Read the full press release by EPA

WASHINGTON (March 16, 2022) — Today, the U.S. Environmental Protection Agency (EPA) is announcing two important actions to safeguard communities from products containing Per- and Polyfluoroalkyl Substances (PFAS). First, as part of EPA’s effort to identify, understand and address PFAS contamination leaching from fluorinated containers, the agency is notifying companies of their obligation to comply with existing requirements under the Toxics Substances Control Act (TSCA) to ensure unintentional PFAS contamination does not occur. The agency will also remove two PFAS from its Safer Chemical Ingredients List (SCIL) following a review of these substances (which were added to that list in 2012).

‘Today’s action will help ensure that responsible parties are held accountable for any future PFAS contamination affecting communities,’ said Assistant Administrator for the Office of Chemical Safety and Pollution Prevention Michal Freedhoff. ‘Additionally, keeping PFAS out of consumer products certified under the agency’s Safer Choice program will help prevent potential exposures to PFAS from occurring in the first place.’

TSCA Compliance Notification Letter to Industry on PFAS in High-Density Polyethylene (HDPE) Containers

Today, EPA notified manufacturers (including importers), processors, distributors, users, and those that dispose of fluorinated HDPE containers and similar plastics (i.e., fluorinated polyolefins) that the presence of PFAS formed as a byproduct in these containers may be a violation of TSCA.

In an open letter released today Letter to Fluorinated HDP Industry, EPA outlines notifications requirements under TSCA for such PFAS. Certain PFAS, including long-chain PFAS as defined in EPA’s 2020 long-chain perfluoroalkyl carboxylate (LCPFAC) Significant New Use Rule (SNUR), that are found to be present in or on fluorinated polyolefins may be subject to TSCA regulations and enforcement. LCPFAC chemical substances that are byproducts of the manufacturing process for fluorinated polyolefins do not meet the requirements of the byproduct’s exemption.  This means that the uses require notice to EPA via a Significant New Use Notice (SNUN), EPA review of potential risks of this use under TSCA section 5, and a determination of whether (and under what conditions) such uses can continue.”…