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From The Perspective Of VOCs Source Emission Reduction

First, since the implementation of the above-mentioned national standards, the use of ink, adhesives, cleaning agents and other products within the scope of application of the standards should comply with the provisions of the standards.

The above standards are national standards, with mandatory production, import, sales and use of raw materials and products, containing VOCs and do not meet the standard, in violation of the "Air Pollution Prevention and Control Law", face the risk of administrative punishment.

According to the provisions of article one hundred and three of the "law on the prevention and control of atmospheric pollution, production, sales, content of volatile organic compounds do not meet the requirements of the quality standards or raw materials and products, the local people's governments at or above the county level market supervision and regulation department shall be ordered to correct, raw materials, products, and the illegal incomes confiscated, and concurrently value more than twice and less than three times the amount of the fines. In the case of importing raw materials and products whose volatile organic compounds do not meet the quality standards or requirements, the Customs shall, in accordance with the provisions of Article 104 of the Law on the Prevention and Control of Air Pollution, order them to make corrections, confiscate the raw materials, products and illegal income, and impose a fine of not less than one time but not more than three times the value of the goods; Those who constitute smuggling shall be punished by the Customs according to law. Secondly, in the Yangtze River Delta and the Beijing-Tianjin-Hebei region, new construction, reconstruction or expansion projects are prohibited from using solvent based coatings, inks and adhesives with high VOCs content in the above standards.

According to the ecological environment on June 26, 2019 issued about print and distribute the key industries comprehensive treatment project of volatile organic compounds in the notice, request through the use of water, powder, high solid, no solvent, low content of VOCs such as radiation curing coating, waterborne, radiation curing, low content of VOCs such as plant-based ink, water-based, hot melt, solvent-free, radiation curing, modification and biodegradable adhesive of low content of VOCs and low content of VOCs and low reactivity of cleaning agents, etc., to replace solvent-based coating, printing ink, adhesives, cleaning agents, etc., from the source to reduce VOCs. Industrial coating, packaging and printing industries to increase the source of replacement; Chemical industry should promote the use of raw and auxiliary materials with low (no) VOCs content and low reactive activity and accelerate the green substitution of aromatic hydrocarbons and halogen-containing organic compounds. Enterprises should vigorously promote the use of low VOCs content wood coatings, vehicle coatings, machinery and equipment coatings, container coatings and building and structure protective coatings, in the mature technology industry, promote the use of low VOCs content of ink and adhesives, key areas to the end of 2020 basically completed. We will encourage the development and production of coatings, inks and adhesives with low VOCs content.

Again, enterprises do not use obsolete or backward processes or products and must be based on the requirements of the pollutant discharge license and emission standards to establish VOCs containing raw and auxiliary materials and VOCs containing products use leders. It is mainly based on Article 27 of the Law on the Prevention and Control of Air Pollution that the State implements the elimination system for processes, equipment and products that seriously pollute the atmospheric environment. The Catalogue for the Guidance of Industrial Structure Adjustment (2019 Edition) specifies that outdated production processes, equipment and products that have been eliminated include those that "fail to meet mandatory national standards for safety, environmental protection, energy consumption and quality".

In terms of the compliance management of the ledger, the Volatile Organic Competent Discharge Control Standard stipulates that enterprises should establish ledger to record the name, usage amount, recycling amount, waste amount, destination and VOCs content of raw and auxiliary materials and products containing VOCs. The retention period of the ledger shall not be less than 3 years. Article 35 of the Measures for the Administration of Pollution Permission (Trial Implementation) also stipulates that the retention period of ledger records shall not be less than 3 years.

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