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Regulatory Development and Retrospective Review Tracker

Fee Schedule for Electronic Hazardous Waste Manifest

a.k.a. Fee Schedule for Electronic Hazardous Waste Manifest


RIN: 2050-AG80 (What's this?)

Docket No.: Not yet available (What's this?)

Current Phase: Pre-Proposal (What's this?)

Abstract:
This action will establish a program of fees that will be imposed on users of the e-manifest system and will announce the user fee schedule for manifest related activities, including activities associated with collection and processing of paper manifests submitted to EPA.

This action also will announce the date upon which EPA will be ready to transmit and receive manifests through the national e-Manifest system and will announce the date upon which the user community must comply with the new e-Manifest regulation.
Timeline

MilestoneDate
Initiated04/30/2014
NPRM: Published in FR10/2015 (projected)

Potential Effects

Federal Government - other agencies
Likely to be involved in the implementation of this rule.

Local Governments
Likely to be involved in the implementation of this rule.

State Governments
Likely to be involved in the implementation of this rule.

Participate / Learn More Regulatory Review

Some of EPA's rulemakings undergo regulatory review (What's this?), as prescribed by Executive Order 12866 and coordinated by the Office of Management and Budget (OMB). The following list describes which of this rulemaking's stages have completed review and published in the Federal Register, if any, and provides links to the review documents where available. Consult the "Timeline" section of this Web page for the dates of each review.

Citations & Authorities

Code of Federal Regulations (CFR) Citation

Legal Authority

Disclaimer

This site provides summaries of priority rulemakings and priority retrospective reviews of existing regulations. We update most of the site at the beginning of each month, though some data is updated more frequently if it is time sensitive. The information on this site is not intended to and does not commit EPA to specific conclusions or actions. For example, after further analysis, EPA may decide the effects of a rule would be different or it may decide to terminate a rulemaking.


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