The Latest on PFAS, CERCLA, and Passive Receivers
On September 17, EPA issued a press release that included, among other things, an update on the liability issues regarding passive receivers.... Read more.
9 PFAS-Related Items on the OMB’s Unified Agenda
As the Pace® Program Manager for Environmental Compliance, I am often asked what PFAS regulatory actions our clients can expect... Read more.
State PFAS Legislation: Here’s the Score at Halftime
Earlier this year, I did an analysis of the PFAS-related bills proposed at the state level in 2025. I wanted to see... Read more.
Our Take on the U.S. EPA’s PFAS Priorities
In recent weeks, the U.S. EPA’s announcement outlining the agency’s priorities has dominated the PFAS news. In this post, we share our... Read more.
States Propose 191 PFAS-Related Bills in First Four Months of 2025
During the first few months of the new U.S. EPA administration, PFAS actions slowed down while current plans and programs... Read more.
The View from the Lab: Proposed Changes to PFAS Limits in Drinking Water
If your role has anything at all to do with drinking water, you are no doubt aware that the U.S. EPA... Read more.
State Drill Down – PFAS in Drinking Water
In Q1 of 2025, several states proposed PFAS limits in drinking water to preempt any attempts by the current administration... Read more.
Testing Plant and Animal Tissue for PFAS
Pace® has been testing biota (plant and animal tissue) for various pollutants for years. Recently, we’ve seen an increasing number... Read more.
PFAS MCL Webinar Q&A
After several months of initial monitoring for PFAS under the National Primary Drinking Water Regulations (NPDWR), water systems across the... Read more.
PFAS and CERCLA Q&A: Does a Release Always Lead to a Superfund Designation?
In October, Pace® conducted a webinar on the final rule designating PFAS as Hazardous Substances under the Comprehensive Environmental Response,... Read more.