The Florida Senate
                  BILL ANALYSIS AND FISCAL IMPACT STATEMENT
              (This document is based on the provisions contained in the legislation as of the latest date listed below.)
                        Prepared By: The Professional Staff of the Committee on Appropriations
BILL:           CS/SB 7012
INTRODUCER:     Appropriations Committee (Recommended by Appropriations Subcommittee on
                Agriculture, Environment, and General Government); and Environment and Natural
                Resources Committee
SUBJECT:        Per- and Polyfluoroalkyl Substances Task Force
DATE:           March 1, 2022                   REVISED:
           ANALYST                    STAFF DIRECTOR                 REFERENCE                                 ACTION
   Anderson/Collazo                 Rogers                                                EN Submitted as Committee Bill
1. Reagan                           Betta                                AEG              Recommend: Fav/CS
2. Reagan                           Sadberry                              AP              Fav/CS
                     Please see Section IX. for Additional Information:
                                   COMMITTEE SUBSTITUTE - Substantial Changes
  I.    Summary:
        CS/SB 7012 does the following:
         Requires the Department of Environmental Protection (DEP) to adopt by rule statewide
           cleanup target levels (CTLs) for perfluoroalkyl and polyfluoroalkyl substances (PFAS) in
           soils and groundwater, which do not take effect until ratified by the Legislature;
         Provides a limitation of liability, until DEP’s rules have been ratified for a particular PFAS
           constituent, from actions brought by local or state government entities to compel or enjoin
           site rehabilitation, require payment of site rehabilitation costs, or require payment of fines or
           penalties regarding rehabilitation based on the presence of that particular PFAS constituent;
         Tolls any statute of limitations that would bar a state or local government entity from
           pursuing relief under its existing authority, from the effective date of the act until site
           rehabilitation is complete or the Legislature ratifies the CTLs;
         Requires the Office of Program Policy Analysis and Government Accountability to conduct
           an analysis of programs in other states for the assessment and cleanup of soils and
           groundwater contamination, and submit a report of its findings and recommendations to the
           Governor and Legislature by January 1, 2023; and
        Requires the DEP to adopt by rule cleanup target levels for PFAS in soils and groundwater
        which may result in increased costs for the DEP.
BILL:     CS/SB 7012                                                                                                 Page 2
    II.    Present Situation:
           Cleanup Target Levels
           A cleanup target level (CTL) is the concentration for each contaminant identified by an
           applicable analytical test method, in the medium of concern, at which a site rehabilitation
           program is deemed complete.1 The Department of Environmental Protection (DEP) establishes
           by rule CTLs for specific contaminants.2 These CTLs apply to requirements for site
           rehabilitation across numerous programs.
           Risk-Based Corrective Action
           Risk-Based Corrective Action (RBCA) is a decision-making process that combines site
           assessments and responses to chemical releases with human health and environmental risk
           assessments to determine the need for remedial action and tailor corrective actions to site-
           specific conditions and risks, which can vary greatly.3
           In Florida, prior to 2003, RBCA was only used under specific DEP programs such as the
           brownfields or petroleum programs, and contamination at a site was typically remediated to the
           default CTLs contained in ch. 62-777 of the Florida Administrative Code.4 This meant there was
           little flexibility for site-specific remediation strategies.5
           In 2003, the Legislature created s. 376.30701, F.S., to establish a “global RBCA” process.6 The
           original goal was a flexible site-specific cleanup process reflecting the intended use of the
           property following cleanup, while maintaining adequate protection of human health, safety, and
           the environment through the evaluation of contamination toxicity and exposure pathways.7
           Section 376.30701, F.S., applies to all contaminated sites resulting from a discharge of pollutants
           or hazardous substances where legal responsibility for site rehabilitation exists, except for those
           contaminated sites subjected to the risk-based corrective action cleanup criteria established for
           the petroleum, brownfields, and drycleaning programs pursuant to ss. 376.3071, 376.81, and
           376.3078, F.S., respectively.8
           The statute requires the DEP to establish by rule criteria for determining on a site-specific basis
           the tasks comprising a site rehabilitation program and the level at which a task and a program
1
  Section 376.301(8), F.S.
2
  See generally Fla. Admin. Code Ch. 62-777.
