I agree that the "controversy" over the use of a "Modified" method 24
centers around the use of Low vapor pressure solvents, however, the fact
remains that the VOC content figure on the MSDS must represent the VOC
content of the material. It becomes misleading to the end user,
especially if they are a major user.
A question to those in state agencies: has anyone adopted the use of a
test method other than Method 24 for the calculation of VOCs for