PFAS Reporting: CY2024 TRI and TSCA Section 8(a)(7), TAPPICon25
Per- and polyfluoroalkyl substances (PFAS) reporting has become more complicated for industry since the initial introduction of PFAS in Toxic Release Inventory (TRI) reporting starting in reporting year 2020 and, more recently, the removal of the de minimis exemption for PFAS starting in RY2024. The National Defense Authorization Act (NDAA) adds 5 new PFAS to TRI reporting for RY2024. In addition to TRI, a new rule under the Toxic Substances Control Act (TCSA) includes a 12-year lookback PFAS report to EPA under TSCA Section 8(a)(7), for any PFAS manufactured or imported from 2011 through 2022. This presentation will address the scope of both rules and the requirements, best practices, and reporting guidelines for facilities to meet these expanded reporting requirements.
TAPPI
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