In this webinar, Richard E.
Engler, Ph.D., Director of Chemistry, B&C, and
Lynn L. Bergeson, Managing Partner,
B&C, will review what PFAS are reportable, what information is
due and by when, why finished product importers are on the hook for
reporting, why there is a 12-year look-back, and the all-important
topic of how much diligence is due before concluding information is
"not known or reasonably ascertainable."
WASHINGTON, July 10,
2024 /PRNewswire-PRWeb/ -- Register now to join
Bergeson & Campbell, P.C. (B&C®) for "Determining PFAS
Content in Your Supply Chain and Expanding Data Collection
Practice," a complimentary webinar covering the basics of the U.S.
Environmental Protection Agency's (EPA) reporting rule for per- and
polyfluoroalkyl substances (PFAS). With Chemical Data Reporting
(CDR) wrapping up this fall, companies still have time to gather
the necessary information regarding PFAS to begin reporting as
early as this November.
With Chemical Data Reporting (CDR) wrapping
up this fall, companies still have time to gather the necessary
information regarding PFAS to begin reporting as early as this
November.
The fiscal year (FY) 2020 National Defense Authorization Act
(NDAA) amended the Toxic Substances Control Act (TSCA) to require
that all manufacturers (including importers) of PFAS and
PFAS-containing articles in any year since 2011 report information
related to chemical identity, uses, volumes made and processed,
byproducts, environmental and health effects, worker exposure, and
disposal to EPA. According to EPA, at least 1,462 PFAS that are
known to have been made or used in the
United States since 2011 will be subject to its October 2023 final reporting rule, but the actual
number may be very much higher. The six-month reporting period will
begin November 12, 2024, and end
May 8, 2025. Small businesses that
are solely reporting data on importing PFAS present as components
in articles have an additional six months to report, until
November 10, 2025.
In this webinar, Richard E.
Engler, Ph.D., Director of Chemistry, B&C, and
Lynn L. Bergeson, Managing Partner,
B&C, will review what PFAS are reportable, what information is
due and by when, why finished product importers are on the hook for
reporting, why there is a 12-year look-back, and the all-important
topic of how much diligence is due before concluding information is
"not known or reasonably ascertainable."
Topics Covered:
- What activities are reportable?
- Where might PFAS be in your supply chain?
- What diligence is due?
- Managing data developed.
Speakers Include:
Richard E. Engler, Ph.D. is
Director of Chemistry with B&C. Dr. Engler is a 17-year veteran
of EPA and is one of the most widely recognized experts in the
field of green chemistry, having served as senior staff scientist
in EPA's Office of Pollution Prevention and Toxics (OPPT) and
leader of EPA's Green Chemistry Program. He has participated in
thousands of TSCA substance reviews at EPA, as well as pre-notice
and post-review meetings with submitters to resolve complex or
difficult cases, and he draws upon this invaluable experience to
assist B&C clients as they develop and commercialize novel
chemistries.
Lynn L. Bergeson, Managing
Partner, B&C, has earned an international reputation for her
deep and expansive understanding of how regulatory programs pertain
to nanotechnology, industrial biotechnology, synthetic biology, and
other emerging transformative technologies. Ms. Bergeson counsels
corporations, trade associations, and business consortia on a wide
range of issues pertaining to chemical hazard, exposure and risk
assessment, risk communication, minimizing legal liability, and
evolving regulatory and policy matters.
Register Now
Media Contact
Heidi Lewis, Bergeson &
Campbell, P.C., 2025573812,
hlewis@lawbc.com, www.lawbc.com
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SOURCE Bergeson & Campbell, P.C.