3
  Dep’t of Environmental Protection (DEP), Contaminated Soils Forum -- Policy Group, Waste Cleanup Focus Group, Issues
paper-- “Universal” Applicability of Risk-Based Correction Action at Florida Waste Cleanup Sites, 2 (1998), available at
https://floridadep.gov/sites/default/files/Universal-applicability-of-risk-based-corrective-action.pdf (last visited Jan. 18,
2022).
4
  Ralph DeMeo et al., Risk-Based Corrective Action in Florida: How is it Working?, 89 FLORIDA BAR JOURNAL 1, 47 (Jan.
2015), https://www.floridabar.org/the-florida-bar-journal/risk-based-corrective-action-in-florida-how-is-it-working/ (last
visited Jan. 18, 2022).
5
  Id.
6
  See ch. 2003-173, s. 1, Laws of Fla.
7
  Ralph DeMeo et al., Risk-Based Corrective Action in Florida: How is it Working?, 89 FLORIDA BAR JOURNAL 1, 47 (Jan.
2015), https://www.floridabar.org/the-florida-bar-journal/risk-based-corrective-action-in-florida-how-is-it-working/ (last
visited Jan. 18, 2022).
8
  Section 376.30701(1)(b), F.S.
BILL:   CS/SB 7012                                                                                                Page 3
         may be deemed completed.9 Section 376.30701, F.S., contains requirements for determining or
         establishing appropriate CTLs for groundwater and soil using RBCA principles.10
         Perfluoroalkyl and Polyfluoroalkyl Substances (PFAS)
         Perfluoroalkyl and Polyfluoroalkyl Substances (PFAS) are a group of thousands of man-made
         compounds developed to provide oil and water repellency, chemical and thermal stability, and
         friction reduction.11 Perfluorooctane sulfonic acid (PFOS) and perfluorooctanoic acid (PFOA)
         are the most common and the best-studied of these compounds.12 PFAS were widely used since
         the 1950s, with applications in many industries, including the aerospace, semiconductor,
         medical, automotive, construction, electronics, and aviation industries, as well as in consumer
         products (e.g., carpets, clothing, furniture, outdoor equipment, food packaging) and firefighting
         applications.13 While U.S. manufacturers have voluntarily phased out use of the chemicals,14
         they persist in the environment, particularly at fire colleges, airports, and military installations.15
         Although PFOA and PFOS are no longer manufactured in the U.S., they are still produced
         internationally and can be imported into the U.S. in consumer goods such as carpet, leather and
         apparel, textiles, paper and packaging, coatings, rubber, and plastics.16
         PFAS chemicals do not break down in the environment, can move through soil and water, and
         can accumulate in fish and wildlife.17 Because of the widespread use and ease of transport, they
         can be found virtually everywhere. The Centers for Disease Control and Prevention has detected
         PFAS in nearly all persons it has tested, indicating widespread exposure in the U.S. population.18
         Based on recent studies, health effects from PFAS potentially include increased risk of certain
         cancers, increased cholesterol levels, impacts on hormones and the immune system, and fetal and
         infant developmental effects.19
9
  Section 376.30701(2), F.S.
10
   Id.
11
   Interstate Technology Regulatory Council (ITRC), History and Use of PFAS, 1 (2020), available at https://pfas-
1.itrcweb.org/wp-content/uploads/2020/10/history_and_use_508_2020Aug_Final.pdf (last visited Jan. 18, 2022).
12
   Dep’t of Health (DOH), PFAS Chemical Awareness, http://www.floridahealth.gov/environmental-health/hazardous-waste-
sites/contaminant-facts/_documents/doh-pfas-poster.pdf (last visited Jan. 18, 2022).
13
   ITRC, History and Use of PFAS, 1, 8 (2020), available at https://pfas-1.itrcweb.org/wp-content/uploads/2020/10/
history_and_use_508_2020Aug_Final.pdf (last visited Jan. 18, 2022).
14
   DEP, PFAS Update, Presentation to the Florida Senate Committee on Environment and Natural Resources, 18:00 (Dec. 9,
2019), available at https://thefloridachannel.org/videos/12-9-19-senate-committee-on-environment-and-natural-resources/
(last visited Jan. 18, 2022). In the U.S., PFOS was phased out of production around 2002, and PFOA was phased out around
2015.
