In February 2020, ACWA jointly submitted comments with ASDWA and ECOS in response to EPA’s ANPRM, “Addition of Certain Per- and Polyfluoroalkyl Substances; Community Right-to-Know Toxic Chemical Release Reporting (Docket # EPA-HQ-TRI-2019-0375).” In February 2023, ACWA, ASDWA, ECOS, and ASTSWMO jointly submitted comments in response to EPA’s Proposed “Changes to Reporting Requirements: Per- and Polyfluoroalkyl Substances and to Supplier Notifications for Chemicals of Special Concern; Community Right-to-Know Toxic Chemical Release Reporting,” Docket # EPA-HQ-TRI-2022-0270-0001.
Find both letters below.
ACWA ASDWA ECOS Letter - PFAS TRI-EPCRA Reporting - 2-3-2020
ACWA ASDWA ASTSWMO ECOS_PFAS PBT Reporting Exemption TRI EPCRA_Final Comments_2.3.2023