the compliance date
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84577
arrives for any such updated value. EPA
expects its upcoming final dust-lead
rule to also clarify this point upon
finalizing its reconsideration of the
action levels. In addition, EPA is
finalizing in the LQSR 4.0 that the
quantitation limit must be ‘‘at least 1.6
times but no greater than 10 times the
method detection limit,’’ whereas EPA
proposed ‘‘at least 2 times but no greater
than 10’’ in the draft LQSR 4.0.
B. Effective Date
One commenter (EPA–HQ–OPPT–
2023–0456–0005) disagreed with the
proposed effective date (i.e., one year
after the publication of the Federal
Register notice) and stated that more
time would be needed to update
Environmental Lead Laboratory
Accreditation Program (ELLAP)
accreditation policies and train its site
assessors on to how to conduct
assessments, especially using the new
ASTM Standard. This commenter (EPA–
HQ–OPPT–2023–0456–0005) also cited
resource concerns and the need for
adequate time to update technologies.
First, EPA would like to clarify that the
one-year compliance date extension was
proposed for EPA’s rulemaking titled,
‘‘Reconsideration of the Dust-Lead
Hazard Standards and Dust-Lead PostAbatement Clearance Levels’’ (88 FR
50444, August 1, 2023 (FRL–8524–01–
OCSPP)). Interested parties should
review EPA’s docket for that rulemaking
to learn more about the compliance
deadlines associated with that
rulemaking (EPA–HQ–OPPT–2023–
0231).
EPA has considered the comments on
both the draft LQSR 4.0 and the
proposed dust-lead rulemaking in
impacting NLLAP laboratories, as well
as conducted outreach to obtain a better
understanding of laboratories’ capability
and capacity for dust wipe testing. For
the final LQSR 4.0, EPA is finalizing an
effective date of 425 days after the date
of publication of the document
announcing the final LQSR 4.0 in the
Federal Register. This effective date is
intended to provide a reasonable
amount of time for NLLAP-recognized
laboratories to take actions to meet the
standards in the final LQSR 4 so they
can continue providing dust wipe
testing services to the regulated
community without any significant
disruption in service. In the meantime,
in order to be recognized by the NLLAP,
laboratories and accreditation
organizations that currently administer
the NLLAP may comply with the
standards of LQSR 3.0 or LQSR 4.0.
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84578
Federal Register / Vol. 89, No. 205 / Wednesday, October 23, 2024 / Notices
C. Sampling Criteria
One accrediting body (EPA–HQ–
OPPT–2023–0456–0006) suggested that
the EPA consider adopting the criteria
for Field Sampling and Measurement
Organizations (FSMOs) and the
oversight of FSMOs from the NELAC
Institute (TNI) Field Sampling and
Measurement Organization Sector
‘‘Volume 1 General Requirements for
Field Sampling and Measurement
Organizations’’ and ‘‘Volume 2 General
Requirements for Accreditation Bodies
Accrediting Field Sampling and
Measurement Organizations’’ as a way
to reduce uncertainty of results due to
the quality of the samples. EPA
accepted this suggestion by adding a
recommended reference to NELAC
Institute (TNI) Field Sampling and
Measurement Organization Standards
‘‘Volume 1: General Requirements for
Field Sampling and Measurement
Organizations’’. EPA did not include
reference to ‘‘Volume 2: General
Requirements for Accreditation Bodies
Accrediting Field Sampling and
Measurement Organizations’’ because
EPA determined that volume was out of
scope for the LQSR 4.0 due to its focus
on accreditation bodies instead of
laboratories.
In reference to clearance testing on
floors (as discussed in 40 CFR
745.227(e)), one commenter (EPA–HQ–
OPPT–2023–0456–0003) recommended
compositing of four wipe samples from
each floor to assure that clearance
failure, if present, is determined. The
commenter stated that clearance should
be performed in conformance with
Practices E2271/E2271M and E3074/
E3074M with method quantitation
limits (MQLs) determined for the
resulting composited wipe samples.
