This page has been archived on the Web

Information identified as archived is provided for reference, research or recordkeeping purposes. It is not subject to the Government of Canada Web Standards and has not been altered or updated since it was archived. Please contact us to request a format other than those available.

Skip booklet index and go to page content

Consultations on the CEPA New Substances Notification Regulations and New Substances Program: Environment Canada/Health Canada Response to the Consultation Recommendations

Appendix 3: Table of Multistakeholder Consultation Recommendations and Associated Environment Canada/Health Canada Responses

3.1 Theme 1 - Improving the Environmental and Health Assessments for New Substances

3.1.1 Principles and Policies Affecting the Assessment and Management of New Substances

(i) Pollution Prevention

No specific recommendations were made in this section.

(ii) The Precautionary Principle

No specific recommendations were made in this section.

(iii) Toxic Substances Management Policy (TSMP)

Recommendations
1. Points of clarification should be summarized and included in the document Toxic Substances Management Policy - Environment Canada Implementation Strategy for New Substances (Draft, April 2001). This draft document should then be finalized and made public.

Environment Canada/Health Canada Response
The final draft of the document and a summary of comments received during the consultations are in the final stages of preparation and will be posted on Environment Canada's Green Lane and the NS Program web site in 2002.

3.1.2 Adequacy of the Risk Assessment Methodology

No specific recommendations were made in this section.

3.1.3 Mechanism for Requiring Additional Information for the Risk Assessment

Recommendations
2. The next review of CEPA should clarify the authority for regulators to require additional information when the prescribed information suggests a suspicion of toxicity, but is considered insufficient to adequately characterize the risk.

Environment Canada/Health Canada Response
The departments will seek legal advice to confirm that section 84 can be used as suggested by the Table. At the same time, the Department of Justice will be asked whether there are any other existing or new mechanisms within CEPA that can be used for this purpose.

Recommendations
3. In the meantime, Environment Canada and Health Canada should adopt the proposed interpretation of section 84 and should develop a guidance document that describes how authorities under section 84 (and/or other mechanisms) can be accessed and used to obtain additional information (beyond that prescribed in the notification scheme) required to complete the assessment. This guidance document should provide criteria for use by evaluators in accessing these mechanisms. The intent is that these criteria enable health, ecotoxicity hazards or exposure concerns to be addressed.

Environment Canada/Health Canada Response
Environment Canada and Health Canada will develop criteria by Spring 2003 for using authorities, such as section 84, for requesting additional information. These criteria will be used to prepare guidance, in the form of an Operational Policy for evaluators, by summer 2003.

3.1.4 Endocrine Disrupting Substances (EDSs)

Recommendations
4. Environment Canada and Health Canada must continue to work diligently with stakeholders nationally and internationally to develop internationally accepted, validated screening and testing protocols to assess new substances for endocrine disruption potential.

Environment Canada/Health Canada Response
The departments will continue to support the initiatives of the 5NR Working Group and of the OECD Test Guidelines Program and to press for timely results.

Recommendations
5. As internationally accepted, validated screening and testing protocols become available that are suitable for a new substances regulatory system, they should be incorporated into the NS Program by the most appropriate means (Regulations or Guidelines). It is noted that the initial availability of the current projected schedule of validated tests (2002-2005) is consistent with the timing for promulgating amendments to the NSN Regulations.

Environment Canada/Health Canada Response
Once suitable test protocols are available, the departments will initiate amendments to incorporate them within the NS Program by the most appropriate mechanism.

Recommendations
6. The NSN Guidelines Document will be revised, subsequent to these consultations, to include a section dealing with endocrine disruption. In particular, the section will describe Environment Canada and Health Canada's approach to incorporating endocrine disrupting considerations in the course of conducting an assessment and proposed risk management outcomes. This will include development of a database of substances that have shown evidence of endocrine disrupting effects. This database, along with other available information, will be used by evaluators to identify whether substances under review are structurally related to substances shown to have endocrine disrupting activity. Depending upon the severity of the effect and the closeness of the analogue fit, this analogue information may form the basis for a suspicion of toxicity. The guidelines will also indicate that as applicable validated structure-activity relationships (SARs) become accessible, they will be used appropriately in the assessment process. Furthermore, where this information leads to a suspicion of toxicity, appropriate control measures will be imposed, or requests for further test data under section 84(1)(c) of CEPA will be made as validated test procedures are determined. Lastly, the section on endocrine disruption will inform stakeholders of the intent to amend the NS Program (Regulations or Guidelines) to include data requirements for determining endocrine disrupting potential as they become available.

Environment Canada/Health Canada Response
As the issue of endocrine disruption evolves, the Guidelines will reflect new developments, indicating internationally accepted test protocols and how the information will be used in the assessment. Guidance material for notifiers, such as an Advisory Note, will be developed during 2003 and incorporated in the Guidelines. As recommended, information will be included concerning the departments' approach to assessing endocrine disrupting effects and how this would be integrated into a determination of suspicion of toxic. As well, a database of EDS analogues will continue to be developed with other government agencies and research institutes, and peer review from other national governments will be sought. At an appropriate time, this database will be made available to notifiers and the public to assist in understanding this aspect of chemical substances.

