Alliance for Automotive Innovation
EPARulemakingEPA-HQ-OPPT-2020-0549

Reporting and Recordkeeping for Perfluoroalkyl and Polyfluoroalkyl Substances under Section 8(a)(7) of the Toxic Substances Control Act (TSCA)

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Last modified
Jan 14, 2026
Comment window
closed 211d ago
Alliance for Automotive Innovation filings
9

Activity

Alliance for Automotive Innovation filed 9 comments on this docket between Aug 19, 2021 and Jan 5, 2026. 112 other organizations filed here. The comment window closed 211d ago.

What Alliance for Automotive Innovation filed (9)

Jan 5, 2026· Comment submitted by Alliance for Automotive Innovation· EPA-HQ-OPPT-2020-0549-0695

See attached for comments from the Alliance for Automotive Innovation.

Jun 17, 2025· Comment submitted by Alliance for Automotive Innovation· EPA-HQ-OPPT-2020-0549-0301

Filed on regulations.gov — full text not in the inline record.

Oct 11, 2024· Comment submitted by Alliance for Automotive Innovation· EPA-HQ-OPPT-2020-0549-0278

Filed on regulations.gov — full text not in the inline record.

Dec 29, 2022· Comment submitted by Alliance for Automotive Innovation· EPA-HQ-OPPT-2020-0549-0163

Filed on regulations.gov — full text not in the inline record.

Dec 28, 2022· Comment submitted by Alliance for Automotive Innovation et al.· EPA-HQ-OPPT-2020-0549-0159

Filed on regulations.gov — full text not in the inline record.

Sep 29, 2021· Comment submitted by Alliance for Automotive Innovation et al.· EPA-HQ-OPPT-2020-0549-0114

On behalf of the Ad Hoc Downstream Users Coalition on PFAS, I enclose the Coalition's comments on EPA's proposed TSCA 8(a)(7) recordkeeping and reporting rule. The Coalition is comprised of the Alliance for Automotive Innovation (Auto Innovators), the American Forest & Paper Association (AF&PA), the Association of Equipment Manufacturers (AEM), the Motor & Equipment Manufacturers Association (MEMA), the Outdoor Power Equipment Institute (OPEI), the Plastics Industry Association (PLASTICS), and the Toy Association.

Sep 29, 2021· Comment submitted by Alliance for Automotive Innovation· EPA-HQ-OPPT-2020-0549-0068

Comments submitted by the Alliance for Automotive Innovation (Auto Innovators) are attached.

Sep 29, 2021· Comment submitted by Alliance for Automotive Innovation et al.· EPA-HQ-OPPT-2020-0549-0115

On behalf of the Ad Hoc Downstream Users Coalition on PFAS, I enclose the Coalition's comments on ICR Reference No: 202106-2070-002, associated with EPA's proposed TSCA 8(a)(7) recordkeeping and reporting rule for PFAS. These comments were originally submitted to OIRA on July 28, 2021. The Coalition is comprised of Alliance for Automotive Innovation (Auto Innovators), the American Forest & Paper Association (AF&PA), the Association of Equipment Manufacturers (AEM), the Motor & Equipment Manufacturers Association (MEMA), the Outdoor Power Equipment Institute (OPEI), the Plastics Industry Association (PLASTICS), and the Toy Association.

Aug 19, 2021· Comment submitted by Alliance for Automotive Innovation· EPA-HQ-OPPT-2020-0549-0030

Filed on regulations.gov — full text not in the inline record.

Abstract

EPA is proposing amendments to a TSCA regulation for reporting and recordkeeping requirements for perfluoroalkyl and polyfluoroalkyl substances (PFAS). As promulgated in October 2023, the regulation requires manufacturers (including importers) of PFAS in any year between 2011-2022 to report certain data to EPA related to exposure and environmental and health effects. EPA is proposing to incorporate certain exemptions and other modifications to the scope of the reporting regulation. These exemptions would maintain important reporting on PFAS, consistent with statutory requirements, while exempting reporting on activities about which manufacturers are least likely to know or reasonably ascertain.

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