AEM - Association of Equipment Manufacturers

07/07/2024 | News release | Distributed by Public on 07/07/2024 12:59

Stay Informed and Remain Complaint: Visit AEM’s EPA PFAS Reporting and Requirements Compliance Webpage

TheEnvironmental Protection Agency (EPA)'s reporting and recordkeeping requirements related to Per- and Polyfluoroalkyl Substances (PFAS)will go into effect soon, and AEM is committed to helpingits members remaineducated, informed, and compliant.

The association recently launched an EPA PFAS Reporting and Requirements Compliance Webpage, which not only offersa comprehensive and up-to-date overview of the compliance requirements associated with the PFAS reporting ruleand outlines best practices for impacted stakeholder companies looking to ensure compliance.

"The general public, politicians, and the global regulatory community are increasingly expressing concerns over the historic uses and proliferation of PFAS around the world," said AEM Senior Director of Safety & Product Leadership Jason Malcore."Legislation is coming from EPA, and there is potential for more on the horizon. With that being the case, ourmembers and their industry peers need to possessa strong understanding of the PFAS reporting ruleand meet EPA'srequirements, as well as develop robust compliance programs to maintainmarket access over the long term."

In October of 2023, the Environmental Protection Agency (EPA) released a pre-published version of its Final Rule, TSCA Section 8(a)(7) Reporting and Recordkeeping Requirements for Perfluoroalkyl and Polyfluoroalkyl Substances. The rule requires any chemical manufacturer, or importer, of Per- and Polyfluoroalkyl Substances (PFAS), in any year since Jan. 1, 2011, to submitto EPA information on these substances regardingchemical identities, production volumes, industrial uses, commercial and consumer uses, worker exposures, disposal, and any existing information related to potential environmental and health effects. The scope of this rule applies to PFAS found in chemical mixtures, complex articles, or its bulk form.

Reporting for most manufacturers will be requiredbetween Nov. 12, 2024, and May 8, 2025. Under the rule, articles containingPFAS, including imported articles containingPFAS are included in the scope.

  • Applies to everyone who has "manufactured" or imported a PFAS in any year between 2011 and 2022
  • Manufacturers or importers of PFAS are required to provide detailed data within 18 months (by May 8, 2025) of the publication of the final rule
  • Substances in scope of reporting are those that meet a definition provided by the EPA (rather than a fixed substance list)
  • Distributors and contract manufacturers are also in scope if they import materials containingPFAS.

In responseto EPA's rule, AEM's PFAS the Reporting and Recordkeeping Compliance Requirements webpage offers:

  • TheEPA's Final Ruleand as well as their general instructions for reporting
  • An AEM producedbest practice compliance guide from theoff-road equipment industry's perspective
  • A breakdown of the rule's key components
  • A webinar recordingfeaturing apanel discussion around compliance obligations
  • The off-road equipment industry's position paper on PFAS regulations
  • A PFAS reference listto help with supply chain data collection
  • Practical strategies for navigating the regulatory landscape.

View EPA's PFAS Reporting and Recordkeeping Compliance Requirements Webpageto learn more orcontact AEM's Jason Malcore at [email protected].

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