Scarinci Hollenbeck, LLC, LLCScarinci Hollenbeck, LLC, LLC

Firm Insights

Breaking Down the EPA’s Long-Anticipated PFAS Regulation

Author: Daniel T. McKillop

Date: March 31, 2023

Key Contacts

Back
Breaking Down the EPA’s Long-Anticipated PFAS Regulation

The Environmental Protection Agency (EPA) recently proposed first-ever limits for PFAS compounds in drinking water. If adopted, the EPA’s new rule would require public water systems to test for and maintain PFOA and PFOS levels of no more than 4 parts per trillion and notify customers if levels exceed this standard.

Under the proposed PFAS National Primary Drinking Water Regulation Rulemaking, states with less stringent PFAS drinking water standards must enact new regulations to comport with the new standard. The EPA also indicated that additional PFAS compounds will be similarly regulated in the future.

Evolving PFAS Regulation

Polyfluoroalkyl substances (PFAS) are known as “forever chemicals” because it takes so long for them to break down in the environmental and the human body. People can be exposed to PFAS through a variety of ways, including certain consumer products, occupational contact, and/or by consuming food and drinking water that contain PFAS. The chemicals have been linked to a number of health conditions, including cancer and low birth weight.

As discussed in greater detail in a prior article, U.S. manufacturers have largely stopped using PFAS in favor of shorter-chain replacements, which are generally less bioaccumulative and potentially less toxic. However, prior discharges have resulted in very high levels of the chemicals in many public and private water systems, including those in New Jersey. According to EWG, more than 200 million Americans may be drinking contaminated water.  

Because of their potential harmful effects, regulation of PFAS has increased in recent years, particularly in states like New Jersey. In 2018, the New Jersey Department of Environmental Protection (NJDEP) was the first in the country to establish an MCL  (Maximum Contaminant Level) for perfluorononanoic acid (PFNA). In 2020, the NJDEP adopted new drinking water standards that set strict limits on perfluorooctanoic acid (PFOA) and perfluorooctane sulfonic acid (PFOS). The MCLs are 14 parts per trillion for PFOA and 13 parts per trillion for PFOS. 

An MCL is the highest allowable concentration of a contaminant in water delivered to a user of a public drinking water supply. MCLs apply to public water systems, including public community and public non-transient noncommunity water systems. Public community and public non-transient noncommunity water systems are required to routinely monitor for contaminants for which MCLs have been established and to take any action necessary to bring the water into compliance with an MCL.

EPA’s Proposed PFAS Rule

The EPA, which has faced criticism for not acting quickly enough to regulate PFAS, is slowly taking action. In June 2022, the EPA issued health advisories warning that PFAS are much more hazardous to human health than scientists initially believed and are likely more harmful even at levels thousands of times lower than previously believed.

On March 14, 2023, the EPA announced a proposed National Primary Drinking Water Regulation (NPDWR) for six PFAS including perfluorooctanoic acid (PFOA), perfluorooctane sulfonic acid (PFOS), perfluorononanoic acid (PFNA), hexafluoropropylene oxide dimer acid (HFPO-DA, commonly known as GenX Chemicals), perfluorohexane sulfonic acid (PFHxS), and perfluorobutane sulfonic acid (PFBS). Under the proposed rulemaking, PFOA and PFOS would be regulated as individual contaminants, with proposed MCLs of 4.0 parts per trillion. 

The EPA is proposing to regulate PFHxS, PFNA, PFBS, and HFPO-DA (commonly referred to as GenX Chemicals) as a mixture using a hazard index approach. To determine the Hazard Index for these four PFAS, water systems would monitor and compare the amount of each PFAS in drinking water to its associated Health Based Water Concentration (HBWC), which is the level below which no health effects are expected for that PFAS. Water systems would add the comparison values for each PFAS contained within the mixture. If the value is greater than 1.0, it would be an exceedance of the proposed Hazard Index MCL for PFHxS, GenX Chemicals, PFNA, and PFBS.

If finalized, the proposed regulation will require public water systems to notify the public if monitoring detects these PFAS at levels that exceed the proposed regulatory standards. Additionally, public water systems would be required take actions to reduce the levels of these PFAS in drinking water if they exceed the proposed regulatory standards. This could include removing these chemicals through various types of treatment or switching to an alternative water supply that meets the standard.

What’s Next?

The EPA’s proposal does not require any actions for drinking water systems until the rule takes effect. According to the agency, it plans to finalize the regulation by the end of 2023.

Public comments will be accepted following publication of the proposal in the Federal Register. Additionally, the EPA will conduct a virtual public hearing on May 4, 2023, where members of the public can register to attend and provide verbal comments to EPA on the rule proposal. In addition to establishing drinking water standards, state and federal regulators have also prioritized the remediation of PFAS contamination. For compliance assistance in this rapidly developing area, we encourage entities to contact a member of the Scarinci Hollenbeck Environmental Law Group.

