Current Advocacy
- FVA Comments Submitted to FDA re Phthalates in Food Contact
December 22, 2022
- FVA Comments to State of California DTSC
December 19, 2019
- FVA Comments to State of California on Candidate Chemicals in Flooring
November 6, 2017
- FVA Comments to CPSC on NHANES Data
March 24, 2017
- Flexible Vinyl Alliance Submits Comments to the CPSC regarding Children’s Products and Specified Phthalates
March 13, 2015
- FVA DfE Pilot Study
May 5, 2014
- Flexible Vinyl Alliance Submits Comments to the General Services Administration on Green Building Standards
April 8, 2013
- Comments to the USGBC on LEED V4 3.28.13
March 28, 2013
- EPA’s Design for the Environment Alternative Assessments Program
September 14, 2012
Senator Vitter weighs in at EPA on Chemical Policies Impacting PVC
- FVA Comments on Green Building Certification
June 29, 2012
FVA comments on the General Service Administration’s green building certification review as they relate to the June 25, 2012 listening session held at GSA headquarters.
- “Plain Talk about PVC” Stressed in Hill Meetings
May 21, 2012
The FVA and Vinyl Institute urge Congress to protect $50 billion U.S. vinyl economy during fly-in.
- Flexible Vinyl Alliance Response Regarding Green Building Advisory Cmte. Public Mtg.
May 9, 2012
The FVA responds to the General Services Administration’s Green Building Certification review report.
- Flexible Vinyl Alliance Response Regarding LEED 2012 MR Credit
March 26, 2012
The FVA responds to the U.S. Green Building Council on the LEED 2012 MR Credit: “Avoidance of Chemicals of Concern”
- Vinyl Institute Response to State of the Union Address
January 25, 2012
State of the Union Focuses on Key Vinyl Industry Issues
- GSA Green Building Advisory Committee held November 9, 2011:
- Industry Comments Submitted In Response November 21, 2011:
- Update: Letter to OMB on EPA’s Proposal to List Chemicals Under TSCA
September 9, 2011
Letter from Senator Frank Lautenberg, requesting conclusion of the review of the EPA’s proposal to list chemicals under the Toxic Substances Control Act (TSCA) Section 5(b)(4).