3.1.5 Occupational Exposure

Recommendations
7. If Health Canada has information on a hazard pertaining to a notified substance, there is an obligation for Health Canada to share that information with the Canadian agency or agencies that have jurisdictional authority over the workplace. A protocol or process must be identified or developed to share information. The notifier should also be informed. This is consistent with the overriding obligation of due diligence. Health Canada must identify who should receive the information at the time Health Canada identifies the hazard and the specific information.

Environment Canada/Health Canada Response
The departments will initiate discussions by the end of 2002 to define the information-sharing arrangements that should be put into place at the federal level and with provinces. This will be done through the federal/provincial CEOH and through direct discussion with the provinces.

Recommendations
8. If Health Canada has information on a hazard pertaining to a notified substance that is not known by the notifier of the substance, there is an obligation for Health Canada to share that information with the notifier.

Environment Canada/Health Canada Response
Health Canada is working towards the development of an effective and efficient process for informing relevant agencies and notifiers of hazards identified during the course of an NSN Regulations assessment.

Recommendations
9. The sharing of information with the notifier and/or another Canadian agency or agencies that have jurisdictional authority should occur at the time that Health Canada identifies the hazard.

Environment Canada/Health Canada Response
See response to recommendation 8.

Recommendations
10. The Guidelines should be revised to specify the information "which the notifier has in their possession or might reasonably have access to" that will be required of the notifier (when submitting their notification) with respect to any occupational hazards associated with the notified substance. There is a recognition that for truly new substances, this data set will not normally be available or easily accessed.

Environment Canada/Health Canada Response
The Guidelines will be revised accordingly.

Recommendations
11. Health Canada must work closely with appropriate federal authorities (e.g., Human Resources and Development Canada and Labour Canada) that regulate federal workplaces based on hazard information and proposed use patterns provided by the notifier. CEPA seems to allow for this. (Interdepartmental cooperation is required as per section 2 of CEPA.)

Environment Canada/Health Canada Response
See response to recommendation 7.

Recommendations
12. Health Canada and Environment Canada must work with appropriate federal and provincial/ territorial authorities to ensure that the data received by the NS Program are used to conduct occupational risk assessments.

Environment Canada/Health Canada Response
See response to recommendation 7.

Recommendations
13. Health Canada should facilitate a multistakeholder consultation in relation to new substances in the occupational environment. Among other things, this consultation should identify ways in which:

  • new substances notified under the NSN Regulations will be assessed for risks associated with the occupational environment; and
  • a process for the identification of preventative and control measures can be implemented by the responsible agencies.

Environment Canada/Health Canada Response
Health Canada intends to undertake a consultative process by the beginning of 2003 after seeking the involvement of the CEOH.

3.1.6 Data Requirements

(i) Suite of Data Requirements for Chemicals and Polymers

Recommendations
14. Only the information elements that have wide applicability in assessing substances and have internationally accepted test protocols should be included in the Regulations.

Environment Canada/Health Canada Response
The departments are supportive of the data that were identified by the Table for inclusion in the NSN Regulations and, in combination with recommendations under Theme 2, when the data should be notified.

Recommendations
15. Revised Guidelines should address additional data elements, stating the need for these data and articulating the "profile" of substances where this information may take on significance. It is intended that this would alert notifiers to the potential need for generating these data. Notifiers would be encouraged to contact the Program for a pre-notification consultation where these issues could be discussed. If the Program believes these data are necessary for the assessment and the data are not forthcoming from the notifier, provision of the data could be required under sections 84(1)(c) and 84(2) of CEPA.

Environment Canada/Health Canada Response
The departments are supportive of the need to elaborate in the Guidelines what additional data may be necessary and under what circumstances they should be generated.

Recommendations
16. The NSN Guidelines should be referenced in the NSN Regulations. The revised Guidelines will be developed by governments and industry representatives. All stakeholders should be given the opportunity to comment on the revised Guidelines.

Environment Canada/Health Canada Response
Implementation of these recommendations will be pursued within the timelines described for renewal of the Guidelines and will be done in cooperation with a multistakeholder Working Group.

Recommendations
17. The NSN Regulations should contain the information in Table 3.1 in the Final Report for chemicals and polymers.

Environment Canada/Health Canada Response
See response to recommendation 14.

Recommendations
18. The data elements described in Table 3.2 in the Final Report should be included in the revised Guidelines. Notifiers will be advised that data from these tests are suggested in certain circumstances and may be requested to address evaluators' concerns about "suspicion of toxic."

Environment Canada/Health Canada Response
See response to recommendation 3.

