Those required to comply with certain reporting and recordkeeping requirements for per- and polyfluoroalkyl substances (PFAS) under the Toxic Substances Control Act (TSCA) have been afforded an eight-month delay, shifting reporting to commence July 11, 2025, and be completed by Jan. 11, 2026. Reporting was supposed to commence Nov. 12, 2024, before this delay was announced by the Environmental Protection Agency (EPA). The delay is driven by funding shortages leading to delays in the reporting software development.
Continue Reading TSCA Reporting Deadline for Manufacturers and Importers of PFAS and PFAS-Containing Articles Extended to July 11, 2025

Less than one month ago, EPA released its final reporting and recordkeeping requirements for per- and polyfluoroalkyl substances (PFAS) under the Toxic Substances Control Act (TSCA). A Taft PFAS Insights post on that rule is available here. Now, just a few short weeks after issuing that rule, which imposed a one-time reporting requirement for PFAS uses, production volumes, manufacturing byproducts, disposal practices, and PFAS exposures from 2011-2022, EPA is set to issue a final rule that amends reporting requirements for PFAS under the Toxics Release Inventory (TRI).

The TRI, created by the Emergency Planning and Community Right-to-Know Act (EPCRA), is a collection of information gathered from the reporting of toxic chemical releases and pollution prevention activities, as required of industrial and federal facilities. Facilities that manufacture, process, or otherwise use notable quantities of any of the over 780 TRI-listed chemicals must report annually the quantities of those chemicals released into the environment or otherwise managed as waste. The vast majority of the 189 chemicals in the PFAS family were added to the TRI list for the 2021 reporting period, and since that time facilities have been required to file an annual report for the TRI if they manufactured, processed, or otherwise used more than 100 pounds of those chemicals in the annual reporting period. Facilities that fell under that volume (the de minimis amount) were previously exempt from the PFAS reporting requirements.Continue Reading Proposed EPA Rule Would Eliminate the De Minimis Exemption for Reporting PFAS Under the Toxics Release Inventory, and Would Require Disclosure of PFAS in Chemical Mixtures and Finished Products

The EPA released its final reporting and recordkeeping requirements for PFAS, scientifically known as per- and polyfluoroalkyl substances, under the Toxic Substances Control Act (TSCA) on September 28, 2023. According to EPA, the final rule is the result of a statutory mandate in the National Defense Authorization Act for Fiscal Year 2020, which amended TSCA

On June 29, 2023, EPA issued its “Framework for TSCA New Chemicals Review of PFAS Premanufacture Notices (PMNs) and Significant New Use Notices (SNUNs)”—its latest effort to stop the environmental release of per- and polyfluoroalkyl substances (PFAS). This move targets PFAS at the industry source in order to eliminate risks before PFAS enter commerce.

PFAS are of great public and governmental interest because of their widespread use in a variety of products, ability to persist in the environment, and documented adverse human health and environmental effects. This past March, PFAS received exceptional public attention when EPA proposed its first-ever national drinking water standards for six PFAS. However, new PFAS entering the marketplace present a significant challenge for EPA to evaluate. Often, there is insufficient information on the new substance in order to quantify risk and make effective decisions regarding its regulation—there are thousands of different PFAS, but data for only a small fraction are available to the broader scientific community, regulators, and the public.Continue Reading EPA Announces New Framework for New PFAS in Industry