Ohio
Active program- EPA set enforceable drinking-water limits for PFOA and PFOS at 4 parts per trillion (2024). A May 2026 proposal would keep those two, extend compliance to 2031, and rescind the others. Proposed, not final.
- Under CERCLA (the Comprehensive Environmental Response, Compensation, and Liability Act), PFOA and PFOS are hazardous substances, so cleanup liability is strict, retroactive, and joint and several.
- Federally required uses at Part 139 airports and military installations follow federal rules regardless of state law.
- The Department of Defense is phasing out AFFF under the NDAA.
Ohio Revised Code section 3737.52 ↗
What's still allowed
AFFF is restricted for training/testing under ORC §3737.52; Part 139 airport and military uses remain exempt. A proposed bill (HB 272) would add a PFAS-foam sale ban.
How to get rid of PFAS foam
Use the Ohio EPA AFFF Takeback (managed by Battelle, destroyed by Revive Environmental via SCWO), free to departments, funded by a Monsanto PCB settlement. Round-1 foam was being processed toward a ~June 2026 completion.
Funding and help
Collection and destruction run through the Ohio program; check the official page for what the state covers.
- EPA Emerging Contaminants in Small or Disadvantaged Communities grant ↗, funded by the Bipartisan Infrastructure Law.
- Drinking Water State Revolving Fund ↗, including the infrastructure-law set-aside for emerging contaminants like PFAS.
- FAA airport foam transition support ↗ for Part 139 commercial airports moving off fluorinated foam.
- Fire departments with contaminated water may qualify as claimants in the aqueous film-forming foam (AFFF) settlements.
Future plans
Ohio EPA estimates ~40,000 gallons remain stockpiled statewide; a second collection round is not yet scheduled and depends on funding.
Destruction & vendors
Foam in Ohio is handled by: Revive Environmental. SCWO. 118 departments. Funded by a Monsanto PCB settlement. ~40k gal stockpile remains.
Official sources
Ohio official program page ↗A note for smaller departments
Large departments and municipalities usually have legal counsel and a budget to manage PFAS liability. Small and volunteer departments often do not. That makes a documented chain of custody and a certificate of destruction the strongest protection a small department has: proof that the foam was handled lawfully and never released. See liability and litigation.