Recommendations
19. The revised Guidelines document should contain text that addresses the need for this information and how it will be used in an assessment. The Guidelines should describe the categories or profiles of substances that may be covered by additional tests in order to assist notifiers in identifying specific issues with a new substance and to allow notifiers to contact Environment Canada in advance of the notification.

Environment Canada/Health Canada Response
See response to recommendation 3.

(ii) Class Considerations

Recommendations
20. The revised Guidelines should identify classes of substances where test requirements will be waived upon request and also the classes where additional test information is recommended.

Environment Canada/Health Canada Response
As recommended, the departments will describe the classes of substances and circumstances for which waivers will be accepted for certain tests if requested by the notifier. Furthermore, the departments will describe where additional information will be recommended if a substance meets certain criteria.

Recommendations
21. The revised Guidelines document should contain information to be used by notifiers to promote the use of waivers for specific data elements for certain classes of substances. This information should be developed in conjunction with the revised Guidelines.

Environment Canada/Health Canada Response
The Guidelines will be redrafted to describe the benefits of using the waiver provisions. The Guidelines will be used as the principal means to communicate this information, although Advisory Notes may also be used.

(iii) Good Laboratory Practice

Recommendations
22. Toxicological and biodegradation studies required by the Regulations must comply with the compliance monitoring requirements of OECD Principles or the GLP Regulations of the OECD Member country in which the testing was originally performed. These studies include acute and repeated-dose mammalian toxicity studies, genotoxicity studies, skin irritation, skin sensitization, ecotoxicity studies and ready biodegradation.

Environment Canada/Health Canada Response
The departments will amend the NSN Regulations to reflect the shift to mandatory compliance for toxicological and biodegradation studies.

Recommendations
23. Tests for, and reporting of, physical or chemical properties must either comply with the compliance monitoring requirements of OECD GLP for short-term tests of the country in which the testing was performed or provide enough information to evaluate the reliability and adequacy of data (see Appendix 6 of the Final Report). Full reports for non-GLP tests will be required in order to assess the quality of these studies and their results.

Environment Canada/Health Canada Response
The departments will amend the NSN Regulations to reflect the shift to mandatory compliance for toxicological and biodegradation studies, while offering greater flexibility for testing and reporting of physical and chemical data, consistent with the recommendation.

Recommendations
24. If the laboratory that is generating data submitted to the Program is accredited, the status of that accreditation must be stated and identified.

Environment Canada/Health Canada Response
The obligation of reporting laboratories to state their accreditation will be included in the amendments, as recommended.

(iv) Toxicity Testing Using Animals

Recommendations
25. Government should encourage the development of alternative testing techniques able to provide the same utility of information as that provided by experiments carried out on animals, but which use fewer or no animals or less painful procedures. These should be developed through international (e.g., OECD) scientific cooperation, and adequate resources should be allocated to support these efforts.

Environment Canada/Health Canada Response
Environment Canada and Health Canada remain committed to minimizing the use of animals in testing, and this includes the NS Program. Modification of test protocols to rely on fewer animals while ensuring valid results is one aspect of the strategy, while pursuit of alternative testing that does not require animals is another. The departments consider the development and validation of new test guidelines by the OECD Test Guidelines Program to be key in implementing this strategy.

Recommendations
26. Alternative methods, once validated, should be available for use for the assessment of new substances under the NSN Regulations. It is proposed that wording to this effect should be added to the revised Guidelines.

Environment Canada/Health Canada Response
The departments are committed to encouraging the use of revised or new protocols, as they are adopted in the OECD for data submitted under the NSN Regulations. Furthermore, through GLP and other practices, the departments will accept data generated for other purposes or in other jurisdictions, thereby eliminating the need for unnecessary duplication of testing. The Guidelines will also identify the availability of alternative, validated test protocols.

Recommendations
27. When data developed using alternative methods are submitted for the purposes of notification, the onus will be on the notifier to demonstrate the same utility of information. Pre-notification consultations are encouraged in such situations. In addition, the government commits to setting service standards to respond to this type of request.

Environment Canada/Health Canada Response
Notifiers will be encouraged to take advantage of pre-notification consultation services to discuss their use of data resulting from alternative methods.

(v) Exposure Template

Recommendations
28. The template for providing exposure information should be developed in a separate process from this consultation.

Environment Canada/Health Canada Response
The recommendation to evaluate and finalize an exposure template will be addressed in 2002. Notifiers will be encouraged in an Advisory Note to use the template and will be provided with instructions in the Guidelines on how to complete it.

Recommendations
29. The obligatory exposure information required by the Regulations should be incorporated into a template.

Environment Canada/Health Canada Response
See response to recommendation 28.

Recommendations
30. A reduced list of exposure data and information should be required for PLCs and entry-level chemicals.

Environment Canada/Health Canada Response
See response to recommendation 28.

