The EPA published in the Federal Register today a change to the submission period and technical corrections to the PFAS Data Reporting and Recordkeeping Rule under TSCA.
Originally the reporting period was scheduled to open this November with a due date of May 8, 2025. With this final rule revision, the reporting period will now open July 11, 2025, with the report being due 6 months thereafter on January 11, 2026.
HRP’s recommendations for compliance do not change with this new due date. This PFAS reporting rule is a significant lift for businesses and industries. Businesses and industries should take advantage of this extra time and ensure they complete, and document, their due diligence relative manufacturing and import activities for the reporting years of 2011 – 2022.
The following general steps will be involved in preparing for this reporting obligation:
- Identifying if you manufacture (including import) a chemical substance (including mixture or article).
- Identifying if your chemical substances (mixture or article) meet the definition of PFAS per 40 CFR 705.
- Document inapplicability or gather information for reporting that will open July 11, 2025, due January 11, 2026.
For more information on this rule, you can watch the May 2024 webinar by following the link below. And don't forget to subscribe to The Pulse for all the latest.
https://lnkd.in/eSd9SvB8
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