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Game Changer- U.S. EPA Proposes to List PFOS and PFOA as “Hazardous Substances” Under CERCLA

Ohio Environmental Law

If a PRP sent some amount of the hazardous waste found at the site, that party is liable. Under CERCLA, PRPs are broadly defined as the following groups: Any current owners of property where hazardous substances were released regardless of whether they released those substances. PFOA and/or PFOS processors.

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The Chemical Compound—August 2021

Arnold Porter

Our primary focus continues to be on chemical substances which are the subject of regulatory activity or scrutiny by various government agencies and potential litigants. These facilities released or otherwise managed more than 700,000 pounds of production-related PFAS waste during 2020. reports due July 1, 2022). N: See 85 Fed.

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The Chemical Compound—May 2021

Arnold Porter

Our primary focus continues to be on chemical substances which are the subject of regulatory activity or scrutiny by various government agencies and potential litigants. The next reporting year to be covered is 2021, with the reports for 2021 scheduled to be filed by July 1, 2022. 14560 (Mar. 17, 2021).]] 10267 (Feb. 16, 2020).]]

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