3.1.7 Evaluation and Validation of Data Quality in the NS Program

(i) Scrutiny by NS Program Evaluators

Recommendations
31. Environment Canada should continue its periodic review, and Health Canada should initiate a practice of periodic review of its assessment reports by group(s) outside the NS Program. The methodology and results of these reviews should be made public.

Environment Canada/Health Canada Response
In addition to the internal peer review processes utilized by the departments, Environment Canada commits to periodic, retrospective review of environmental risk assessments, as described to the Table. Health Canada will also initiate, in 2002, a similar practice of periodic review of its assessment reports by group(s) outside the NS Program. By the end of 2004, the departments will make the results of these periodic reviews available to the public.

(ii) Government Verification of Test Results

Recommendations
32. Environment Canada and Health Canada should undertake a feasibility study that describes the key elements of an efficient and effective government-funded verification testing program, options and costs for implementation and an evaluation of the benefits it would bring to the other measures undertaken by the Program to address data validity. The results of this study should be made public before deciding whether to include this type of testing within the NS Program.

Environment Canada/Health Canada Response
As part of the feasibility study recommended by the Table, the departments will review, during 2003, existing policies, programs and practices in the area of government-funded verification testing in Canada and elsewhere. The results of this review will be made public, as well as the decision whether to proceed with a cost-benefit analysis if such a program were to be implemented for the NSN Regulations.

3.2 Theme 2 - The Regulatory Framework

3.2.1 General Discussions and Recommendations

(i) Alternative Approach to a Tiered System

Recommendations
33. An entry-level trigger for non-NDSL chemical notifications should be established at 100 kg/year.

Environment Canada/Health Canada Response
The recommendations pertaining to the entry-level volume trigger and the elimination of cumulative and in-possession triggers will be incorporated in the drafting instructions and, subsequently, in the NSN Regulations.

(ii) Simplifying and Improving the Effectiveness of the Tiered Approach

Recommendations
34. Cumulative and "in-possession" triggers should be eliminated. The elimination of these triggers will not affect the ability of the regulators to assess persistence, bioaccumulation and toxicity.

Environment Canada/Health Canada Response
See response to recommendation 33.

(iii) Administration of the NDSL

Recommendations
35. The NDSL should be updated annually, based on the U.S. TSCA Inventory of the previous year.

Environment Canada/Health Canada Response
The recommendation to update the NDSL annually based on the TSCA Inventory from the previous year pertains to the administrative aspects of the program. During 2003, Environment Canada will initiate preparations for the initial update; however, given that certain amendments to the NSN Regulations are necessary to increase information requirements for NDSL substances (Schedule 3), the initial update cannot be published until the amended NSN Regulations are promulgated. In the interim, the departments are willing to meet with industry to discuss how this issue can be temporarily addressed.

3.2.2 Proposed Framework for the New Regulations

Recommendations
36. The framework as outlined in the proposed framework for NDSL chemicals (Section 3.2.2(ii) of the Final Report) and the proposed framework for NDSL polymers and non-NDSL polymers with all monomers listed on the DSL/NDSL (Section 3.2.2(v) of the Final Report) should replace the current requirements for the relevant categories of substances.

Environment Canada/Health Canada Response
The framework for each of the categories of substances identified by the Table in this theme4 will be incorporated into the drafting instructions and into the amended NSN Regulations. The Guidelines will also be revised to reflect the new framework and the information required at each tier.

Recommendations
37. The NS Program should revise its internal procedures to ensure that, wherever warranted, additional data are requested at earlier stages in the assessment process. For example, such requests could be made in the assessment of NDSL polymers or those polymers with all monomers on the DSL/NDSL.

Environment Canada/Health Canada Response
See response to recommendation 3.

Recommendations
38. Health Canada and Environment Canada should utilize Significant New Activities (SNAcs) in cases where there is uncertainty that the substance may be used in a consumer application or that the 3 kg/day per site criterion may be exceeded as a result of future activities. These future activities would include multiple users and/or a variety of applications.

Environment Canada/Health Canada Response
The departments are currently developing Guidelines for use of the SNAc provisions (section 85) and will be consulting with stakeholders as per section 69(2).

Recommendations
39. A more streamlined method should be pursued as an alternative to SNAcs.

Environment Canada/Health Canada Response
The departments feel that the use of SNAcs is appropriate but are open to investigating a more streamlined method in the next review of CEPA.

Recommendations
40. A mechanism should be developed (e.g., a flag) when listing PLCs (excluding certain polyesters that have been assessed according to low concern criteria) on the DSL.

Environment Canada/Health Canada Response
The departments will develop administrative procedures in 2002 to identify PLCs on the DSL. These polymers will have to be renotified if they are subsequently imported or manufactured in a form that no longer meets the low concern criteria. The departments do not intend to make this process retroactive.

Recommendations
41. A "smart system" to simplify the notification of PLCs should be developed and implemented.

