Part 4. PFAS Reporting Requirements at the Federal and State Level – How Will Manufacturers Respond?
Per- and polyfluoroalkyl substances, known by the acronym PFAS and better known by the moniker “forever chemicals,” are...more
8/6/2024
/ Attorney-Client Privilege ,
Compliance ,
Environmental Policies ,
Environmental Protection Agency (EPA) ,
Internal Investigations ,
Manufacturers ,
Occupational Exposure ,
PFAS ,
Recordkeeping Requirements ,
Regulatory Agenda ,
Remediation ,
Reporting Requirements ,
Suppliers ,
Toxic Substances Control Act (TSCA)
This is the third in a series of articles published by the Product Liability and Complex Torts group at Nilan Johnson Lewis, P.A., for product manufacturers as they prepare to respond to PFAS regulatory demands and mitigate...more
PART 2. THE “BUSINESS CASE” TO MITIGATING PFAS RISK IN 2024 -
PFAS have been described as the “new asbestos,” in terms of the scope of regulatory burden and litigation risk facing manufacturers whose products contain PFAS....more