15
   U.S. Environmental Protection Agency (EPA), PFAS Explained, https://www.epa.gov/pfas/pfas-explained (last visited Jan.
18, 2022); EPA, Our Current Understanding of the Human Health and Environmental Risks of PFAS,
https://www.epa.gov/pfas/our-current-understanding-human-health-and-environmental-risks-pfas (last visited Jan. 18, 2022).
16
   Id.; see also DEP, PFAS Update, Presentation to the Florida Senate Committee on Environment and Natural Resources,
18:00 (Dec. 9, 2019), available at https://thefloridachannel.org/videos/12-9-19-senate-committee-on-environment-and-
natural-resources/ (last visited Jan. 18, 2022).
17
   Centers for Disease Control and Prevention, Per- and Polyfluorinated Substances (PFAS) Factsheet, https://www.cdc.
gov/biomonitoring/PFAS_FactSheet.html (last visited Jan. 18, 2022).
18
   Id.
19
   DOH, PFAS Chemical Awareness, 2, http://www.floridahealth.gov/environmental-health/hazardous-waste-
sites/contaminant-facts/_documents/doh-pfas-poster.pdf (last visited Jan. 18, 2022).
BILL:   CS/SB 7012                                                                                               Page 4
         While the health effects from low-level concentrations of PFAS are not yet fully understood,
         litigation and public interest is increasing nation-wide.20 In Florida, generally, issues exist
         regarding liability for cleanup and third-party liability.21
         The U.S. Environmental Protection Agency (EPA) prioritizes research and data collection for
         new chemicals that are being discovered in water that previously had not been detected or are
         being detected at levels that may be different than expected.22 These are called “contaminants of
         emerging concern” (CEC). While CECs do not have regulatory limits, there may be a long-term
         potential risk to human health or the environment associated with them. As part of the EPA’s
         data collection on CECs, all large and selected smaller public water systems across the U.S. are
         required to monitor for CECs.23 Once the EPA’s study and evaluation is complete, if the EPA
         decides not to regulate a CEC, then it may decide to develop a health advisory level (HAL) for
         the detected contaminants. While HALs are non-enforceable federal limits, they serve as
         technical guidance for federal, state, and local officials.24 For drinking water, the EPA has
         established a HAL of 70 parts per trillion for PFOA and PFOS.25 The Department of Health
         (DOH) has adopted the same HAL for those compounds.26
         The DEP has established provisional CTLs for PFAS to enable site cleanup under the DEP’s
         contaminated site cleanup criteria.27 The DEP has created numerical provisional CTLs and
         screening levels for PFOS and PFOA in the following categories: Provisional Groundwater
         CTLs, Provisional Soil CTLs, Provisional Irrigation Water Screening Levels, and Surface Water
         Screening Levels.28 These provisional standards are designed to protect human health, and the
         provisional groundwater CTLs are the same as the EPA’s HAL for drinking water.
         PFAS is common in firefighting foams that have been stored and used for fire suppression, fire
         training, and flammable vapor suppression.29 These firefighting agents include Class B fluorine-
         containing firefighting foams, such as aqueous film-forming foam (AFFF).30 PFAS are so
         prevalent in firefighting agents that at least nine states have passed legislation to restrict or
20
   Ralph A. DeMeo & Jorge Caspary, PFApocalypse Now: The PFAS Firestorm and Implications for Florida, 94 FLORIDA
BAR JOURNAL 3, 46 (May/June 2020), https://www.floridabar.org/the-florida-bar-journal/pfapocalypse-now-the-pfas-
firestorm-and-implications-for-florida/#u7068 (last visited Jan. 18, 2022).
21
   Id.
22
   DEP, Regulated Drinking Water Contaminants and Contaminants of Emerging Concern, https://floridadep.gov/
comm/press-office/content/regulated-drinking-water-contaminants-and-contaminants-emerging-concern (last visited Jan. 18,
2022).
23
   Id.
24
   EPA, How EPA Regulates Drinking Water Contaminants, https://www.epa.gov/dwregdev/how-epa-regulates-drinking-
water-contaminants (last visited Jan. 18, 2022).
