The New Mexico Environment Department (NMED) is hosting a series of meetings to provide stakeholders and public with a status update on House Joint Memorial 3 (HJM3), which requires NMED to develop a report on the implementation of the Per- and Poly-Fluoroalkyl Substances (PFAS) Protection Act

100 Results

Sort:

Comment From: American Coatings Association Zaman

9/17/26 @ 7:58 PM
Attachments:

Comment From: Heather Rhoderick

9/17/26 @ 6:18 PM
These comments are submitted on behalf of the Valve Manufacturers Association. Thank you.
Attachments:

Comment From: Camille Heyboer

9/17/26 @ 4:40 PM
Please see attached the comments of the Chemical Users Coalition.
Attachments:

Comment From: Elizabeth Brandt

9/17/26 @ 4:39 PM
Please see attached comments from Pew Charitable Trusts.
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 4:22 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 2
No attachments

Comment From: Alex McIntyre

9/17/26 @ 4:20 PM
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 4:08 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 36
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 4:07 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 35
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 4:05 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 34
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 4:04 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 33
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 4:03 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 32
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 4:02 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 31
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 4:01 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 30
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:59 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 29
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:58 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 28
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:56 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 27
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:55 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 26
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:54 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 25
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:53 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 24
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:52 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 23
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:51 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 22
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:50 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 21
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:49 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 20
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:48 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 19
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:47 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 18
Attachments:

Comment From: Jay West

9/17/26 @ 3:46 PM
Please find attached comments from the American Chemistry Council's Performance Fluoropolymer Partnership. Thank you for the opportunity.
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:45 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 17
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:44 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 16
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:43 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 15
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:42 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 15
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:41 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 14
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:40 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 13
Attachments:

Comment From: Darbi Gottlieb

9/17/26 @ 3:38 PM
Please see attached for comments on behalf of AdvaMed.

Darbi Gottlieb
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:37 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 12
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:36 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 11
Attachments:

Comment From: Victor Munoz

9/17/26 @ 3:35 PM
The Specialty Equipment Market Association (SEMA) appreciates the opportunity to comment on the New Mexico Environment Department's review of exemptions, via NM House Joint Memorial 3.

SEMA supports retaining the law's exemptions for motor vehicles...↓
No attachments

Comment From: Christopher Correnti

9/17/26 @ 3:35 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 10
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:34 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 9
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:33 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 8
Attachments:

Comment From: Connor Hetman

9/17/26 @ 3:33 PM
LG Energy Solution Michigan, Inc. (LGESMI) respectfully submits the attached comment letter regarding the continued applicability of Exemptions (M) and (P) under the PFAS Protection Act for NMED's consideration in preparing its HJM 3 report.
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:32 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 7
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:31 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 6
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:30 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 5
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:28 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 4
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:27 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 3
Attachments:

Comment From: Martha Marrapese

9/17/26 @ 3:26 PM
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:26 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 2
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:23 PM
AGC Comments Addendum (Copies of Studies) -- Vol. 1
Attachments:

Comment From: Christopher Correnti

9/17/26 @ 3:21 PM
Attachments:

Comment From: Dillon Gabbert

9/17/26 @ 3:21 PM
Attachments:

Comment From: Reagan Giesenschlag

9/17/26 @ 3:17 PM
The National Association of Manufacturers respectfully submits the attached comment letter to inform the New Mexico Environment Department's report, as mandated by House Joint Memorial 3, to evaluate the public health, environmental, and economic ris...↓
Attachments:

Comment From: Nate Pelczar

9/17/26 @ 2:59 PM
Submitted to the New Mexico Environment Department (NMED) via Public Comment Form.

