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Latest: May 18, 2026
PFAS TSCA
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Latest: Jun 2, 2026
TSCA
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Latest: Sep 21, 2026
Stockholm POPs (2025)
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Latest: May 8, 2026
California Proposition 65 – 2026 Regulatory Update
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Latest: May 22, 2026
Minamata Convention on Mercury
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Latest: Jun 15, 2026
PFAS Minnesota
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Latest: Jun 10, 2026
PROP65
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Latest: May 21, 2026
PFAS Illinois
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Latest: Feb 25, 2026
PFAS California
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Latest: Jun 11, 2026
PFAS Rhode Island
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Latest: Mar 1, 2026
PFAS New York
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Latest: Feb 4, 2026
Stockholm Convention
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Latest: Oct 7, 2025
PFAS Maine
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Latest: Sep 30, 2025
PFAS PROP65
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Latest: Jan 1, 2027
PFAS Massachusetts
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Latest: Mar 23, 2026
PFAS Mexico
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Latest: Jun 16, 2026
PFAS New Jersey
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Latest: Feb 1, 2025
PFAS Nevada
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Latest: Jan 7, 2026
PFAS Kentucky
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Latest: Feb 21, 2025
PFAS Hawaii
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Latest: Feb 4, 2016
Persistent Organic Pollutants (POPs)
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Latest: Jan 1, 2026
PFAS New Zealand
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Most recent regulatory announcements across all frameworks
Massachusetts enacts firefighter gear PFAS ban with 2027 sales prohibition
Governor Maura Healey signed legislation requiring the removal of PFAS from firefighter protective gear. The law bans the sale of bunker gear containing intentionally added PFAS effective January 2027, and requires warning labels on firefighting gear beginning in 2025 to inform firefighters about PFAS content. Massachusetts becomes one of only two states with such comprehensive PFAS protection for firefighters, addressing a significant occupational health concern for fire services personnel.
POPRC-22 scheduled for 21–25 September 2026 in Rome; revised draft risk profile for PBDD/Fs and mixed PBDD/PCDD/Fs to be considered
The Stockholm Convention Secretariat meeting page indicates that POPRC-22 is scheduled in Rome, Italy (21–25 September 2026) and will consider a revised draft risk profile for polybrominated dibenzo-p-dioxins and dibenzofurans (PBDD/Fs) and mixed polybrominated/chlorinated dibenzo-p-dioxins and dibenzofurans (mixed PBDD/PCDD/Fs). The page also notes POPRC-21 deferred its decision and invited additional Annex E information. For compliance monitoring, this is a process signal that these substances remain under active evaluation and could lead to future listing recommendations to the COP.
Stockholm Convention POPRC-22 meeting details published (21–25 September 2026, Rome) including revised draft risk profile item for PBDD/Fs and mixed PBDD/PCDD/Fs
The Stockholm Convention Secretariat published the official schedule and key agenda focus for the 22nd meeting of the Persistent Organic Pollutants Review Committee (POPRC-22), to be held 21–25 September 2026 in Rome, Italy (FAO HQ). The posted overview highlights that POPRC will consider the revised draft risk profile for polybrominated dibenzo-p-dioxins and dibenzofurans (PBDD/Fs) and mixed polybrominated/chlorinated dibenzo-p-dioxins and dibenzofurans, including requests for additional Annex E information. This is relevant to regulatory horizon-scanning because POPRC outcomes can advance candidate chemicals through the Article 8 process toward possible future listing decisions by the COP.
NJDEP formally adopts site remediation standards for PFNA, PFOA, PFOS, and GenX
NJDEP has formally adopted site remediation standards for four PFAS compounds: PFNA, PFOA, PFOS, and GenX (HFPO-DA). These standards establish cleanup requirements for contaminated sites under New Jersey's site remediation program. The adoption creates binding compliance obligations for responsible parties conducting remediation of PFAS-contaminated properties in New Jersey, supplementing existing groundwater and drinking water standards with specific cleanup criteria.
Minnesota Excludes Pre-July 2023 Products from PFAS Reporting
Minnesota Pollution Control Agency guidance states that products manufactured before July 1, 2023 are excluded from PFAS Minnesota reporting. Initial reports are due September 15, 2026. This changes reporting scope by manufacturing date and should be reviewed separately from any reporting-deadline update.
Commission outlines timeline for PFAS restriction after ECHA assessment
The European Commission has outlined the next steps for the universal PFAS restriction. Once ECHA delivers its final scientific assessment by the end of 2026, the Commission will present a restriction proposal aimed at minimising PFAS emissions. The Commission will also consider a ban on PFAS in consumer goods. For industrial applications, continued use may be permitted for critical uses where adequate alternatives are not yet available, but only under strict conditions and time-limited derogations.
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