25
   EPA, Drinking Water Health Advisories for PFOA and PFOS, https://www.epa.gov/ground-water-and-drinking-
water/drinking-water-health-advisories-pfoa-and-pfos (last visited Jan. 18, 2022).
26
   DOH, Maximum Contaminant Levels and Health Advisory Levels, 5 (2016) available at http://www.floridahealth.gov/
environmental-health/drinking-water/_documents/hal-list.pdf (last visited Jan. 18, 2022).
27
   DEP, PFAS Update, Presentation to the Florida Senate Committee on Environment and Natural Resources, 25:00 (Dec. 9,
2019), available at https://thefloridachannel.org/videos/12-9-19-senate-committee-on-environment-and-natural-resources/
(last visited Jan. 18, 2022); see Fla. Admin. Code Ch. 62-780.
28
   DEP, Per-and Polyfluoroalkyl Substances (PFAS) Dynamic Plan, 9-10 (Feb. 2021), available at https://floridadep.gov/
sites/default/files/Dynamic_Plan_Revised_Feb2021.pdf (last visited Jan. 18, 2022).
29
   ITRC, PFAS, https://pfas-1.itrcweb.org/3-firefighting-foams/ (last visited Jan. 18, 2022).
30
   Id.
BILL:   CS/SB 7012                                                                                                Page 5
         prohibit the use of PFAS in firefighting agents or activities.31 In Florida, the DEP has already
         assessed each fire training facility in the state to ensure that PFAS-containing firefighting agents
         are disposed of and that only firefighting agents that do not have PFAS are being used. 32 Of the
         25 active facilities in the state with known or suspected use of AFFF, investigations indicate that
         22 of the 25 had analytical results for PFOA and PFOS above the provisional groundwater
         CTL.33 Where contamination is identified, the DEP will help the facility develop a cleanup plan
         to remove or contain the contamination to prevent future environmental impact and human
         exposure.34
         In February of 2021, the DEP published the current version of its PFAS Dynamic Plan.35 The
         Dynamic Plan establishes a comprehensive path forward with the understanding that it may be
         necessary to change the approach as the science associated with these emerging contaminants
         continues to develop.36 The plan describes the current screening and provisional CTLs, and
         summarizes data and lessons learned from prior and ongoing investigations. The plan states that
         future investigations will be based on potential risk and will include a continued coordinated
         response with the DOH to quickly evaluate and address any impacts to drinking water
         resources.37
III.     Effect of Proposed Changes:
         Section 1 creates s. 376.91, F.S., entitled “Statewide cleanup of perfluoroalkyl and
         polyfluoroalkyl substances.”
         The bill contains a definitions section, defining two terms as they are used in s. 376.91, F.S.:
          “Department” is defined as “the Department of Environmental Protection.”
          “PFAS” is defined as “perfluoroalkyl and polyfluoroalkyl substances, including
            perfluorooctanoic acid (PFOA) and perfluorooctane sulfonate (PFOS).”
         The bill requires the DEP to adopt by rule statewide cleanup target levels for PFAS in soils and
         groundwater. These cleanup target levels must be developed using the criteria set forth in
         s. 376.30701, F.S., which establishes a process for risk-based corrective action, and priority must
         be given to PFOA and PFOS. The bill prohibits these cleanup target levels from taking effect
         until ratified by the Legislature.
31
   National Law Review, Expert Focus: US States Outpace EPA on PFAS Firefighting Foam Laws,
https://www.natlawreview.com/article/expert-focus-us-states-outpace-epa-pfas-firefighting-foam-laws (last visited Jan. 18,
2022); The New York State Senate, Senate Bill S439A, https://www.nysenate.gov/legislation/bills/2019/S439 (last visited
Jan. 18, 2022).
32
   DEP, PFAS Update, Presentation to the Florida Senate Committee on Environment and Natural Resources, 36:00 (Dec. 9,
2019), available at https://thefloridachannel.org/videos/12-9-19-senate-committee-on-environment-and-natural-resources/
(last visited Jan. 18, 2022).
33
   DEP, Per-and Polyfluoroalkyl Substances (PFAS) Dynamic Plan, 12 (Feb. 2021), available at https://floridadep.gov/
sites/default/files/Dynamic_Plan_Revised_Feb2021.pdf (last visited J