Environment Canada/Health Canada Response
The departments will analyze, in 2002, the results of a feasibility study to determine the approach and timing of the implementation of a new "smart tool system" to classify PLCs. Depending on the outcome of this feasibility study, an appropriate course of action will be developed in consultation with stakeholders.

3.2.3 Special Categories

(i) Research and Development and Product Development Substances

Recommendations
42. The definitions for R&D and product development substances should be amalgamated to "research and development substance" as follows:

"Research and development substance" means a substance that is undergoing systematic investigation or research, by means of experimentation or analysis other than test marketing, the primary objective of which is:

  • to create or improve a product or process, or
  • to determine the technical viability or performance characteristics of a product or process, or
  • to evaluate a substance prior to its commercialization, which includes pilot plant trials, production trials or customer trials other than test marketing, in order to modify the technical specifications in response to the performance requirements of potential customers.

Environment Canada/Health Canada Response
The departments recognize that R&D activities in the chemical sector are important to Canada's innovation agenda. The recommended changes pertaining to R&D substances and to product development substances will reflect the consensus that an amalgamated definition is an important step towards simplification of special categories under the NSN Regulations. Furthermore, revising trigger volumes and schedules associated with these non-commercial activities is considered appropriate.

Recommendations
43. The current schedules for special categories should be replaced within the framework outlined in Section 3.2.2 of the Final Report with the following:

Environment Canada/Health Canada Response
See response to recommendation 42.

a) R&D Chemicals

Recommendations
44. For chemicals meeting the definition of an R&D substance, there would be no reporting requirements necessary below 1000 kg/year. This is consistent with the current regulations.

Environment Canada/Health Canada Response
See response to recommendation 42.

Recommendations
45. Prior to exceeding 1000 kg/year, the following data will be required:

  • chemical name
  • trade names
  • CAS #
  • MSDS
  • molecular formula
  • structural formula
  • gram molecular weight
  • degree of purity
  • impurities
  • additives/stabilizers
  • a summary of all other information and test data on hazard and exposure
  • identification of other agencies notified and risk management actions taken
  • (manufacture, use, disposal and exposure information)

These data elements are equivalent to the proposed intermediate schedule (Section 3.2.2(i) of the Final Report), but with no requirement to notify test data.

Environment Canada/Health Canada Response
See response to recommendation 42.

Recommendations
46. The notification of the "final" schedule (as outlined in Section 3.2.2(i) of the Final Report) will be required prior to exceeding 10 000 kg/year. This will inform Environment Canada and Health Canada of the increased volume of the R&D substance and provide an opportunity for the notifier to update information supplied in the first notification. There would be no additional information requirements at that time beyond the "correction of information" provision of CEPA (section 81(11)).

Environment Canada/Health Canada Response
See response to recommendation 42.

b) R&D Polymers

Recommendations
47. The recommendation for R&D polymers is similar in structure to that for R&D chemicals; however, the data requirements and trigger volume are based on those for polymers. The following are a list of data required prior to exceeding 10 000 kg/year (trigger volume maintained from current regulations):

  • polymer name
  • trade names
  • CAS #
  • MSDS
  • molecular formula
  • structural formula
  • composition of the polymer, including monomers/ reactants, impurities, additives and solvents
  • physical state of the polymer
  • whether the polymer is formulated for dispersal in water
  • number average molecular weight and % <500 daltons and % <1000 daltons (R&D substances are exempt from this data requirement; instead, the target number average molecular weight must be indicated)5
  • a summary of all other information and test data on hazard and exposure
  • identification of other agencies notified and risk management actions taken
  • manufacture, use, disposal and exposure information

These data elements are equivalent to the proposed intermediate/final schedule (Section 3.2.2(iv) of the Final Report), but with no requirement to develop test data.

Environment Canada/Health Canada Response
See response to recommendation 42.

(ii) Site-limited Intermediate Substances and Export-only Substances

Recommendations
48. The framework for the notification of "Contained Site-limited Intermediate Substances" should be identical to that for R&D substances.

Environment Canada/Health Canada Response
See response to recommendation 42.

Recommendations
49. A process should be initiated to explore mechanisms that enable utilization of the "prescribed purposes" portion as defined in section 81(8)(b) of CEPA to special categories.

Environment Canada/Health Canada Response
The Table expressed its view that mechanisms that enable the use of the "prescribed purposes" portion of paragraph 81(8)(b) of CEPA to special categories should be explored and the term "purpose" defined or replaced within CEPA. Environment Canada and Health Canada intend to describe and make public by mid-2003 what these mechanisms and changes might be and how to involve stakeholders in discussions on this subject.

Recommendations
50. For the purpose of defining site-limited intermediate and export-only substances, "sufficient containment" means an absolute release limit of 1 kg/day per site to the aquatic environment after wastewater treatment.

Environment Canada/Health Canada Response
The departments intend to introduce the definitions agreed to by the Table for site-limited intermediate substances, export-only substances and sufficient containment, following thorough legal and enforcement reviews to ensure that the definitions can be operationalized.

