[Webinar] PFAS Ban in Maine: What Companies Need to Know About the March 1 Deadline for Currently Unavoidable Use Requests

January 19th, 11:00 am - 12:00 pm EST
Wiley Rein LLP
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Wiley Rein LLP

January 19th, 2024
11:00 AM - 12:00 PM EST

Effective January 1, 2030, the sale of any industrial, commercial, or consumer product containing intentionally added Per- and Polyfluoroalkyl Substances (PFAS) will be banned in Maine unless the use of PFAS in the product is specifically designated as a Currently Unavoidable Use (CUU). This week, the Maine Department of Environmental Protection (DEP) announced a March 1, 2024, deadline to submit initial CUU requests. In this webinar, Martha Marrapese, Partner at Wiley Rein LLP in Washington, DC, and Miranda Henning, Managing Principal at Integral Consulting Inc.’s office in Portland, ME, will explain how to obtain a CUU exemption.

PFAS is a broad term that refers to the family of synthetic organic compounds having carbon and fluorine. It was coined to address chemicals that may create similar concerns to perfluorooctanoic acid (PFOA) and perfluorooctanoic sulfonate (PFOS), called “forever chemicals” due to their longevity in the environment and the human body (persistence and bioaccumulation), but not all PFAS meet these criteria. PFAS chemicals have been used since the 1940s in many common and essential kinds of products, machinery, and equipment.

The broad scope of Maine’s law on PFAS reporting and product bans makes this state the

bellwether for all current and proposed regulations that seek increased clarity and restrictions on the use of PFAS in products. Companies with products that are engineered or need to have PFAS should not miss this opportunity to submit a CUU request. While future opportunities to add CUU designations are anticipated, companies that ask for a CUU now will have the advantage of seeing their use included from the outset in the rule Maine expects to propose.

Without a CUU designation, Maine’s law will have a significant and disproportionate effect on manufacturers of complex products that must meet strict performance and safety standards. This webinar will provide companies with important context and specific guidance on how to apply for an exemption from Maine’s PFAS in products ban.

Speakers

Martha E. Marrapese

Partner, Wiley Rein LLP

202.719.7156

mmarrapese@wiley.law

Miranda Henning, BCES

Managing Principal,
Integral Consulting Inc.

mhenning@integral-corp.com

Upcoming in the Series

Stay tuned for upcoming webinars in our PFAS series. Subscribe here to receive email updates on future events and additional thought leadership.

Visit Our TSCA Resources Center

At Wiley, we provide effective regulatory strategies and legal advocacy on behalf of our clients before the U.S. Environmental Protection Agency (EPA) and the federal courts on matters under the Toxic Substances Control Act (TSCA). Our clients attribute their success to Wiley’s unparalleled substantive depth on TSCA. Our TSCA Resource Page includes selected references that we find especially useful in TSCA work.

More Info

  • This event is complimentary but advance registration is required. Can’t make the date? Register and we’ll send you the slides and recording after the webinar.
  • Please note, there will be no CLE credit offered.
  • Webinar instructions and materials will be distributed prior to the webinar. For more information, please email Rachel Moss at rmoss@wiley.law.

DISCLAIMER: Because of the generality of this update, the information provided herein may not be applicable in all situations and should not be acted upon without specific legal advice based on particular situations.

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