While HUD and EPA regulations allow
composite sampling, HUD’s ‘‘Guidelines
for the Evaluation and Control of LeadBased Paint Hazards in Housing’’
generally do not encourage composite
sampling and most laboratories
discourage their clients from submitting
composite dust-wipe samples. EPA is
not finalizing amendments to the LQSR
4.0 which would compel risk assessors
to take composite samples, including
how either single surface or composite
samples are collected, analyzed, or
interpreted. This same commenter
(EPA–HQ–OPPT–2023–0456–0003)
requested EPA modify the Glossary term
for ‘‘Composite sample’’ from ‘‘A
sample composed as a result of
collection of more than one sample of
the same medium (e.g., dust) from the
same type of surface (e.g., floor, interior
window sill, or window trough) so that
multiple samples can be analyzed as a
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single sample’’ to ‘‘the single sample
resulting from the combination of
individual samples collected from
different sections of the same area.’’ For
reasons previously mentioned, EPA is
not finalizing this recommended
change.
This same commenter (EPA–HQ–
OPPT–2023–0456–0003) provided edits
to section 5.6.1.4 Sample Custody
Procedures of the draft LQSR 4.0, which
would change the chain of custody
protocols from ‘‘strongly recommended’’
to ‘‘must conform to ASTM D4840,’’
stating handling needs to be ‘‘beyond
doubt.’’ EPA reviewed ASTM D4840
and has adapted language from it to
modify this section to state that chain of
custody protocols shall ‘‘provide
sufficient assurances, both legal and
technical, that assertions made about a
sample and its measurable
characteristics can be supported to an
acceptable level of certainty.’’
Lastly, two commenters (EPA–HQ–
OPPT–2023–0456–0003, EPA–HQ–
OPPT–2023–0456–0005) suggested EPA
define ELPAT as ‘‘ELPAT:
Environmental Lead Proficiency
Analytical Testing (ELPAT) Program
operated by AIHA Proficiency
Analytical Testing Programs (AIHA
PATP).’’ Successful participation in this
proficiency testing program on a
quarterly basis is required for all
laboratories recognized by EPA in the
NLLAP.’’ EPA accepted this suggested
edit.
D. Referencing Standards
The National Technology Transfer
and Advancement Act (NTTAA)
requires federal agencies to use
technical standards already developed
or adopted by voluntary consensus
standards bodies if compliance would
not be inconsistent with applicable law
or otherwise impracticable. The current
LQSR guidance (LQSR 3.0), refers to a
now outdated 2005 version of a
laboratory quality standard,
International Organization for
Standardization and International
Electrochemical Commission (ISO/IEC)
Standard 17025: 2005 (E) ’’General
requirements for the competence of
testing and calibration laboratories’’. In
addition, there are other laboratory
standards in LQSR 3.0 that are already
in practice by NLLAP participating
laboratories and directly related to
laboratory lead analysis, making parts of
the elements in LQSR 3.0 duplicative.
Therefore, EPA proposed to streamline
the LQSR by conforming and
referencing the updated ISO 17025:
2017 (E) and ASTM E1583–21a. OPPT
has reviewed the updated laboratory
standards and identified any gaps or
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areas where additional clarification or
criteria are needed between ISO 17025:
2017 and ASTM E1583–21a and the
proposed LQSR 4.0. These additional
clarifications or criteria are included
throughout the proposed draft.
One commenter (EPA–HQ–OPPT–
2023–0456–0003) suggested that LQSR
4.0 simply state the requirement that the
laboratory be accredited as conforming
to ISO/IEC 17025 and ASTM E1583 as
the main prerequisite to recognition.
The commenter notes that EPA refers to
the standards as ‘‘ISO/IEC
17025:2017(E)’’ and recommends
instead ‘‘ISO/IEC 17025’’ for
simplicity’s sake. Similarly, the
reference to the current ASTM Standard
may show the fact that it is an ASTM
Standard (i.e., ASTM E1583) or, if
previously discussed, show as the
alpha-numeric designator of the
Standard (i.e., E1583). EPA thanks the
commenter for their suggestions and has
made these edits in the final LQSR 4.0.