Recommendations
51. The definitions for "site-limited intermediate" and "export-only" substances that the Table has agreed to (see Section 3.2.3(ii) of the Final Report) should be accepted and used in the revised NSN Regulations.

Environment Canada/Health Canada Response
See response to recommendation 50.

3.2.4 Assessment Periods

Recommendations
52. The assessment periods as described in Table 3.5 in the Final Report should be established.

Environment Canada/Health Canada Response
Environment Canada and Health Canada will amend the NSN Regulations to incorporate the assessment periods recommended by the Table.

Recommendations
53. Environment Canada and Health Canada should review their procedures so that when assessments are completed before the end of the assessment period, notifiers are informed immediately, and assessment periods are terminated.

Environment Canada/Health Canada Response
In 2002, internal procedures of the NS Program will be reviewed and amended where warranted to increase efficiency, thereby shortening the time needed to reach decisions. Consistent with the new authorities in CEPA for "greenlighting," the departments will terminate assessment periods on a routine basis where assessments are completed early and will report annually on the extent to which this occurs.

Recommendations
54. In the event that the development of the "smart system" for the characterization of PLCs proves to be successful, in terms of accurately categorizing PLCs, then a reduction in the assessment period for PLCs should be examined.

Environment Canada/Health Canada Response
The departments also intend to apply the procedures described above to PLCs. Should the "smart tool system" described in Recommendation 41 prove effective at determining the classification of a polymer (low concern versus not low concern), the efficiency gained may help in completing polymer assessments more quickly, the "greenlighting" provisions may be applied. In the longer term, the possibility of reducing the regulatory assessment period for PLCs will be examined.

3.2.5 Facilitation of Waivers for Substances Used for a Prescribed Purpose

Recommendations
55. Environment Canada and Health Canada should work cooperatively with stakeholders to identify purposes of use that can be described in Regulations to facilitate requests for waivers under section 81(8)(b). Regulations under the authority of section 89(1)(f) should be drafted at the same time as the revised NSN Regulations.

Environment Canada/Health Canada Response
The departments will initiate consultations with stakeholders in fall 2003 to identify purposes of use and/or categories of substances that are associated with negligible risk to the point where certain exposure or effect information can be systematically waived. If successful, then the departments will use the authority of paragraph 89(1)(f) to incorporate provisions to this effect in the amended NSN Regulations.

3.2.6 Record-keeping and Enforcement

Recommendations
56. The revised NSN Regulations should include wording, such as that in Section 3.2.6 of the Final Report, that states the obligation of the notifier/agent to maintain in Canada, for at least five years, appropriate records that are available for inspection.

Environment Canada/Health Canada Response
The NSN Regulations and associated sections of the Guidelines will be revised to clarify notifier/Canadian agent obligations with respect to record-keeping requirements.

Recommendations
57. The revised NSN Guidelines should clarify the type of information the notifier must maintain.

Environment Canada/Health Canada Response
See response to recommendation 56.

3.3 Theme 3 - Transparency of the NSN Regulatory Process

(i) NSN Information - Regulations, Guidelines and Policy Documents

Improving Transparency of NSN Regulations and Guidelines

Recommendations
58. The NSN Regulations should be written in plain language to ensure that all stakeholders with an interest in new substance provisions, including prospective notifiers, can understand them. Plain-language NSN Regulations will minimize notification errors. This, in turn, will reduce administrative burdens and increase efficiencies in the Program. A simplified, more intuitive structure for the Regulations will improve their clarity. A simpler structure will reduce training time for staff in both government and industry.

Environment Canada/Health Canada Response
The departments will alert the Department of Justice to recommendations of the Table pertaining to the requests for plain-language Regulations and to the offer of certain stakeholders to provide feedback on initial drafts.

Recommendations
59. The NSN Guidelines should be written in plain language by a team made up of "regulators" and the "regulated community." Interested stakeholders should be invited to participate in a peer review before the Guidelines are published. The redrafted Guidelines should include on-line access to illustrative case studies and risk assessment and risk management decisions for each of the case studies.

Environment Canada/Health Canada Response
The Guidelines will be revised using plain language. This will be done with input from multistakeholder working groups comprising individuals from government and industry, followed by a public review process. As recommended, where appropriate, case studies will be used to illustrate concepts in the Guidelines and will be made available electronically on Environment Canada's web site.

Recommendations
60. The CEPA Environmental Registry should allow users to identify all environmental/health regulations/control programs (e.g., National Pollutant Release Inventory, Schedule 1 of CEPA, Priority Substances Lists) that apply to a particular substance in one easy search operation.

Environment Canada/Health Canada Response
Discussions will occur in 2003 with CEPA Environmental Registry administrators and other impacted programs to address recommendations concerning simplified search facilities and links to other important and related national and international web sites.

