Disposable wipes include wipes made for baby care, hand washing, personal cleansing, makeup removal, and household cleaning. Many types of disposable wipes are federally regulated for quality and content, including wipes intended to control germs on inanimate surfaces and wipes containing insecticides, which are regulated by the United States Environmental Protection Agency (EPA) under the Federal Insecticide, Fungicide, and Rodenticide Act (FIFRA). The Washington State Department of Agriculture (WSDA) administers FIFRA as well as the state Pesticide Control Act and the state Pesticide Application Act. Its activities include adopting rules requiring the registration and restricted use of pesticides, and labeling requirements applicable to pesticides.
Under legislation enacted in 2020 the packaging for nonwoven, nonflushable disposable wipes must be labeled clearly and conspicuously with a Do Not Flush label that:
The Do Not Flush labeling requirements took effect for most nonflushable, nonwoven disposable wipes on July 1, 2022. For nonflushable, nonwoven disposable wipes required to be registered by the EPA under FIFRA, Do Not Flush labeling requirements take effect July 1, 2023. Manufacturers are responsible for compliance with labeling requirements unless a wholesaler, supplier, or retailer has contractually undertaken responsibility to the manufacturer for Do Not Flush labeling requirements.
Beginning January 1, 2023, no package or box containing nonwoven, nonflushable disposable wipes subject to Do Not Flush labeling requirements that were manufactured on or before January 1, 2022, may be offered for distribution or sale.
Cities and counties have concurrent and exclusive authority to enforce the Do Not Flush labeling requirements and collect civil penalties for a violation of the requirements. The Do Not Flush labeling requirements for covered products preempt all existing or future labeling laws enacted by a county, city, town, or other political subdivision of Washington.
The Do Not Flush labeling requirements that apply broadly to nonwoven, nonflushable disposable wipes are amended, including:
The 2023 effective date of Do Not Flush labeling requirements applicable to nonwoven, nonflushable disposable wipes required to be registered by the United States Environmental Protection Agency (EPA) under the Federal Insecticide, Fungicide, and Rodenticide Act (FIFRA) is eliminated. Instead, manufacturers responsible for FIFRA-regulated wipes or wipes subject to Washington State Department of Agriculture (WSDA) pesticide registration requirements must:
Nonwoven, nonflushable disposable wipes that are newly introduced into commerce in Washington after July 1, 2023, must begin complying with Do Not Flush labeling requirements by July 1, 2025.
If either the EPA or the WSDA do not approve a product label that complies with all of the Do Not Flush labeling requirements, the manufacturer must use a label that meets as many of the Do Not Flush labeling requirements as the EPA and the WSDA have approved. A manufacturer may include words or products in addition to those specified in Do Not Flush labeling requirements if necessary to obtain the WSDA or the EPA approval for the label. A manufacturer of product in commerce in Washington prior to 2023 that has not received the WSDA approval 24 months after the EPA has approved a label remains in compliance with Do Not Flush requirements if the manufacturer provides evidence, upon request, of the timely submission of the label to the WSDA.
A severability clause is included.
(In support) Manufacturers of wipes that are regulated pesticide products must receive multiple layers of government review. Backlogs in receiving federal labeling approval make compliance with state Do Not Flush labeling requirements challenging. The deadlines being proposed for wipe products that are regulated pesticides are more aggressive than those in other states that have adopted similar laws on wipe products. An amendment to address new products introduced after 2023 would help fill a gap in the current bill.
(Opposed) This bill is too generous in the amount of time it provides to industries to come into compliance with labeling requirements. There is a federal bill being considered on this topic, and it is important that state legislation not set a bad precedent for any federal laws that get passed.
(Other) This issue is too urgent for sewer system operators to wait until 2026 to resolve, and the compliance deadline should be sped up.