Finalizing PFAS Detection Methods, EPA Moves Closer to Locating and Limiting Further PFAS Releases and Requiring Their Cleanup

February 9, 2024

Read the full article by Paul T. Nyffeler, Gregory R. Wall, Matthew Z. Leopold, Javaneh S. Tarter, and Nancy B. Beck (The National Law Review)

"EPA’s plans to investigate – and eventually establish limits on and liability for – PFAS in wastewater discharges and biosolids crossed a significant milestone on January 31, 2024, with the completion of two new analytical methods to detect these ubiquitous contaminants. The most significant of the two is Method 1633, which provides a standardized quantitative method for laboratories to detect 40 different PFAS compounds, at very low levels, in wastewater, surface water, groundwater, soil, biosolids, sediment, landfill leachate, and fish tissue. Method 1621 is a low-cost screening method for the presence of fluorine-containing organic compounds, which could lead to use of the more sensitive Method 1633 to further characterize any PFAS in the sample. EPA’s public statements provide no timeline for seeking approval of these methods for PFAS monitoring of wastewater discharges as part of 40 C.F.R. Part 136, but a Method Update Rule is likely to be proposed before the end of the year.

EPA has big plans for the PFAS data that these two new methods will generate.

  • The ability to assess diverse matrices will facilitate the identification of industrial PFAS sources in POTW influent, the assessment of PFAS impacts to aquatic life, and tracing of PFAS in effluent, biosolids, and stormwater.
  • Correlating PFAS discharges with the expansive set of information EPA will be collecting on the importation and manufacturing of PFAS-containing chemicals and products under the PFAS Reporting Rule will help federal and state agencies pinpoint where PFAS might have entered waste streams.
  • EPA plans to begin developing technology-based effluent limits for Clean Water Act discharge permits to restrict further PFAS releases into the environment. In 2021, EPA’s PFAS Strategic Roadmap disclosed plans to leverage certain NPDES permits that are issued by EPA to reduce PFAS discharges, beginning with PFAS monitoring requirements using Method 1633. EPA Region 1 subsequently promulgated a general permit for medium-sized wastewater treatment plants in Massachusetts, effective April 1, 2023, that required monitoring and reporting for PFAS using the draft version of Method 1633. EPA encouraged states to adopt similar monitoring in their own NPDES permits. New York is taking public comments through March 11 on draft guidance to modify SPDES permits under active review “to include a monitoring program for the 40 PFAS compound suite available through EPA’s draft Method 1633….”
  • Should EPA succeed in finalizing its designation of PFOA, PFOS, and other PFAS as “hazardous substances” under CERCLA, their detection in effluent (without appropriate Clean Water Act “permit shield” protections accompanying an applicable federal or state permit) could subject dischargers to EPA requiring PFAS cleanup, private parties pursuing CERCLA claims, and federal, state, and tribal governments seeking natural resource damages."

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