BICs and PMICs consider company policies to attach the SCR lead hazards documents to all deals (e.g., SCR315 disclosure and SCR316 pamphlet) so that your associated licensees do not forget to provide them to the parties involved in targeted properties (e.g., 1978 and older) or newer properties containing lead hazards. Ditto the SCR230 aka the SCREC LLR SCRPCDS aka the seller disclosure, where lead hazards can be properly seller disclosed.

The SCR310 (section #16) discloses lead hazards and requires parties to sign the SCR315 and provide it to the Brokers.

The SCR310 due diligence period is designed to likely be the parties agreeing otherwise to a 10-day lead hazards inspection.

When BIC/PMIC are directing or even properly hiring EPA RRP certified repair/remodelers, EPA expects the BIC/PMIC to be properly RRP certified.

Please contact the SCR legal hotline if EPA contacts you.


This information is only accurate as of 10/29/25. You must contact SCR for updates and changes to this information after 10/29/25 as laws and regulations may change over time. SCR 803-772-5206 or email info at screaltors.org or email byron at screaltors.org)

This information is not legal advice. This information is intended only to provide general information and may not be relied upon as specific legal guidance. Legal counsel should always be consulted before acting in reliance on this information.