September 17, 2026

RE: Comments Related to the Implementation of New Mexico's Per- and Poly-Fluoroalkyl Substances (PFAS) Protection Act

On behalf of the American...↓
Attachments:

Comment From: Amani Khoury

9/17/26 @ 2:46 PM
Attachments:

Comment From: Kyle Thompson

9/17/26 @ 2:43 PM
PMI's comments in the attached letter propose that NMED recommend retention of the existing exemptions under New Mexico's PFAS Protection Act, including the exemption for qualifying fluoropolymers and the Currently Unavoidable Use (CUU) mechanism, un...↓
Attachments:

Comment From: Alison Riley

9/17/26 @ 2:36 PM
September 17, 2026

To: New Mexico Environment Department
Email: NMED-PFAS@env.nm.gov

From: New Mexico Chamber of Commerce

Re: HJM 3 Review of Exemptions under the Per- and Poly-Fluoroalkyl Substances Protection Act

Dear New Mexico Environment Dep...↓
No attachments

Comment From: Ryan Carra

9/17/26 @ 1:44 PM
Please see enclosed comments of the PFAS Pharmaceutical Working Group.
Attachments:

Comment From: Owen Jappen

9/17/26 @ 1:38 PM
Attachments:

Comment From: Jonathan Gledhill

9/17/26 @ 1:14 PM
Attachments:

Comment From: Antonio Romeo

9/17/26 @ 1:06 PM
Attachments:

Comment From: Elizabeth Morrow

9/17/26 @ 1:03 PM
Attachments:

Comment From: Cameron Wheeler

9/17/26 @ 1:00 PM
Attachments:

Comment From: Carolyn Kupper

9/17/26 @ 12:56 PM
Please see the attached comments submitted on behalf of Kathryn Moxley, Director, Remediation and Environmental Policy, The Boeing Company.
Attachments:

Comment From: Andrew Bemus

9/17/26 @ 12:56 PM
Please see the attached comment letter from the Sustainable PFAS Action Network (SPAN) regarding the report required in accordance with House Joint Memorial 3.
Attachments:

Comment From: Karalee Snyder

9/17/26 @ 11:55 AM
Please see the attached PDF containing my comments on HJM3.
Attachments:

Comment From: Emily Villanueva

9/17/26 @ 11:53 AM
Attachments:

Comment From: Daniel Mustico

9/17/26 @ 11:50 AM
Attached are the comments of the Outdoor Power Equipment Institute.
Attachments:

Comment From: Emily Jones

9/17/26 @ 11:22 AM
See attached comments from the Alliance for Automotive Innovation.
Attachments:

Comment From: Amy Neal

9/17/26 @ 11:09 AM
Emerson respectfully submits comments in support of NMED's efforts to prepare its report under HJM3, evaluating the existing exemptions within the PFAS Protection Act (HB 212).
Attachments:

Comment From: Carlos Gutierrez

9/17/26 @ 10:14 AM
Attachments:

Comment From: James Amano

9/17/26 @ 9:59 AM
Please see attached comments from SEMI, the industry association serving the global semiconductor design and manufacturing supply chain.
Attachments:

Comment From: John Keane

9/17/26 @ 8:31 AM
Association of Home Appliance Manufacturers (AHAM) comments on HJM3 attached.
Attachments:

Comment From: Dan Moyer

9/17/26 @ 7:33 AM
See attached document for full comments with references.

September 17, 2026

The Honorable James C. Kenney
Secretary
New Mexico Environment Department
1190 St. Francis Drive
Santa Fe, NM 87505

Re: Comments on Report 2 for House Joint Memoria...↓
Attachments:

Comment From: Mhamed Samet

9/17/26 @ 7:07 AM
Attachments:

Comment From: Jason Sloan

9/17/26 @ 6:23 AM
Comments from the Center for the Polyurethanes Industry (CPI) of the American Chemistry Council (ACC) regarding the New Mexico Environment Department (NMED) report on the implementation of the Per- and Poly-Fluoroalkyl Substances (PFAS) Protection Ac...↓
Attachments:

Comment From: Steven Bennett

9/17/26 @ 5:41 AM
Comments submitted on behalf of the Household & Commercial Products Association
Attachments:

Comment From: Aya Iizuka

9/16/26 @ 10:40 PM
The Japanese electric and electronic industrial associations – JEITA, CIAJ, JBMIA and JEMA (JP4EE) – would like to thank the New Mexico Environment Department (NMED) for the opportunity to provide comments on this public consultation.
Please find our...↓
Attachments:

Comment From: Heather Darrah

9/16/26 @ 3:32 PM
Attachments:

Comment From: Todd Titus

9/16/26 @ 2:50 PM
My name is Todd Titus, and I am the Director of State Government Affairs for the Heating Air-Conditioning & Refrigeration Distributors International (HARDI). HARDI's comments for HJM3 are attached to this submission. Thank you for the opportunity to ...↓
Attachments:

