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Keeping Up-to-Date on PFAS Regulations in Consumer Products

January 16, 2024

Jessica Bernardini - Tonkon Torp LLP

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PFAS (per- and poly- fluorinated alkyl substances) are everywhere, in our drinking water and all over the news. A serious concern for the health of humans and the environment, federal and state agencies are taking a proactive approach to identifying sources of PFAS and attempting to eliminate them from the everyday products with which we come in direct contact.

In general, the federal government’s current focus is on identifying sources of PFAS and regulating PFAS in drinking water. States meanwhile are increasingly working to eliminate the circulation of consumer products with intentionally added PFAS. To date, 12 states have enacted laws that ban or impose reporting or disclosure requirements for PFAS in products ranging from food packaging to textiles, cosmetics, cookware, baby products, carpets, rugs, and upholstered furniture. In 2023, dozens of new bills were introduced at the state level to address PFAS. Many were targeted at banning certain products containing intentionally added PFAS; however, only a handful were enacted. While each state’s laws differ, there is some continuity between them, specifically, the definition of PFAS (a class of fluorinated organic chemicals containing at least one fully fluorinated carbon atom) and the use of “intentionally” with regards to how the PFAS became present in the product in the first place.

Below is a brief overview of the state laws governing consumer products in Washington, Oregon, and California, along with an update on the latest rule at the Federal level.

Federal

Washington

In February 2023, Phase I of Washington’s PFAS food packaging ban went into effect, prohibiting the manufacture, sale, and distribution of packaging made of paper or other plant fiber with intentionally added PFAS. The list of items in Phase I included wraps, plates, food boats, and pizza boxes. Manufacturers that produce the listed food packaging must complete a certificate of compliance.

Phase II of the ban starts May 1, 2024. It expands the list of banned products with intentionally added PFAS to include bags, sleeves, bowls, flat serviceware, open-top containers, and closed containers. Ecology has developed guidance that assists manufacturers in determining if their product is regulated under Washington law.

Oregon

California

If you believe your business uses PFAS in its manufacturing process or you distribute or sell products with intentionally added PFAS, you must be proactive in determining how to eliminate these products or find alternative chemicals. Laboratories are now able to conduct reliable testing to determine the presence of PFAS.

As states are becoming more aware of the extent to which consumers are exposed to PFAS, we can expect to see continued promulgation of PFAS laws. This will be an ongoing area of regulation to which businesses should stay apprised.

Please reach out to a member of our skilled Environmental and Natural Resources team to ensure your company complies with these new laws and regulations.

This update is prepared for the general information of our clients and friends. It should not be regarded as legal advice. If you have questions about the issues raised here, please contact any of the attorneys in our Environmental and Natural Resources group.

About Tonkon Torp
Tonkon Torp LLP is a leading business and litigation law firm serving public companies, substantial private enterprises, entrepreneurial businesses, and individuals throughout the Northwest. For more information, visit tonkon.com.