This commenter (EPA–HQ–OPPT–
2023–0456–0003) also provided a
number of editorial comments to
alleviate confusion over which sections
of the standards do not or may not
apply. The commenter (EPA–HQ–
OPPT–2023–0456–0003) recommended
that EPA remove references to specific
sections of ISO/IEC 17025 or ASTM
E1583 stating that both ISO/IEC 17025
and E1583 are normative references, and
both require conformance, and that
further citation to specific sections
could falsely seem to suggest that other
sections of the standards do not or may
not apply. EPA accepted those edits
throughout the final LQSR 4.0. The
commenter (EPA–HQ–OPPT–2023–
0456–0003) also provided a number of
other relevant standards for EPA to
consider for future actions. EPA
appreciates the references and will
consider these in future actions affecting
NLLAP laboratories.
Authority: 15 U.S.C. 2601 et seq.
Dated: October 18, 2024.
Michal Freedhoff,
Assistant Administrator, Office of Chemical
Safety and Pollution Prevention.
[FR Doc. 2024–24558 Filed 10–22–24; 8:45 am]
BILLING CODE 6560–50–P
ENVIRONMENTAL PROTECTION
AGENCY
[EPA–HQ–OPPT–2024–0057; FRL–11683–
09–OCSPP]
Certain New Chemicals; Receipt and
Status Information for September 2024
Environmental Protection
Agency (EPA).
AGENCY:
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Agencies
[Federal Register Volume 89, Number 205 (Wednesday, October 23, 2024)]
[Notices]
[Pages 84576-84578]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2024-24558]
-----------------------------------------------------------------------
ENVIRONMENTAL PROTECTION AGENCY
[EPA-HQ-OPPT-2023-0456; FRL-11424-02-OCSPP]
Final Revisions to the National Lead Laboratory Accreditation
Program (NLLAP); Notice of Availability
AGENCY: Environmental Protection Agency (EPA).
ACTION: Notice.
-----------------------------------------------------------------------
SUMMARY: The Environmental Protection Agency (EPA or Agency) is
announcing the availability of the document titled ``Laboratory Quality
Standards for Recognition (LQSR 4.0)'' under the National Lead
Laboratory Accreditation Program (NLLAP), which is a revision to the
EPA document titled ``Laboratory Quality System Requirements (LQSR)
Revision 3.0,'' dated November 5, 2007. The revised LQSR 4.0 updates
and streamlines the guidance by referencing existing laboratory
standards already in practice by NLLAP participating laboratories and
directly related to laboratory lead analysis; and includes updates to
the test and sampling method standards to better complement EPA's lead-
based paint program activities.
DATES: LQSR 4.0 is effective October 23, 2024. However, in order to be
recognized by the NLLAP, laboratories and accreditation organizations
that currently administer the NLLAP can comply with the standards of
LQSR 3.0 or LQSR 4.0 until December 22, 2025. After December 22, 2025,
all NLLAP-recognized organizations must implement and comply with the
standards of LQSR 4.0 in order to maintain participation in NLLAP.
ADDRESSES: The docket for this action, identified by docket
identification (ID) number EPA-HQ-OPPT-2023-0456, is available online
at https://www.regulations.gov. Additional information about dockets
generally, along with instructions for visiting the docket in-person,
is available at https://www.epa.gov/dockets.
FOR FURTHER INFORMATION CONTACT:
For technical information contact: Kathleen Ferry, Existing
Chemicals Risk Management Division, Office of Pollution Prevention and
Toxics, Environmental Protection Agency, 1200 Pennsylvania Ave., NW,
Washington, DC 20460-0001; telephone number: (202) 564-2214; email
address: [email protected].
For general information contact: The TSCA-Hotline, ABVI-Goodwill,
422 South Clinton Ave., Rochester, NY 14620; telephone number: (202)
554-1404; email address: [email protected].
