Home\Advocacy\U.S. EPA Takes Action on Per- and Polyfluoroalkyl Substances (PFAS)  

U.S. EPA Takes Action on Per- and Polyfluoroalkyl Substances (PFAS)  

Date: May 22, 2026

This spring, the U.S. Environmental Protection Agency committed to prioritizing funding and research around the items listed in the Draft 6th Contaminants Candidate List – including PFAS, microplastics, and pharmaceuticals. Around this time, the Administration also announced the PFAS OUTreach (PFAS OUT) initiative to support communities’ efforts to mitigate exposures and remove PFAS from drinking water sources.  

Last week, EPA published two proposed rules for public comment. The first would maintain current Maximum Contaminant Levels (MCLs) for PFOA and PFOS but allow water systems to request 2 extra years (to 2031) to comply via an opt-in program. Should water systems not opt-in, then they will be required to meet enforcement levels by 2029, as originally outlined in the April 2024 PFAS National Primary Drinking Water Regulations (NPDWR). The Biden Administration’s final drinking water regulation included enforceable limits for PFOA, PFOS, PFNA, PFHxS, Genx, as well as PFAS mixtures of PFNA, PFHxS, HFPO-DA, and PFBS, which EPA regulated as a group under a single Hazard Index. The second proposed rule that EPA published last week rescinds the proposed limits for the additional PFAS and requests public comment on whether PFNA, PFHxS, HFPO-DA, and PFBS need to be regulated as individual constituents.  

To read and comment on the Proposed Rule to extend the compliance timeline for the PFOS and PFOA MCLs, click here. Comments are due by July 20, 2026. 

To read and comment on the Proposed Rule to rescind drinking water regulations for PFNA, PFHxS, Genx, as well as PFAS mixtures of PFNA, PFHxS, HFPO-DA, and PFBS, click here. Comments on the second rule are also due July 20, 2026.  

In April, the administration also announced that the PFAS Destruction and Disposal Guide will be released annually to keep up with the rapid innovation in the field. At an EPA event last week, officials highlighted the need for source control of PFAS and support to water systems that have been forced to deal with a burden of PFAS clean up. They also reemphasized their commitment to advancing PFAS related research to better understand exposure, toxicity, and human health implications, and will be opening public comment on industrial pretreatment standards to address PFAS discharges by manufacturers in the coming months. There was also mention of finding a congressional-level solution to the passive receivers challenge to ensure that the polluter pays, not the utilities and taxpayers.  

Finally, the administration also announced $1 billion in funding available for Emerging Contaminants in Small or Disadvantaged Communities Grants. Approximately $5 billion has been made available in the past 5 years of the program. This, alongside WIFIA funding and SRF funding, are strong mechanisms for financing PFAS removal technologies for water systems.  

Read more here.

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