PFAS WEBINAR SERIES - Part 3 - Clarifying Your Role in TSCA 8(a)7
Wed, Oct 09
|Webinar
This session will cover manufacturers preparedness to manage PFAS compliance challenges and reporting requirements. Globally, regulations are quickly evolving to include proposed or enacted bans on the use of PFAS in commerce or products.
![PFAS WEBINAR SERIES - Part 3 - Clarifying Your Role in TSCA 8(a)7](https://static.wixstatic.com/media/b2a392_1146c9bfb6514593afcc89a07708193f~mv2.png/v1/fill/w_550,h_235,al_c,q_85,enc_auto/b2a392_1146c9bfb6514593afcc89a07708193f~mv2.png)
![PFAS WEBINAR SERIES - Part 3 - Clarifying Your Role in TSCA 8(a)7](https://static.wixstatic.com/media/b2a392_1146c9bfb6514593afcc89a07708193f~mv2.png/v1/fill/w_550,h_235,al_c,q_85,enc_auto/b2a392_1146c9bfb6514593afcc89a07708193f~mv2.png)
Time & Location
Oct 09, 2024, 10:00 AM – 11:00 AM
Webinar
About the event
About the event
Part 3 of this 3-part PFAS webinar series will cover manufacturers preparedness to manage PFAS compliance challenges and reporting requirements. Globally, regulations are quickly evolving to include proposed or enacted bans on the use of PFAS in commerce or products. Similarly, state and federal regulations are increasing to respond to and prevent PFAS contamination in the environment. Notably in September 2023, EPA set a timetable for US manufacturers or importers of manufactured goods to begin reporting on PFAS content in their products (i.e., TSCA 8[a]7). With few exemptions, manufacturers must begin reporting current and historical results regarding the presence of PFAS in their supply chains between November 2024 and May 2025.
With as many as 12,000 or more compounds considered as PFAS, these substances can enter a manufacturer’s supply chain through both known and unknown pathways in raw materials, components, manufacturing equipment, surface treatments and…