American Chemistry Council
EPANonrulemakingEPA-HQ-OLEM-2020-0527

Interim Guidance on the Destruction and Disposal of Perfluoroalkyl and Polyfluoroalkyl Substances and Materials Containing Perfluoroalkyl and Polyfluoroalkyl Substances

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Jul 2, 2026
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American Chemistry Council filings
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American Chemistry Council filed 3 comments on this docket between Feb 26, 2021 and Jun 30, 2026. 41 other organizations filed here. The comment window closed 29d ago.

What American Chemistry Council filed (3)

Feb 26, 2021· Comment submitted by American Chemistry Council (ACC) et al.· EPA-HQ-OLEM-2020-0527-0101

February 22, 2021 The Honorable Jane Nashida Acting Administrator U.S. Environmental Protection Agency 1200 Pennsylvania Avenue, N.W. 7101 M Washington, DC 20460 Dear Acting Administrator Nashida: RE: Interim Guidance on PFAS Disposal and Destruction (EPA-HQ-OLEM-2020-0527 FRL-10017-07-OLEM) We the undersigned coalition of trade associations and companies appreciate the opportunity to provide comments regarding your proposed Interim Guidance on per- and polyfluoroalkyl substances (PFAS) Disposal and Destruction. Our coalition and member companies represent manufacturers and users of PFAS from a variety of sectors including aerospace, automobiles, construction, electronics, traditional and alternative energy, and textiles to medical devices, national security, and public safety. The coalition urges EPA to continue to promote flexibility in recommending methods that ensure the safe disposal and destruction of PFAS. The guidance should reflect not only a variation of available disposal and destruction options, but what options are the most effective, as outlined by data and research. While there is a prioritization of methods, the lack of performance data referenced in the interim guidance does not correlate to the prioritization approach or concrete actions to implement the disposal and destruction methods EPA selected. This very prescriptive prioritization of lower uncertainty to higher uncertainty without a basis for the ranking, implies one technology is better than another for all circumstances. For instance, the interim storage option is listed as the least uncertain. However, storing PFAS material from up to 2 to 5 years, without additional guidance on how to do it (e.g., in containment, lining the storage location, distance from water bodies) — on top of significant management and cost burdens — does not offer sufficient information to confirm interim storage as the most protective of the environment. Anecdotally, an unregulated labeled container does not seem more protective of the environment on a short to medium term basis as compared to a RCRA-permitted hazardous waste landfill or solid waste landfill with strict, regulated impermeable liners. In addition, incineration is listed as the most uncertain disposal option. Per EPA research and other independent studies referenced in our Appendix, incineration can be a safe and efficient mode of PFAS destruction through properly designed, operated, and permitted incinerators. There should be more thorough and transparent explanation of the basis for ranking disposal and destruction methods. The guidance should also propose additional testing, where deemed necessary, to better reflect the variation in disposal methods and destruction operating parameters, and waste types. We appreciate the opportunity to offer detailed feedback on specific language in the interim guidance in the appendix below. EPA's failure to offer clear and concise guidance on the proper disposal of PFAS wastes is leading to a patchwork of inconsistent state standards. If a determination cannot yet be made due to a lack of data, that also needs to be clear and concise. We look forward to working with you to finalize this Interim Guidance to address local concerns and to ensure a consistent approach to treatment and risk communications. We stand ready to answer any questions you may have. . Sincerely, American Chemistry Council American Fuel and Petrochemical Manufacturers American Petroleum Institute National Association of Chemical Distributors U.S. Chamber of Commerce Interim Guidance on PFAS Disposal and Destruction Detailed Comments U.S. Chamber of Commerce February 22, 2021 Appendix 1 Landfilling, deep-well injection, and solidification/encapsulation should continue to be viable options for disposal under appropriate circumstances—These methods have been demonstrated as effective solutions for managing a wide waste-types under contemporary regulations. •Altho…

Feb 26, 2021· Comment submitted by American Chemistry Council (ACC)· EPA-HQ-OLEM-2020-0527-0094

The comments of the American Chemistry Council on the Interim Guidance on PFAS destruction and disposal are attached.

Abstract

The National Defense Authorization Act for Fiscal Year 2020, Public Law No: 116-92 (FY 2020 NDAA), was signed into law on December 19, 2019. Section 7361 of the FY 2020 NDAA directs the U.S. Environmental Protection Agency to publish interim guidance on the destruction and disposal of perfluoroalkyl and polyfluoroalkyl substances (PFAS) and materials containing PFAS. This interim guidance is available for public comment.

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