Making Sense of UCMR 5 Results: Key PFAS Findings, Lithium Concerns, and UCMR 6 Signals
As UCMR 5 reporting wraps up, we finally have a near-complete picture of the individual concentrations of the 29 monitored... Read more.
NPDWR Initial Monitoring Deadline May Be Closer Than You Think
The U.S. EPA’s National Primary Drinking Water Regulation (NPDWR) for PFAS was made final in 2024. Although the agency has... Read more.
Perchlorate Regulatory Update: What Drinking Water Professionals Need to Do Next
Perchlorate is back in the regulatory spotlight due to a court ordered timeline, mandating U.S. EPA move forward on previously... Read more.
PFAS in 2026: What’s New in New York?
In our last post, we highlighted the PFAS Actions touted by the New York State Department of Environmental Conservation (DEC)... Read more.
A Decade of PFAS Progress in New York
In its report “A Decade of Progress on PFAS,” the New York Department of Environmental Conservation (DEC) describes how the state has... Read more.
PFAS in Consumer Products: New Year = New Limits on Intentionally Added PFAS
As the new year begins, consumer product manufacturers are facing a fresh wave of PFAS regulations, including new bans, reporting... Read more.
PFAS In 2025: The Wild West Got Even Wilder
Back in January 2025, few in the PFAS world felt confident making bold predictions about what the year would bring.... Read more.
Pace® PFAS News and Views – December 2025
As 2025 draws to a close, new federal and state PFAS rules are reshaping reporting, drinking water standards, and product... Read more.
Perchlorate is Back on the Regulatory Table: Here’s What Drinking Water Professionals Need to Know
If you follow drinking water regulatory news, you already know that a perchlorate Maximum Contaminant Level (MCL) under the Safe Drinking Water Act (SDWA) is back... Read more.
PFAS in Biosolids: The Federal Regulatory Landscape
As the Environmental Compliance & Emerging Contaminants Program Manager at Pace®, I am often asked for my insights on current... Read more.