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Regulating PFAS as a Chemical Class under the California Safer Consumer Products Program
BACKGROUND: Perfluoroalkyl and polyfluoroalkyl substances (PFAS) are a group of manmade chemicals containing at least one fully fluorinated carbon atom. The widespread use, large number, and diverse chemical structures of PFAS pose challenges to any sufficiently protective regulation, emissions redu...
Autores principales: | , , , |
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Formato: | Online Artículo Texto |
Lenguaje: | English |
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Environmental Health Perspectives
2021
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Acceso en línea: | https://www.ncbi.nlm.nih.gov/pmc/articles/PMC7888260/ https://www.ncbi.nlm.nih.gov/pubmed/33595352 http://dx.doi.org/10.1289/EHP7431 |
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author | Bălan, Simona Andreea Mathrani, Vivek Chander Guo, Dennis Fengmao Algazi, André Maurice |
author_facet | Bălan, Simona Andreea Mathrani, Vivek Chander Guo, Dennis Fengmao Algazi, André Maurice |
author_sort | Bălan, Simona Andreea |
collection | PubMed |
description | BACKGROUND: Perfluoroalkyl and polyfluoroalkyl substances (PFAS) are a group of manmade chemicals containing at least one fully fluorinated carbon atom. The widespread use, large number, and diverse chemical structures of PFAS pose challenges to any sufficiently protective regulation, emissions reduction, and remediation at contaminated sites. Regulating only a subset of PFAS has led to their replacement with other members of the class with similar hazards, that is, regrettable substitutions. Regulations that focus solely on perfluoroalkyl acids (PFAAs) are ineffective, given that nearly all other PFAS can generate PFAAs in the environment. OBJECTIVES: In this commentary, we present the rationale adopted by the State of California’s Department of Toxic Substances Control (DTSC) for regulating PFAS as a class in certain consumer products. DISCUSSION: We at the California DTSC propose regulating certain consumer products if they contain any member of the class of PFAS because: a) all PFAS, or their degradation, reaction, or metabolism products, display at least one common hazard trait according to the California Code of Regulations, namely environmental persistence; and b) certain key PFAS that are the degradation, reaction or metabolism products, or impurities of nearly all other PFAS display additional hazard traits, including toxicity; are widespread in the environment, humans, and biota; and will continue to cause adverse impacts for as long as any PFAS continue to be used. Regulating PFAS as a class is thus logical, necessary, and forward-thinking. This technical position may be helpful to other regulatory agencies in comprehensively addressing this large class of chemicals with common hazard traits. https://doi.org/10.1289/EHP7431 |
format | Online Article Text |
id | pubmed-7888260 |
institution | National Center for Biotechnology Information |
language | English |
publishDate | 2021 |
publisher | Environmental Health Perspectives |
record_format | MEDLINE/PubMed |
spelling | pubmed-78882602021-02-17 Regulating PFAS as a Chemical Class under the California Safer Consumer Products Program Bălan, Simona Andreea Mathrani, Vivek Chander Guo, Dennis Fengmao Algazi, André Maurice Environ Health Perspect Commentary BACKGROUND: Perfluoroalkyl and polyfluoroalkyl substances (PFAS) are a group of manmade chemicals containing at least one fully fluorinated carbon atom. The widespread use, large number, and diverse chemical structures of PFAS pose challenges to any sufficiently protective regulation, emissions reduction, and remediation at contaminated sites. Regulating only a subset of PFAS has led to their replacement with other members of the class with similar hazards, that is, regrettable substitutions. Regulations that focus solely on perfluoroalkyl acids (PFAAs) are ineffective, given that nearly all other PFAS can generate PFAAs in the environment. OBJECTIVES: In this commentary, we present the rationale adopted by the State of California’s Department of Toxic Substances Control (DTSC) for regulating PFAS as a class in certain consumer products. DISCUSSION: We at the California DTSC propose regulating certain consumer products if they contain any member of the class of PFAS because: a) all PFAS, or their degradation, reaction, or metabolism products, display at least one common hazard trait according to the California Code of Regulations, namely environmental persistence; and b) certain key PFAS that are the degradation, reaction or metabolism products, or impurities of nearly all other PFAS display additional hazard traits, including toxicity; are widespread in the environment, humans, and biota; and will continue to cause adverse impacts for as long as any PFAS continue to be used. Regulating PFAS as a class is thus logical, necessary, and forward-thinking. This technical position may be helpful to other regulatory agencies in comprehensively addressing this large class of chemicals with common hazard traits. https://doi.org/10.1289/EHP7431 Environmental Health Perspectives 2021-02-17 /pmc/articles/PMC7888260/ /pubmed/33595352 http://dx.doi.org/10.1289/EHP7431 Text en https://ehp.niehs.nih.gov/about-ehp/license EHP is an open-access journal published with support from the National Institute of Environmental Health Sciences, National Institutes of Health. All content is public domain unless otherwise noted. |
spellingShingle | Commentary Bălan, Simona Andreea Mathrani, Vivek Chander Guo, Dennis Fengmao Algazi, André Maurice Regulating PFAS as a Chemical Class under the California Safer Consumer Products Program |
title | Regulating PFAS as a Chemical Class under the California Safer Consumer Products Program |
title_full | Regulating PFAS as a Chemical Class under the California Safer Consumer Products Program |
title_fullStr | Regulating PFAS as a Chemical Class under the California Safer Consumer Products Program |
title_full_unstemmed | Regulating PFAS as a Chemical Class under the California Safer Consumer Products Program |
title_short | Regulating PFAS as a Chemical Class under the California Safer Consumer Products Program |
title_sort | regulating pfas as a chemical class under the california safer consumer products program |
topic | Commentary |
url | https://www.ncbi.nlm.nih.gov/pmc/articles/PMC7888260/ https://www.ncbi.nlm.nih.gov/pubmed/33595352 http://dx.doi.org/10.1289/EHP7431 |
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