If you have questions, please contact us

If you have any questions or if you would like to discuss the matter further, please contact Dan McKillop, or the Scarinci Hollenbeck attorney with whom you work, at 201-896-4100.

No Aspect of the advertisement has been approved by the Supreme Court. Results may vary depending on your particular facts and legal circumstances.

Scarinci Hollenbeck, LLC, LLC

Related Posts

See all
Does Your Homeowners Insurance Provide Adequate Coverage? post image

Does Your Homeowners Insurance Provide Adequate Coverage?

Your home is likely your greatest asset, which is why it is so important to adequately protect it. Homeowners insurance protects you from the financial costs of unforeseen losses, such as theft, fire, and natural disasters, by helping you rebuild and replace possessions that were lost While the definition of “adequate” coverage depends upon a […]

Author: Jesse M. Dimitro

Link to post with title - "Does Your Homeowners Insurance Provide Adequate Coverage?"
Understanding the Importance of a Non-Contingent Offer post image

Understanding the Importance of a Non-Contingent Offer

Making a non-contingent offer can dramatically increase your chances of securing a real estate transaction, particularly in competitive markets like New York City. However, buyers should understand that waiving contingencies, including those related to financing, or appraisals, also comes with significant risks. Determining your best strategy requires careful analysis of the property, the market, and […]

Author: Jesse M. Dimitro

Link to post with title - "Understanding the Importance of a Non-Contingent Offer"
Fred D. Zemel Appointed Chair of Strategic Planning at Scarinci & Hollenbeck, LLC post image

Fred D. Zemel Appointed Chair of Strategic Planning at Scarinci & Hollenbeck, LLC

Business Transactional Attorney Zemel to Spearhead Strategic Initiatives for Continued Growth and Innovation Little Falls, NJ – February 21, 2025 – Scarinci & Hollenbeck, LLC is pleased to announce that Partner Fred D. Zemel has been named Chair of the firm’s Strategic Planning Committee. In this role, Mr. Zemel will lead the committee in identifying, […]

Author: Scarinci Hollenbeck, LLC

Link to post with title - "Fred D. Zemel Appointed Chair of Strategic Planning at Scarinci & Hollenbeck, LLC"
Novation Agreement Process: Step-by-Step Guide for Businesses post image

Novation Agreement Process: Step-by-Step Guide for Businesses

Big changes sometimes occur during the life cycle of a contract. Cancelling a contract outright can be bad for your reputation and your bottom line. Businesses need to know how to best address a change in circumstances, while also protecting their legal rights. One option is to transfer the “benefits and the burdens” of a […]

Author: Dan Brecher

Link to post with title - "Novation Agreement Process: Step-by-Step Guide for Businesses"
What Is a Trade Secret? Key Elements and Legal Protections Explained post image

What Is a Trade Secret? Key Elements and Legal Protections Explained

What is a trade secret and why you you protect them? Technology has made trade secret theft even easier and more prevalent. In fact, businesses lose billions of dollars every year due to trade secret theft committed by employees, competitors, and even foreign governments. But what is a trade secret? And how do you protect […]

Author: Ronald S. Bienstock

Link to post with title - "What Is a Trade Secret? Key Elements and Legal Protections Explained"
What Is Title Insurance? Safeguarding Against Title Defects post image

What Is Title Insurance? Safeguarding Against Title Defects

If you are considering the purchase of a property, you may wonder — what is title insurance, do I need it, and why do I need it? Even seasoned property owners may question if the added expense and extra paperwork is really necessary, especially considering that people and entities insured by title insurance make fewer […]

Author: Patrick T. Conlon

Link to post with title - "What Is Title Insurance? Safeguarding Against Title Defects"

No Aspect of the advertisement has been approved by the Supreme Court. Results may vary depending on your particular facts and legal circumstances.

Sign up to get the latest from our attorneys!

Explore What Matters Most to You.

Consider subscribing to our Firm Insights mailing list by clicking the button below so you can keep up to date with the firm`s latest articles covering various legal topics.

Stay informed and inspired with the latest updates, insights, and events from Scarinci Hollenbeck. Our resource library provides valuable content across a range of categories to keep you connected and ahead of the curve.

Breaking Down the EPA’s Long-Anticipated PFAS Regulation

Author: Daniel T. McKillop
Breaking Down the EPA’s Long-Anticipated PFAS Regulation

The Environmental Protection Agency (EPA) recently proposed first-ever limits for PFAS compounds in drinking water. If adopted, the EPA’s new rule would require public water systems to test for and maintain PFOA and PFOS levels of no more than 4 parts per trillion and notify customers if levels exceed this standard.