SUPPLEMENTARY INFORMATION:
I. General Information
A. Does this action apply to me?
You may be potentially affected by this action if you perform or
may perform testing under the Agency's regulations regarding lead or
otherwise interact with such testing programs. Specifically, entities
potentially affected by these revisions are Fixed-Site, Mobile, and
Field Sampling and Measurement Organizations (FSMOs) that perform lead
testing. Analytical testing laboratories currently recognized by the
NLLAP and accreditation organizations that currently administer the
NLLAP or other organizations that might seek a Memorandum of
Understanding (MOU) with the Agency to become an accreditation
organization could be affected by these revisions. In addition,
certified inspectors, certified risk assessors, developers,
manufacturers, distributors of equipment and supplies used by FSMOs
testing lead might also be affected by these revisions; and EPA-
authorized state and tribal lead-based paint training and certification
programs may also be affected by these revisions.
Other entities potentially affected by changes to the NLLAP for
lead testing are the owners and managers of target housing and child-
occupied facilities, as well as realtors, lessees, and residents, who
ultimately pay for the testing services and stand to benefit by
obtaining lead test results quicker.
Since other entities may also be interested, the Agency has not
attempted to describe all of the specific entities that may be affected
by this notice. If you have any questions regarding the applicability
of this notice to a particular entity, consult the technical person
listed under FOR FURTHER INFORMATION CONTACT.
B. What action is the Agency taking?
EPA is finalizing the proposed revisions to the LQSR, now named
``Laboratory Quality Standards for Recognition'' (LQSR 4.0), with
certain changes prompted by public comments.
C. Reasonable Availability to the Public.
You may access the International Organization for Standardization
and International Electrochemical Commission (ISO/IEC) Standard 17025:
2017 (E) ``General requirements for the competence of testing and
calibration laboratories'' through the American National Standards
Institute (ANSI) Incorporation by Reference (IBR) reading room at
https://ibr.ansi.org/, as well as the American Society for Testing and
Materials (ASTM) standard E1583-21a ``Standard Practice for Evaluating
Laboratories Engaged in Determination of Lead in Paint, Dust, Airborne
Particulates, and Soil Taken from and Around Buildings and Related
Structures'' at astm.org. These standards were incorporated into the
LQSR 4.0 and referenced in this document.
II. Background
EPA is identified by Congress as the federal agency responsible for
establishing an accreditation program for laboratories participating in
the analysis of lead in paint, soil and dust samples as a part of a
national residential lead-based paint abatement
[[Page 84577]]
and control program. In response to this federal mandate, the Office of
Pollution Prevention and Toxics (OPPT) established the NLLAP which
recognizes laboratories that have demonstrated the ability to
accurately analyze for lead in paint, dust, and soil samples. EPA also
publishes the LQSR which sets the minimum lab standards under Toxic
Substances Control Act (TSCA) section 405(b) for laboratory analysis of
lead in paint films, soil, and dust.
There are two basic components to the NLLAP. The first component is
a laboratory proficiency testing program (the Environmental Laboratory
Proficiency Analytical Testing (ELPAT) Program) administered by the
American Industrial Hygiene Association (AIHA) in conjunction with
EPA's NLLAP. AIHA sends out ELPAT proficiency testing samples on a
quarterly basis (four test rounds per year). AIHA assimilates the test
results for each test round and evaluates the laboratories' performance
on a statistical basis. The second component of the NLLAP is a system
audit to be conducted by a laboratory accrediting organization
recognized by EPA. EPA currently recognizes the organizations as
accrediting organizations through a memorandum of agreement (https://www.epa.gov/lead/national-lead-laboratory-accreditation-program-nllap).
Once a laboratory successfully meets the requirements of the ELPAT
Program and passes an NLLAP system audit, the laboratory is recognized
by EPA under the NLLAP.
In 1993, EPA issued its first version of the LQSR, which outlined
minimum requirements for NLLAP recognized laboratories. An organization
requesting NLLAP recognition shall be a laboratory capable of
performing sampling and/or lead testing. A laboratory shall have
distinct staffing, instrumentation, sampling, and test methods, as
appropriate, and depending upon the type, a laboratory may have
multiple physical facilities and may use field test kits. The last
revision of the LQSR was published in 2007, LQSR 3.0, to attain
recognition under the NLLAP as a lead-testing laboratory.