Comment From: Morgan Anderson

9/16/26 @ 2:01 PM
Attachments:

Comment From: Donovan Ringo

9/16/26 @ 1:51 PM

The Auto Care Association (the Association) submits these comments on the New Mexico Environment Department's (the Department) report to the Legislature under House Joint Memorial 3 (HJM3) on implementation of the Per- and Poly-Fluoroalkyl Substances...↓
Attachments:

Comment From: Felix Reyes

9/16/26 @ 1:45 PM
To Whom It May Concern:
We write today on behalf of the COPD Foundation, a 501(c)(3) organization representing Americans living with chronic obstructive pulmonary disease (COPD) and related respiratory conditions. In New Mexico, this includes the app...↓
Attachments:

Comment From: Carla Sonntag

9/16/26 @ 11:58 AM
Please accept the attached written comments of Carla Sonntag, president and CEO, of the New Mexico Business Coalition, regarding HJM 3 and NMED's review of the public-health, environmental, and economic risks of the exemptions in the PFAS Protection ...↓
Attachments:

Comment From: Chris Rendall-Jackson

9/15/26 @ 8:47 PM
Attached please find comments on the House Joint Memorial 3 (HJM3). These comments were prepared by, and are being submitted on behalf of, one of Farella Braun + Martel LLP's clients.
Attachments:

Comment From: Conor O'Brien

9/15/26 @ 5:53 PM
Attachments:

Comment From: Steven Kooy

9/15/26 @ 9:49 AM
Please see the comments attached.

Respectively submitted on behalf of BIFMA.
Attachments:

Comment From: Scott Schloegel

9/15/26 @ 9:03 AM
Attachments:

Comment From: Scott Schloegel

9/15/26 @ 4:02 AM
Attachments:

Comment From: Fran Attilio

9/14/26 @ 3:17 PM
Attachments:

Comment From: Stephen Burns

9/14/26 @ 12:58 PM
The Cookware Sustainability Alliance is pleased to submit comments under HJM3 with the strong recommendation that the Fluoropolymer Exemption at Section 3 of the Per- and Poly-Fluoroalkyl Substances Protection Act (House Bill 212) be continued. We al...↓
Attachments:

Comment From: Kenneth Mendez

9/14/26 @ 10:05 AM
Attachments:

Comment From: Gene Harrington

9/11/26 @ 3:49 PM
Attachments:

Comment From: Oliver Jones

9/11/26 @ 6:18 AM
Attachments:

Comment From: Kishan Nadigera

9/04/26 @ 5:23 AM
Regal Rexnord Corporation (RRX), a global manufacturer of motors, power transmission products, AC drives, controls, and automation solutions, requests that Mexico carefully consider the critical role PFAS substances play in industrial, commercial, in...↓
Attachments:

Comment From: Wendy Volkmann

8/30/26 @ 2:14 PM
Attachments:

Comment From: Wesley Sherrer

8/27/26 @ 1:08 PM
We strongly support maintaining exemptions for PFAS substances that serve as U.S. Environmental Protection Agency (EPA) Significant New Alternatives Policy (SNAP) approved replacements for ozone-depleting substances, including hydrofluoroolefin (HFO)...↓
No attachments

Comment From: Elaine Cimino

8/25/26 @ 11:21 AM
Attachments:

Comment From: Barbara Wisoff

8/25/26 @ 9:19 AM
I want my comment to go on the record with NMED for HJM 3. Do not delay protecting our health while harmful chemicals are permitted to move through water and human bodies. Delay and deregulation are crimes against humanity depriving us of safe drin...↓
No attachments

Comment From: Mayor Stacie Mitchell-Gweah

8/25/26 @ 8:27 AM
I submit these comments in my individual capacity as the Mayor of Stamps, Arkansas, a small rural community that has experienced the long-term consequences of industrial groundwater contamination. I understand firsthand what can happen when industri...↓
No attachments

Comment From: Stacie Mitchell-Gweah

8/25/26 @ 8:09 AM
N/A
No attachments

Comment From: Elaine Cimino

8/25/26 @ 6:47 AM
Attachments: