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, […]
In October, Pace® conducted a webinar on the final rule designating PFAS as Hazardous Substances under the Comprehensive Environmental Response, […]
Pace® has been conducting sampling of environmental matrices for PFAS testing since 2013. Today, we employ more than 40 field
With only a couple of months left in the year, time is winding down for the U.S. EPA’s 2021-2024 PFAS
As the year winds down, there’s still plenty of PFAS regulatory action happening, both in the U.S. and abroad. In
Late summer is often a slow time for regulatory agencies and state legislatures. State legislatures often take a
The U.S. EPA may be reaching the end of its four-year PFAS Strategic Roadmap, but there are still a few
Environmental consultants who conduct ESAs (environmental site assessments) are likely to see PFAS start playing a much larger role in
The U.S. EPA recently proposed an Information Collection Rule (ICR) focused on PFAS in wastewater influent, effluent, and biosolids. This
To better understand how PFAS passes from industry through Publicly Owned Treatment Works (POTWs), the EPA recently proposed an Information
Issuing federally enforceable limits for PFAS in drinking water was a key action outlined in the U.S. EPA’s 2021-2024 PFAS