Draft Method 1633 is not the Only Option for Analyzing PFAS in Non-Potable Water and Solids
December 2023 Many of our recent discussions around PFAS testing options involve Draft Method 1633. The most recent version, Draft […]
December 2023 Many of our recent discussions around PFAS testing options involve Draft Method 1633. The most recent version, Draft […]
The fourth quarter is often a busy time of year for regulators as they work to make
We’ve rounded the halfway point in 2023 and are well into the third quarter of the year. Regulatorily speaking, summer
Sherri Lloyd, Product Marketing Manager at Pace®, spoke with Mariah Peronto, Air Program Manager for Pace®, to discuss the Air
2023 has been a busy year for the Pace® emerging contaminants team and the customers we serve. In this special
Whenever The United States Environmental Protection Agency (EPA) comes out with a new PFAS regulatory proposal, we inevitably get a
In November 2023, significant revisions to the United States Pharmacopeia (USP) General Chapter <797> will go into effect, bringing critical
The USEPA’s 2021-2024 PFAS Strategic Roadmap calls for a number of actions related to PFAS in biosolids. In this post,
The world generates about 400 million tons of hazardous waste annually. Regulations require facilities producing this waste to know its
On Tuesday, March 14, 2023, USEPA proposed the first-ever National Primary Drinking Water Regulations (NPDWR) for PFAS. In this edition