Wendy Brown (786-7359)
Biosolids. Biosolids are nutrient-rich organic materials resulting from processing domestic sewage in a treatment facility. When treated and processed, these residuals can be recycled and applied as fertilizer to improve and maintain productive soils and stimulate plant growth.
Under federal law, there are different rules for different classes of biosolids. While both classes are treated, class A biosolids contain no detectable levels of pathogens, but class B biosolids may. When used in bulk, class A biosolids are subject to buffer requirements, but not to crop-harvesting restrictions. In general, class B biosolids are subject to buffer requirements, public access, and crop harvesting restrictions.
In Washington, the Department of Ecology (Ecology) implements a Biosolid Management Program (program). Rules for the program address how and when biosolids can be applied to land as a fertilizer. These rules also include total pollution concentration limits, pathogen reduction rates, and vector attraction reduction requirements.
Perfluoroalkyl and Polyfluoroalkyl Chemicals. Perfluoroalkyl and Polyfluoroalkyl (PFAS) chemicals are characterized by their resistance to oil, stains, grease, and water, in addition to their durability, heat resistance, and anti-corrosive properties. Ecology has identified PFAS chemicals as persistent, bioaccumulative, and toxic. They are added to carpets, cookware, food packaging, clothing, cosmetics, and other common consumer products. They have many industrial applications and are used to make certain types of firefighting foams. Washington State has enacted laws and adopted regulations relating to PFAS levels in drinking water, firefighting foam and equipment, food packaging, and many consumer products.
In 2021, the U.S. Environmental Protection Agency (EPA) announced its PFAS Strategic Roadmap, laying out the agency's approach to addressing PFAS chemicals. The roadmap sets timelines by which EPA plans to take specific actions and commits to new policies to safeguard public health, protect the environment, and hold polluters accountable. As part of the roadmap work, EPA is conducting a biosolids risk assessment for two PFAS compounds, perfluorooctanoic acid (PFOA) and perfluorooctane sulfonic acid (PFOS), in biosolids. EPA plans to complete the risk assessment for PFOA and PFOS by December 2024.
By July 1, 2027, Ecology must establish PFAS chemicals sampling or testing requirements for biosolids regulated under the program. By July 1, 2028, Ecology must complete an analysis of PFAS chemicals levels in biosolids produced in Washington.
By December 1, 2028, Ecology must report to the Legislature and the public with a summary of the analysis and recommendations on how to proceed based on the analysis.
For the purposes of Ecology establishing PFAS chemicals sampling or testing requirements and reporting recommendations:
Legislative intent language in the program is amended. Sampling or testing is added to this list of activities for which Ecology may recover incurred costs through fees.
The committee recommended a different version of the bill than what was heard. PRO: This is a reasonable first step to address PFAS chemicals both for sewage coming into wastewater treatment plants and for biosolids produced during the treatment process. We cannot address the PFAS problem until we study it, but this should be a technical memo rather than a full report, which will slow the process down. Biosolids have many beneficial uses, including as fertilizer. These forever chemicals are so persistent and detrimental to human health and the environment. We need to get a handle on these chemicals that can come back and harm us.
OTHER: Due to lab limitations, we recommend moving the report date out to July 1, 2028. Ecology rules already require a biosolids transporter to carry a manifest. Sewage sludge is not a beneficial resource. Ecology is pushing sewage sludge rather than protecting us from it.