New PFAS: Is anything NOT reportable? — A Conversation with Richard E. Engler, Ph.D.

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All Things Chemical

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This week I sat down with Dr. Richard E. Engler, B&C’s and The Acta Group’s (our consulting affiliate) Director of Chemistry, to discuss a very new component on the U.S. Environmental Protection Agency’s (EPA) PFAS Action Plan. The plan represents EPA’s “all of agency” approach to address the risks posed by per- and polyfluoroalkyl substances (PFAS) that can accumulate in humans and remain in the body for long periods. PFAS have been widely used in many consumer articles for years, and the action plan represents the totality of EPA’s actions to identify areas of risk and steps to address risks to human health and the environment. EPA recently proposed a PFAS reporting rule under the Toxic Substances Control Act (TSCA) that would compel the submission of certain information on some 1,000 listed PFAS chemicals. The proposal is controversial because of how it defines this class of chemicals, the standard of knowledge that triggers reporting, and the types of entities subject to the reporting requirements. Rich Engler helps us understand what these issues are and why you should care. ALL MATERIALS IN THIS PODCAST ARE PROVIDED SOLELY FOR INFORMATIONAL AND ENTERTAINMENT PURPOSES. THE MATERIALS ARE NOT INTENDED TO CONSTITUTE LEGAL ADVICE OR THE PROVISION OF LEGAL SERVICES. ALL LEGAL QUESTIONS SHOULD BE ANSWERED DIRECTLY BY A LICENSED ATTORNEY PRACTICING IN THE APPLICABLE AREA OF LAW. ©2021 Bergeson & Campbell, P.C. All Rights Reserved