Under the proposed PFAS National Primary Drinking Water Regulation Rulemaking, states with less stringent PFAS drinking water standards must enact new regulations to comport with the new standard. The EPA also indicated that additional PFAS compounds will be similarly regulated in the future.

Evolving PFAS Regulation

Polyfluoroalkyl substances (PFAS) are known as “forever chemicals” because it takes so long for them to break down in the environmental and the human body. People can be exposed to PFAS through a variety of ways, including certain consumer products, occupational contact, and/or by consuming food and drinking water that contain PFAS. The chemicals have been linked to a number of health conditions, including cancer and low birth weight.

As discussed in greater detail in a prior article, U.S. manufacturers have largely stopped using PFAS in favor of shorter-chain replacements, which are generally less bioaccumulative and potentially less toxic. However, prior discharges have resulted in very high levels of the chemicals in many public and private water systems, including those in New Jersey. According to EWG, more than 200 million Americans may be drinking contaminated water.  

Because of their potential harmful effects, regulation of PFAS has increased in recent years, particularly in states like New Jersey. In 2018, the New Jersey Department of Environmental Protection (NJDEP) was the first in the country to establish an MCL  (Maximum Contaminant Level) for perfluorononanoic acid (PFNA). In 2020, the NJDEP adopted new drinking water standards that set strict limits on perfluorooctanoic acid (PFOA) and perfluorooctane sulfonic acid (PFOS). The MCLs are 14 parts per trillion for PFOA and 13 parts per trillion for PFOS. 

An MCL is the highest allowable concentration of a contaminant in water delivered to a user of a public drinking water supply. MCLs apply to public water systems, including public community and public non-transient noncommunity water systems. Public community and public non-transient noncommunity water systems are required to routinely monitor for contaminants for which MCLs have been established and to take any action necessary to bring the water into compliance with an MCL.

EPA’s Proposed PFAS Rule

The EPA, which has faced criticism for not acting quickly enough to regulate PFAS, is slowly taking action. In June 2022, the EPA issued health advisories warning that PFAS are much more hazardous to human health than scientists initially believed and are likely more harmful even at levels thousands of times lower than previously believed.

On March 14, 2023, the EPA announced a proposed National Primary Drinking Water Regulation (NPDWR) for six PFAS including perfluorooctanoic acid (PFOA), perfluorooctane sulfonic acid (PFOS), perfluorononanoic acid (PFNA), hexafluoropropylene oxide dimer acid (HFPO-DA, commonly known as GenX Chemicals), perfluorohexane sulfonic acid (PFHxS), and perfluorobutane sulfonic acid (PFBS). Under the proposed rulemaking, PFOA and PFOS would be regulated as individual contaminants, with proposed MCLs of 4.0 parts per trillion. 

The EPA is proposing to regulate PFHxS, PFNA, PFBS, and HFPO-DA (commonly referred to as GenX Chemicals) as a mixture using a hazard index approach. To determine the Hazard Index for these four PFAS, water systems would monitor and compare the amount of each PFAS in drinking water to its associated Health Based Water Concentration (HBWC), which is the level below which no health effects are expected for that PFAS. Water systems would add the comparison values for each PFAS contained within the mixture. If the value is greater than 1.0, it would be an exceedance of the proposed Hazard Index MCL for PFHxS, GenX Chemicals, PFNA, and PFBS.

If finalized, the proposed regulation will require public water systems to notify the public if monitoring detects these PFAS at levels that exceed the proposed regulatory standards. Additionally, public water systems would be required take actions to reduce the levels of these PFAS in drinking water if they exceed the proposed regulatory standards. This could include removing these chemicals through various types of treatment or switching to an alternative water supply that meets the standard.

What’s Next?

The EPA’s proposal does not require any actions for drinking water systems until the rule takes effect. According to the agency, it plans to finalize the regulation by the end of 2023.

Public comments will be accepted following publication of the proposal in the Federal Register. Additionally, the EPA will conduct a virtual public hearing on May 4, 2023, where members of the public can register to attend and provide verbal comments to EPA on the rule proposal. In addition to establishing drinking water standards, state and federal regulators have also prioritized the remediation of PFAS contamination. For compliance assistance in this rapidly developing area, we encourage entities to contact a member of the Scarinci Hollenbeck Environmental Law Group.

If you have questions, please contact us

If you have any questions or if you would like to discuss the matter further, please contact Dan McKillop, or the Scarinci Hollenbeck attorney with whom you work, at 201-896-4100.

Let`s get in touch!

* The use of the Internet or this form for communication with the firm or any individual member of the firm does not establish an attorney-client relationship. Confidential or time-sensitive information should not be sent through this form.

Sign up to get the latest from the Scarinci Hollenbeck, LLC attorneys!

Please select a category(s) below: