Penray greatly values your business! We work hard to provide you with high quality, compliant products.
Many states have restrictions on the volatile organic compounds or ‘VOCs’ that may be contained in products. Most of our products are VOC compliant in all 50 states, however, some Penray products are prohibited for sale in certain states and customers must only resell those products in states where they are compliant.
To find state-by-state compliance information for Penray branded products, visit the VOC Compliance Guides below. Find the Penray product on the matrix to determine in which states the product can be sold and where it is not compliant.
Download VOC Regulations Brief here
Download State VOC Restrictions here
Download Penray VOC Guidelines here
Regulatory Technical Brief:
Federal and State Global Warming Regulations for HFC 134a
The aerosol industry moved to the use of HFC-134a propellant as a non-flammable alternative to Freon 22, which was being phased out due to ozone-depleting potential. Since then, HFC-134a has been used for many applications that call for a non-flammable propellant, such as air dusters, electronic and electrical cleaners and non-flammable adhesives.
In 2016, the U.S. EPA published the Significant New Alternatives Policy (SNAP) rules that would have severely limited the use of HFC-134a to only uses it considered essential. The Federal SNAP rules were halted due to legal challenges and never became law. Since that time, several states have enacted their own rules that are similar to the EPA SNAP rule. California was the first to do so and other states have also followed suit.
Why are restrictions being imposed?
The short answer is that the Global Warming Potential (GWP) of HFC-134a is significant and there are replacement gases available that have less environmental impact. The EU has banned most uses of HFC-134a.
What is our purpose in providing this information?
This Technical Brief is intended to make sure that our customers are aware of the rules restricting the use of HFC-134a so that measures can be taken to restrict sales where necessary.
Even for products that are allowed under the exempted uses, compliance actions in some states may be required. For example, some of the states require that 134a be listed on the product Safety Data Sheet (SDS) in Section 3. The State of Washington requires that 134a be included on the product label as well as the SDS.
The states of Colorado, Delaware, Maryland and Massachusetts require an explanation of the date coding system be submitted.