Why Should You Attend:
The proposed revisions to the Clean Water Act regarding how the Waters of the United States (WOTUS) are defined has attracted the highest level of attention from the incoming 114th Congress, which has already developed a list of EPA regulations worthy of greater scrutiny. Will the WOTUS rule survive the 114th Congress? If so, how will it impact the regulated community?
Duties assigned to employees who work in regulatory affairs are not taught in college or vocational schools. One of the best ways to learn how to be effective in regulatory affairs is to learn directly from those doing it. This presentation, in addition to teaching attendees about upcoming regulatory compliance issues, will provide helpful hints and resources for all levels of experience. Small companies or those newer to the field may benefit particularly from the knowledge imparted in the presentation.
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Areas Covered in the Webinar:
Who Will Benefit:
This webinar will provide valuable assistance to all personnel in:
Erik R. Janus is the president of M³ Technical & Regulatory Services LLC, a consulting firm offering technical and analytical services in a wide variety of areas to support the future of chemical risk assessment.
Mr. Janus is an environmental health science, risk assessment and regulatory toxicology expert with over 20 years of experience in a wide variety of sectors, including roles in academia, state and federal government agencies, corporations and trade associations and non-governmental organizations. Mr. Janus specializes in the science and regulation related to pesticides (agricultural and antimicrobial) and endocrine-disrupting chemicals (i.e. Federal Insecticide Fungicide and Rodenticide Act, US EPA Endocrine Disruptor Screening Program) and has actively advocated for reduction of animal use in the testing of chemicals for many years. He currently holds leadership roles in the Society of Toxicology, Society of Risk Analysis and the International Society of Regulatory Toxicology and Pharmacology.
The proposed revisions to the Clean Water Act regarding how the Waters of the United States (WOTUS) are defined are complex and vast, posing a number of challenges to both implementation and enforcement to a much wider array of stakeholders since its passage in 1972. The WOTUS revisions proposed in March 2014, now referred to as the Clean Water Rule, were almost a decade in the making following some key court decisions. These revisions have been the subject of both a massive public relations campaign on the part of the Environmental Protection Agency (EPA) as well as a massive amount of public response, as evidenced by the volume of comments submitted to the docket.
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