Recommendations
61. The NSN web site should be linked to other appropriate domestic and international sites such as those of the OECD, the International Labour Organization and industry associations. This initiative may best be achieved through partnerships with stakeholders.

Environment Canada/Health Canada Response
For linkages, the departments will engage industry and other stakeholders by 2003 to assist in identifying appropriate sites to be linked to the NSN web site in a timely manner.

Improving Transparency of NSN Policy Documents

Recommendations
62. Several policy documents/statements should be developed in order to comprehensively describe and explain how the NS Program operates. These include:

  • a comprehensive, understandable policy statement describing the environmental and health risk assessment methodologies used by Environment Canada and Health Canada for the NSN assessment phase;
  • examples of exposure scenarios used for assessing potential human exposure and potential exposure in the environment;
  • how the NS Program operationalizes the precautionary principle and pollution prevention principles;
  • how the NS Program interprets "toxicity" and "suspicion of toxic" in making its risk assessments;
  • the policy employed by Environment Canada and Health Canada in treating confidential information, including confidential business information, in accordance with Part 11 of CEPA (note: this issue of how Environment Canada and Health Canada will deal with confidential information vis-à-vis the NS Program is discussed in Section 3.3(ii) of the Final Report);
  • published information relating to NSN enforcement actions. This information could be included in the annual Report to Parliament legally mandated under section 342 of CEPA and on the NS Program web site;
  • published information and statistics on the NS Program each calendar year, including items such as the number of notifications received with appropriate breakdowns by type, number of conditions and bans, and information on international activities with other jurisdictions (e.g., the Four Corners submissions [United States], exchanges with the National Industrial Chemicals Notification and Assessment Scheme [Australia]).

Environment Canada/Health Canada Response
Environment Canada and Health Canada will, in 2002, inventory and review as required, the operational policies associated with the NS Program, including the policy documents outlined in the consultation recommendations. Subsequent to this review, the departments will establish an ongoing process for the preparation, review and publication of operational policies and will ensure that they are complete and clearly written. As an early example of this exercise, a document entitled Screening-level Environmental Risk Assessment Guidance Document for New and Existing Substances will be issued in 2002. As recommended by stakeholders, regularly updated NS Program statistics will become a regular feature of the web site.

(ii) Confidential Business Information and Access to Risk Assessments

Recommendations
63. The full assessment report should be made available to the notifier. The Table recognizes that this is resource intensive because the government would have to remove any confidential business information received from another source.

Environment Canada/Health Canada Response
The departments are currently embarking on a review of the documents developed, their format, use of third-party information, target audience and other relevant matters as a basis for pursuing the implemention of the Table's recommendations. As an additional priority, the departments will also develop a process to provide notifiers with assessment reports and the public with summaries when substances are subject to section 84 or when they become eligible for addition to the DSL. Every effort will be made to put this process in place by the end of 2002.

Recommendations
64. Summaries of the following assessment reports should be published in descending order of priority:

  • substances for which controls have been imposed;
  • substances for which final notification has been received;
  • all assessments for all substances except PLCs; and
  • PLCs.

Environment Canada/Health Canada Response
See response to recommendation 63.

(iii) Mechanisms for Challenging Assessment Decisions

Recommendations
65. Health Canada and Environment Canada, in consultation with other government departments and stakeholders, should examine the feasibility of an appeal mechanism and how it could be incorporated into a revised CEPA.

Environment Canada/Health Canada Response
By the end of 2003, Environment Canada and Health Canada will initiate a process that will examine the feasibility of incorporating appeal mechanisms into the NS Program and, if appropriate, will develop concrete proposals for amending CEPA.

3.4 Theme 4 - Improving Responsiveness of the NSN Regulations and NS Program in the Global Context

Recommendations
66. Environment Canada and Health Canada should develop and implement a strategic plan covering the next five years that positions Canada to play a leadership role relating to new substances notification in international initiatives aimed at promoting high standards in the protection of human health and the environment in a way that permits better use of industry and government resources. This plan should be flexible and responsive to current and future initiatives, taking into consideration the following elements:

  • An initial objective of the strategic plan should be the pursuit of international harmonization of hazard assessments, along with clarification of Canada's interests regarding the potential for broader harmonization over the longer term.
  • Within the framework of the strategic planning process, Canadian support for, and participation in, international initiatives, such as those under the leadership of the OECD Task Force on New Industrial Chemicals, should be strengthened.
  • Stakeholders, including other government departments, should be continually engaged in the implementation of initiatives undertaken as part of the strategic plan.

Environment Canada/Health Canada Response
Environment Canada and Health Canada will initiate, by the end of 2002, a process to develop the plan envisaged by the Table. At the same time, the departments will continue their efforts within OECD and through bilateral arrangements with other countries, such as the United States and Australia, and will seek other opportunities relating to this subject. For example, the departments will examine the possibility of introducing a foreign scheme into the NS Program's framework based on the progress made through bilateral arrangements with other countries and through OECD work. By the middle of 2003, the departments intend to seek stakeholder perspectives on the draft plan, to amend the plan as appropriate and to make it public. The departments will review progress on implementation of the plan and will release a report by the end of 2005.