III. EPA Response to Public Comments
EPA requested comment on the revisions to LQSR 3.0 (88 FR 78355,
November 15, 2023 (FRL-11424-01-OCSPP)). A docket was created and used
to receive public comments on EPA's proposed revisions through December
15, 2023 (Docket Number EPA-HQ-OPPT-2023-0456). EPA received a total of
three comments, two from NLLAP accrediting bodies and one from an
individual. The two accrediting bodies commented (EPA-HQ-OPPT-2023-
0456-0006, EPA-HQ-OPPT-2023-0456-0005) in general support of EPA's
updates to the LQSR (i.e., LQSR 4.0), including the alignment to the
current version of ISO/IEC 17025 as well as the ASTM E1583-21a
Standard.
A. Reporting Limit Issue
One commenter (EPA-HQ-OPPT-2023-0456-0005) expressed concern over
the ``reporting limit issue'' created by the proposed dust-lead hazard
standard (88 FR 50444) and encouraged EPA to amend the LQSR to allow
laboratories to have reporting limits above their method detection
limit (MDL) without requiring the MDL multiplier. In addition, the
commenter (EPA-HQ-OPPT-2023-0456-0005) recommended that the amended
LQSR not require that the laboratories have a reporting limit of at
least half of the lowest regulatory level, stating this would be
interpreted to be 50% of zero. EPA disagrees that 50% of zero would
have been the reporting limit under the dust-lead proposal. As EPA
explained in its dust-lead proposed rule (88 FR 50444), if the rule
were to be finalized as proposed, the dust-lead clearance levels would
become the ``action level'' as described in LQSR 4.0, not the dust-lead
hazard standards which EPA had proposed to be ``any reportable level as
analyzed by a laboratory recognized by EPA's NLLAP''. Learn more about
EPA's efforts to lower the dust-lead hazard standards and post-
abatement dust-lead clearance levels under TSCA sections 402 and 403:
https://www.epa.gov/lead/hazard-standards-and-clearance-levels-lead-paint-dust-and-soil-tsca-sections-402-and-403. However, in response to
concerns raised regarding the impacts of lower clearance levels and the
reporting limit on laboratories, EPA has modified LQSR 4.0's Section
5.3 Test and Sampling Methods so that NLLAP-recognized laboratories
that analyze dust wipe samples for lead must show that they can achieve
a quantitation limit ``equal to or less than . . . 80% of the lowest
action level (i.e., regulatory limit) for dust wipe samples''; this is
a shift from the draft LQSR 4.0 where it was 50%. To be clear, under
the current dust-lead regulations for floors (i.e., 10 micrograms per
square foot ([micro]g/ft\2\)), the quantitation limit under the final
LQSR 4.0 would be 8 [micro]g/ft\2\. For the two options for clearance
or action levels proposed in the dust-lead proposal, the corresponding
quantitation limit under the final LQSR 4.0 would be 4 [micro]g/ft\2\
(for an action level of 5 [micro]g/ft\2\ for floors) or 2.4 [micro]g/
ft\2\ (for an action level of 3 [micro]g/ft\2\ for floors) when the
compliance date arrives for any such updated value. EPA expects its
upcoming final dust-lead rule to also clarify this point upon
finalizing its reconsideration of the action levels. In addition, EPA
is finalizing in the LQSR 4.0 that the quantitation limit must be ``at
least 1.6 times but no greater than 10 times the method detection
limit,'' whereas EPA proposed ``at least 2 times but no greater than
10'' in the draft LQSR 4.0.
