Aug 14, 2023· Comment submitted by National Association of Manufacturers (NAM)· EPA-HQ-OLEM-2022-0922-0102
The National Association of Manufacturers appreciates the opportunity to comment on the EPA's Advanced Notice of Proposed Rulemaking that seeks input and data to inform its consideration of the development of potential future regulations pertaining to designation of certain PFAS (per- and polyfluoroalkyl substances) as hazardous substances under CERCLA.