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SVT for TSCA 12 B regulation

george_ainiveettil
Active Participant
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Hello All,

I am trying to set up SVT for TSCA 12 B regulation in our new system. I have seen there is standard set up provided by SAP and in the configuration the volume determination FM' s are missing. Do we need to add the FMs because as per my understanding TSCA 12 B is not for Volume check . There are 2 environmental parameters available, but we need to add the corrosponding phrase here right? Where exactly these phrases are used in property tree?

Also can anyone please tell me a little bit about the data set up. From SAP help i can see we have to maintain data in TSCA Lists,US( SAP_EHS_1023_053) property for regulation and legal entity and registration date etc . Also there is something as TSCA section and Concentration % , should we maintain any thing here? Now if i maintain the components in this property and assign composition with usage US is that sufficient? I have also seen that the property SAP_EHS_1023_057( Reg status) to be maintained . What data to be maintained here? Is there any other property or data which is required? Now i believe the fill table will get updated with components maintained in TSCA Lists,US with the components with concentration limits...Do we need to maintain anything in specify quantity limits configuration for TSCA 12 B?

Thanks and looking forward for the responses.

Regards

George

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george_ainiveettil
Active Participant
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Hi Christoph,

Thanks for your inputs and appreciate your reply. I understood the TSCA ,US lists are updated through rulesets. But when we do filling and tracking, what exactly the system will look into? I know in standard regulations for SVT we have qty checks and the traffic lights show up in CBRC20. But in TSCA12 B as far as i understood, we dont maintain any qty limits in configuration? So I am just trying understand the concept.

Regards

George

christoph_bergemann
Active Contributor
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Dear George

may be you are lost a little bit...

But let us try it step by step:

"But in TSCA12 B as far as i understood, we dont maintain any qty limits in configuration?" => this is as well my understanding of the legal requirement

" I understood the TSCA ,US lists are updated through rulesets." => not sure about your feedback: by using "rulesets" and data you can "add" data (secondary data) on level REAL_SUB; but this is a "nice to have" and not a "must do do"; so you could maintain TSCA 12B data without usingany ruleset (this might be time consuming.. buit as long as you know the "legislation"... no problem)

"But when we do filling and tracking, what exactly the system will look into?" => here I am not sure what you would like to get; you need to seperate the "fill" and the "tracking" part. SAP has an "idea" in mind what you "could" do for TSCA / TSCA 12B; but it is your turn to decide: what approach you would like to use. And TSCA 12 B is a "complex" regulation (from a certain point of view)

Tracking: here the answer would be "more" simple: you need documents (e.g. SAP MM... etc.); then by configuration etc. SVT decides: Ok: i need to track something... then SVT "drills" down and write the the data in some tables which are then used in CBRC20; normally you would at least need data in CCRCT_EHS_COMP for the tracking part ; this is all very customer specific set up, so no real help possible; for SVT you need "only" to decide which scenario to look at; for TSCA 12B at least "EXP"; therefore you need to schedule the relevant jobs etc.

As i have tried to explain: the set up for TSCA 12 B depends on your decision; you can only track without block; you can track with block etc. You could used "Notification Check" as well... We are not using SVT in relation to TSCA 12B; but it is clearly possible from my point of view.

From tracking perspective: you are not interested in the "amount"; you need "only" to know: does the "component" have some "TSCA 12B" relevance and if so which one (here TSCA 12B is complex !) an dthen based on the "relevance" you need to decide the "follow up" decisions

We have only the SAP documentation in place; no documentation exists (according to my knowledge)

C.B.