B. Effective Date
One commenter (EPA-HQ-OPPT-2023-0456-0005) disagreed with the
proposed effective date (i.e., one year after the publication of the
Federal Register notice) and stated that more time would be needed to
update Environmental Lead Laboratory Accreditation Program (ELLAP)
accreditation policies and train its site assessors on to how to
conduct assessments, especially using the new ASTM Standard. This
commenter (EPA-HQ-OPPT-2023-0456-0005) also cited resource concerns and
the need for adequate time to update technologies. First, EPA would
like to clarify that the one-year compliance date extension was
proposed for EPA's rulemaking titled, ``Reconsideration of the Dust-
Lead Hazard Standards and Dust-Lead Post-Abatement Clearance Levels''
(88 FR 50444, August 1, 2023 (FRL-8524-01-OCSPP)). Interested parties
should review EPA's docket for that rulemaking to learn more about the
compliance deadlines associated with that rulemaking (EPA-HQ-OPPT-2023-
0231).
EPA has considered the comments on both the draft LQSR 4.0 and the
proposed dust-lead rulemaking in impacting NLLAP laboratories, as well
as conducted outreach to obtain a better understanding of laboratories'
capability and capacity for dust wipe testing. For the final LQSR 4.0,
EPA is finalizing an effective date of 425 days after the date of
publication of the document announcing the final LQSR 4.0 in the
Federal Register. This effective date is intended to provide a
reasonable amount of time for NLLAP-recognized laboratories to take
actions to meet the standards in the final LQSR 4 so they can continue
providing dust wipe testing services to the regulated community without
any significant disruption in service. In the meantime, in order to be
recognized by the NLLAP, laboratories and accreditation organizations
that currently administer the NLLAP may comply with the standards of
LQSR 3.0 or LQSR 4.0.
[[Page 84578]]
C. Sampling Criteria
One accrediting body (EPA-HQ-OPPT-2023-0456-0006) suggested that
the EPA consider adopting the criteria for Field Sampling and
Measurement Organizations (FSMOs) and the oversight of FSMOs from the
NELAC Institute (TNI) Field Sampling and Measurement Organization
Sector ``Volume 1 General Requirements for Field Sampling and
Measurement Organizations'' and ``Volume 2 General Requirements for
Accreditation Bodies Accrediting Field Sampling and Measurement
Organizations'' as a way to reduce uncertainty of results due to the
quality of the samples. EPA accepted this suggestion by adding a
recommended reference to NELAC Institute (TNI) Field Sampling and
Measurement Organization Standards ``Volume 1: General Requirements for
Field Sampling and Measurement Organizations''. EPA did not include
reference to ``Volume 2: General Requirements for Accreditation Bodies
Accrediting Field Sampling and Measurement Organizations'' because EPA
determined that volume was out of scope for the LQSR 4.0 due to its
focus on accreditation bodies instead of laboratories.
In reference to clearance testing on floors (as discussed in 40 CFR
745.227(e)), one commenter (EPA-HQ-OPPT-2023-0456-0003) recommended
compositing of four wipe samples from each floor to assure that
clearance failure, if present, is determined. The commenter stated that
clearance should be performed in conformance with Practices E2271/
E2271M and E3074/E3074M with method quantitation limits (MQLs)
determined for the resulting composited wipe samples. While HUD and EPA
regulations allow composite sampling, HUD's ``Guidelines for the
Evaluation and Control of Lead-Based Paint Hazards in Housing''
generally do not encourage composite sampling and most laboratories
discourage their clients from submitting composite dust-wipe samples.
EPA is not finalizing amendments to the LQSR 4.0 which would compel
risk assessors to take composite samples, including how either single
surface or composite samples are collected, analyzed, or interpreted.
This same commenter (EPA-HQ-OPPT-2023-0456-0003) requested EPA modify
the Glossary term for ``Composite sample'' from ``A sample composed as
a result of collection of more than one sample of the same medium
(e.g., dust) from the same type of surface (e.g., floor, interior
window sill, or window trough) so that multiple samples can be analyzed
as a single sample'' to ``the single sample resulting from the
combination of individual samples collected from different sections of
the same area.'' For reasons previously mentioned, EPA is not
finalizing this recommended change.
This same commenter (EPA-HQ-OPPT-2023-0456-0003) provided edits to
section 5.6.1.4 Sample Custody Procedures of the draft LQSR 4.0, which
would change the chain of custody protocols from ``strongly
recommended'' to ``must conform to ASTM D4840,'' stating handling needs
to be ``beyond doubt.'' EPA reviewed ASTM D4840 and has adapted
language from it to modify this section to state that chain of custody
protocols shall ``provide sufficient assurances, both legal and
technical, that assertions made about a sample and its measurable
characteristics can be supported to an acceptable level of certainty.''
Lastly, two commenters (EPA-HQ-OPPT-2023-0456-0003, EPA-HQ-OPPT-
2023-0456-0005) suggested EPA define ELPAT as ``ELPAT: Environmental
Lead Proficiency Analytical Testing (ELPAT) Program operated by AIHA
Proficiency Analytical Testing Programs (AIHA PATP).'' Successful
participation in this proficiency testing program on a quarterly basis
is required for all laboratories recognized by EPA in the NLLAP.'' EPA
accepted this suggested edit.
D. Referencing Standards
The National Technology Transfer and Advancement Act (NTTAA)
requires federal agencies to use technical standards already developed
or adopted by voluntary consensus standards bodies if compliance would
not be inconsistent with applicable law or otherwise impracticable. The
current LQSR guidance (LQSR 3.0), refers to a now outdated 2005 version
of a laboratory quality standard, International Organization for
Standardization and International Electrochemical Commission (ISO/IEC)
Standard 17025: 2005 (E) ''General requirements for the competence of
testing and calibration laboratories''. In addition, there are other
laboratory standards in LQSR 3.0 that are already in practice by NLLAP
participating laboratories and directly related to laboratory lead
analysis, making parts of the elements in LQSR 3.0 duplicative.
Therefore, EPA proposed to streamline the LQSR by conforming and
referencing the updated ISO 17025: 2017 (E) and ASTM E1583-21a. OPPT
has reviewed the updated laboratory standards and identified any gaps
or areas where additional clarification or criteria are needed between
ISO 17025: 2017 and ASTM E1583-21a and the proposed LQSR 4.0. These
additional clarifications or criteria are included throughout the
proposed draft.
One commenter (EPA-HQ-OPPT-2023-0456-0003) suggested that LQSR 4.0
simply state the requirement that the laboratory be accredited as
conforming to ISO/IEC 17025 and ASTM E1583 as the main prerequisite to
recognition. The commenter notes that EPA refers to the standards as
``ISO/IEC 17025:2017(E)'' and recommends instead ``ISO/IEC 17025'' for
simplicity's sake. Similarly, the reference to the current ASTM
Standard may show the fact that it is an ASTM Standard (i.e., ASTM
E1583) or, if previously discussed, show as the alpha-numeric
designator of the Standard (i.e., E1583). EPA thanks the commenter for
their suggestions and has made these edits in the final LQSR 4.0.
This commenter (EPA-HQ-OPPT-2023-0456-0003) also provided a number
of editorial comments to alleviate confusion over which sections of the
standards do not or may not apply. The commenter (EPA-HQ-OPPT-2023-
0456-0003) recommended that EPA remove references to specific sections
of ISO/IEC 17025 or ASTM E1583 stating that both ISO/IEC 17025 and
E1583 are normative references, and both require conformance, and that
further citation to specific sections could falsely seem to suggest
that other sections of the standards do not or may not apply. EPA
accepted those edits throughout the final LQSR 4.0. The commenter (EPA-
HQ-OPPT-2023-0456-0003) also provided a number of other relevant
standards for EPA to consider for future actions. EPA appreciates the
references and will consider these in future actions affecting NLLAP
laboratories.
Authority: 15 U.S.C. 2601 et seq.
Dated: October 18, 2024.
Michal Freedhoff,
Assistant Administrator, Office of Chemical Safety and Pollution
Prevention.
[FR Doc. 2024-24558 Filed 10-22-24; 8:45 am]
BILLING CODE 6560-50-P