3.5 Theme 5 - Service Delivery

(i) Quality Service

Recommendations
67. Environment Canada and Health Canada should implement the recommendations of the Auditor General relating to implementation of measurable service quality standards, service/performance indicators, measuring stakeholder satisfaction, and continuous improvement, such as those outlined in the framework developed by the Treasury Board Secretariat and the National Quality Institute.

Environment Canada/Health Canada Response
The departments will investigate in 2002 what already exists in the departments and elsewhere to document best practices and will adopt a long-term phased approach that will include stakeholders for the implementation of measurable service quality standards and performance indicators. This approach will be in line with the framework developed by the Treasury Board Secretariat and the National Quality Institute.

Recommendations
68. Service/performance indicators should be developed and reviewed periodically against international service delivery initiatives (e.g., within OECD).

Environment Canada/Health Canada Response
Meanwhile, the departments will develop simple tools to measure stakeholder satisfaction. Internal preliminary discussions have begun to initiate a project to develop an appropriate model associated with performance indicators. The departments will also endeavour to keep up to date with those international service delivery initiatives through participation in international fora, such as the OECD New Chemicals Task Force. The departments will periodically review the service and performance indicators against international service delivery initiatives. The aim of the departments is to continue to be responsive to client needs by building on current initiatives and considering new ways of enhancing our service delivery (i.e., information technology).

Recommendations
69. Education, training and information provision for all stakeholders should be treated as a priority and assigned sufficient dedicated resources to be effective. Partnerships should be utilized, including personnel exchanges.

Environment Canada/Health Canada Response
Discussions with industry will be initiated when the amended Regulations are nearing completion, to identify opportunities for mutually beneficial personnel exchanges.

(ii) Leadership for Cultural Change

Recommendations
70. Senior management in Environment Canada and Health Canada should seek ways to enhance quality service approaches that are more open and transparent and centred on the principles of sustainability, develop a mission statement that captures these values, communicate it to all stakeholders and report annually on actions and results in achieving sustainability, transparency and service quality goals.

Environment Canada/Health Canada Response
Senior management in both Environment Canada and Health Canada will work in cooperation with managers of other CEPA programs in 2002 to meet expectations for increased transparency and implementation of quality service approaches that are centred on principles of sustainability.

Recommendations
71. Senior management of both departments should review the organizational options to deliver a more effective, timely, single-window service. The advantages and disadvantages of physically locating all of the NS Program staff together should be considered as an option to improving service delivery.

Environment Canada/Health Canada Response
The departments will also continue to explore other avenues for delivering more effective service, including giving consideration to co-location of staff.

(iii) Innovation

Recommendations
72. The feasibility of redesigning the program delivery to permit secure electronic filing with access simplified by a "smart" system should be examined.

Environment Canada/Health Canada Response
The departments are committed to moving towards a system that allows electronic filing and access to electronic files as resources become available and client demand warrants. The potential for industry financial support in this area will be investigated in 2003. The outcome of the OECD workshop on electronic information systems, held in Ottawa in October 2002, will be considered as part of the path forward for development of electronic filing submission systems.

Recommendations
73. Information sharing should be facilitated and international cooperation continued and possibly expanded.

Environment Canada/Health Canada Response
Canada will continue to exercise its leadership in the area of international cooperation. The departments intend to continue ongoing initiatives, such as the Four Corners Agreement, the impending Canada- Australia arrangement and the OECD new chemicals multilateral exercise.

Recommendations
74. Opportunities for secondments among government and stakeholders should be explored and pursued where mutually beneficial.

Environment Canada/Health Canada Response
Discussions with industry will be initiated when the amended Regulations are nearing completion, to identify opportunities for mutually beneficial personnel exchanges.

Recommendations
75. Government should work with stakeholders to examine innovative measures for ensuring compliance with the NSN Regulations.

Environment Canada/Health Canada Response
For compliance promotion activities, the departments have already started to consider the involvement of stakeholders in compliance promotion projects.

Recommendations
76. Adequate science resources should be dedicated to addressing the increasingly complex hazard and risk assessment challenges, including innovative improvements to assessment methods that provide greater protection more efficiently.

Environment Canada/Health Canada Response
The departments have expanded their interaction with groups involved in hazard and risk assessment and will continue to allocate resources to the important activity of continuous improvement of science capacity and assessment methodologies.




Footnotes

4 non-NDSL chemicals, NDSL chemicals, PLCs, non-NDSL polymers excluding PLCs and those with all monomers listed on the DSL/NDSL, and NDSL polymers.

5 The revised Guidelines will indicate the type of information (e.g., reaction scheme) that will aid in the characterization of R&D polymers.

Date modified: