Open Access Article
Laura
Minet‡
ab,
Zhanyun
Wang
cd,
Anna
Shalin
b,
Thomas A.
Bruton§
e,
Arlene
Blum
ef,
Graham F.
Peaslee
g,
Heather
Schwartz-Narbonne
b,
Marta
Venier
h,
Heather
Whitehead
g,
Yan
Wu¶
h and
Miriam L.
Diamond
*bi
aDepartment of Civil Engineering, University of Victoria, Canada
bDepartment of Earth Sciences, University of Toronto, Canada. E-mail: miriam.diamond@utoronto.ca
cEmpa − Swiss Federal Laboratories for Materials Science and Technology, Technology and Society Laboratory, Switzerland
dInstitute of Environmental Engineering, ETH-Zürich, Switzerland
eGreen Science Policy Institute, USA
fDepartment of Chemistry, University of California, Berkeley, USA
gDepartment of Physics, University of Notre Dame, USA
hO'Neill School of Public and Environmental Affairs, Indiana University, USA
iSchool of the Environment, University of Toronto, Canada
First published on 11th October 2022
Numerous per- and polyfluoroalkyl substances (PFASs) occur in consumer food packaging due to intentional and unintentional addition, despite increasing concern about their health and environmental hazards. We present a substance flow analysis framework to assess the flows of PFASs contained in plant fiber-based and plastic food packaging to the waste stream and environment. Each year between 2018 and 2020, an estimated 9000 (range 1100–25
000) and 940 (range 120–2600) tonnes per year of polymeric PFASs were used in 2% of food packaging in the U.S. and Canada, respectively. At least 11 tonnes per year of non-polymeric PFASs also moved through the food packaging life cycle. Approximately 6100 (range 690–13 000) and 700 (range 70–1600) tonnes per year of these PFASs were landfilled or entered composting facilities in the U.S. and Canada, respectively, with the potential to contaminate the environment. The results suggest that minimal food packaging contains intentionally added PFASs which, nonetheless, has the potential to contaminate the entire waste stream. Further, this indicates that PFASs are not needed for most food packaging. These results serve as a benchmark to judge the effectiveness of future industry and government initiatives to limit PFAS use in food packaging.
Environmental significanceAlthough we estimate that only ∼2% of U.S. and Canadian food packaging contains intentionally added PFASs, this level of addition results in PFASs flows of 9000 (range 1100–25 000) and 940 (range 120–2600) tonnes per year. Most of the PFASs are polymeric, but we estimate a minimum of 11 tonnes per year of nonpolymeric and hence mobile and potentially bioaccumulative PFASs are contained in U.S. and Canadian food packaging. PFASs in food packaging have the potential to contaminate the waste stream (e.g., recycled materials, compost, landfill leachate), and the environment from releases to air, water and soils. The estimated low usage of intentionally added PFASs suggests that alternatives are available and hence PFASs can be eliminated from this non-essential use. The prevalence of non-intentionally occurring PFASs in food packaging is more problematic. Our estimates are a benchmark for comparison, as jurisdictions deliberate PFASs reduction strategies, e.g., U.S. EPA PFAS Strategic Roadmap of 2021, and as other jurisdictions may follow the 7 U.S. states that have adopted legislative bans on PFAS use in food contact materials.
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The strong chemical and biological stability of the perfluorinated carbon moieties1,14 leads to the high persistence and accumulation of many PFASs in the environment,15,16 biota17,18 and humans,19,20 with the potential for serious environmental and human health harm.21,22 Some PFASs present in food packaging can be transferred to food or air through food contact and heating processes, leading to human exposure through ingestion and inhalation.23,24 Disposal of packaging waste can lead to the environmental release of PFASs via landfill leachate,25,26 compost application27 and biosolids, and effluent discharges from wastewater treatment plants (resulting from inputs due to human exposure).28–30
The United States (U.S.), through the Food and Drug Administration (FDA), has a list of PFASs authorized for use in food packaging;31 however, information is lacking on the actual usage of these PFASs in food packaging production, or whether manufacturers are using non-authorized PFASs. Canadian regulatory oversight of PFASs use in food packaging is more complicated due to the lack of a public list of authorized PFASs (ESI, Section S1 and Table S1†).32 However, as a signatory to the Stockholm Convention, Canada restricted the use, sale and importation of PFOS and PFOS-containing products in 2008 with exemptions, and in 2012 restrictions were applied to PFOA, its salts and precursors, namely long-chain or LC-PFCAs, again with specific exemptions.33–35 A further tightening of these regulations with reduced exemptions was recently introduced to the Canadian Parliament.36
The U.S. Environmental Protection Agency (EPA) initiated the PFOA (perfluorooctanoic acid) 2010/2015 Stewardship program in 2006, including PFOA, its long-chain homologues and their precursors. In 2020, a voluntary agreement was struck between the U.S. FDA and manufacturers of grease-proofing agents used in paper and paperboard food packaging, to phase out the use of PFASs derived from 6
:
2 FTOH by 2024.37 This agreement was prompted by new evidence suggesting significant potential human health risks arising from chronic dietary exposure.38 Further, a recent report from the Organisation for Economic Co-operation and Development (OECD) has argued for more regulation of these compounds in food packaging.39
Since the 2006 agreement, PFASs manufacturers in North America and Europe largely replaced long-chain PFASs with, for example, shorter-chain homologues and other PFASs such as perfluoropolyethers. Short-chain replacements are as persistent as long-chain PFASs, and even more difficult to remove from water treatment systems.40 The other major replacement, polymeric PFASs, notably side-chain fluorinated polymers, also present environmental and human health concerns because they contain non-polymeric PFASs impurities and can degrade into non-polymeric, persistent and mobile PFASs.11,14,28,41,42
Little is known about the fate of PFASs used in food packaging, such as how much is released into the environment and from where these releases occur. Substance flow analysis (SFA) is a useful tool for understanding the major inputs and outputs of a system in order to prioritise action,43 including, for example, PFASs in carpets.44 To date, the stock and flows of PFASs that transfer PFASs used in food packaging to various waste streams have not been estimated. Our goals were to develop a general SFA framework for PFASs in food packaging and, as a case study, apply it to the U.S. and Canada for a year representative of 2018 to 2020. This case study illustrates the potential of PFASs used in food packaging to contaminate the waste stream and environment, and it provides a benchmark against which to judge the effectiveness of jurisdictional initiatives to limit the use of PFASs in food packaging.
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Fig. 1 describes the flows of PFASs present in consumer food packaging. The framework includes releases during PFASs production as a potential source to the environment,1 as identified by FPFAS
prod in Fig. 1. We also note that municipal compost originates from post-consumer use of food packaging that is sent to municipally run composting facilities and biosolids originate from wastewater treatment plants. Additionally, we have included the land application of biosolids for agricultural purposes through the flow as Fbio.
to
env.
Based on their PFAS content and origin (described in ESI Section S1†), food packaging can be divided into three categories. Category 1 (“functional” category) corresponds to food packaging with PFASs intentionally added, including plant fiber-based packaging with sufficient PFAS(s) to confer water- and grease-repellency, such as popcorn bags45 and plant fiber-based (marketed as “compostable”) bowls,3 as well as plastic packaging with fluoropolymers as extrusion aids.46,47 Category 2 (“non-functional” category) includes food packaging with the unintentional addition of PFASs during manufacturing (e.g., from recycled materials, cross contamination, or lubricants in machinery used to produce packaging) in a quantity insufficient to provide functionality such as repellency properties.48 Category 3 (“no PFASs” category) corresponds to food packaging free of PFASs.
SFAs were parameterised for the three categories of food packaging (see above) and two groups of PFASs: first, polymeric ones (including side-chain fluorinated polymers and perfluoropolyethers that are usually contained in paper-based food packaging,49 and fluoropolymers that have been found in plastic-based food packaging50), and, second, non-polymeric compounds, e.g., fluorotelomer (FT) alcohols (n:2 FTOHs), FT sulfonates (n:2 FTSs), FT acrylates (n:2 FTAcs), FT methacrylates (n:2 FTMAcs).
We considered a reference year between 2018 and 2020. Only a limited number of flows could be estimated due to a lack of information. To address some of these data gaps and to recognize the uncertainty in our estimates, we provided a range of estimates approximating low, middle and high scenarios, presented as middle (low–high), for parameter values.
For the two categories of food packaging containing PFASs, i.e., with functional (e.g. PFASs added to confer grease- and water-repellency) and non-functional (e.g. inadvertent PFASs that do not confer grease- and water-repellency) concentrations, we estimated the polymeric and non-polymeric PFASs content as a middle value bounded by low and high estimates, by combining information provided in the U.S. FDA Inventory of Effective Food Contact Substance Notifications31 (ESI Table S1†) with data from the literature.
Using information provided in patents,51 we assumed the maximum concentration of polymeric PFASs in food packaging with functional PFASs addition (Cfunctional) to be 1.2% by weight of finished packaging (high scenario), and the middle scenario to be 0.5% (i.e., approximately half the maximum value recommended for use) (Table 1 and ESI Section S3†). The minimum concentration to confer functionality such as water- and oil-repellency is 0.1% by weight of finished paper.51 For food packaging with non-functional addition of PFASs, we took 0.01% by weight of finished paper as the maximum concentration of polymeric PFAS, which is the 10% of the minimum concentration assumed for functional addition of PFASs, and 0 and 0.005% for the low and middle scenarios, respectively.
| Parameter/type of FP | Low | Middle | High | Source | |
|---|---|---|---|---|---|
| a Functional refers to FP with PFASs added to confer grease- and water-repellency and non-functional refers to FP with inadvertent PFASs addition that does not confer grease- and water-repellency. | |||||
| PFAS concentrations in FP | |||||
| Non-polymeric PFASs | C functional | 3.7 × 10−5% | 2.8 × 10−4% | 2.5 × 10−3% | Literature (ESI Section S3.1) |
| C non-functional | 0 | 2.0 × 10−5% | 3.7 × 10−5% | Literature (ESI Section S3.1) | |
C
no PFAS
|
0 | 0 | 0 | — | |
| Polymeric PFASs | C functional | 0.1% | 0.5% | 1.2% | Patent51 |
| C non-functional | 0 | 0.005% | 0.01% | Assumed | |
C
no PFAS
|
0 | 0 | 0 | — | |
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|||||
| Proportion of FP types | |||||
| %functional | Category “functional” | 2% | 2% | 2% | Back calculation and assumed |
| %non-functional | Category “non-functional” | 40% | 50% | 60% | Back calculation and assumed |
%no PFAS |
Category “no PFAS” | 58% | 48% | 38% | Back calculation and assumed |
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|||||
| Mass of FP in municipal solid waste | |||||
| Canada | M FP (megatonnes) | 5.9 | 7.6 | 8.8 | Government of Canada,61 Statistics Canada62 |
| U.S. | 57 | 72 | 83 | U.S. EPA,63,64 Government of Canada61 | |
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|||||
| Proportion of FP littered | |||||
| %litter | 5.0% | 15% | 30% | Assumed | |
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|||||
| Proportion of FP recycled | |||||
%FP recycled |
10% | 20% | 30% | Government of Canada,61,65 U.S. EPA64 | |
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|||||
| Proportion of FP recycled to FP | |||||
%FP recycled to FP |
5.0% | 18% | 33% | U.S. EPA53 | |
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| Proportion of FP intended for recycling sent to landfills or exported | |||||
%recycling to landfill |
5.0% | 15% | 30% | NY Times,54 CTV news,55 Globe and Mail56 | |
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|||||
| Proportion of FP incinerated | |||||
| Canada | %incineration | 3.0% | 5.0% | 8.0% | Statistics Canada,57 Solid Waste & Recycling58 |
| U.S. | 4.0% | 11% | 17% | U.S. EPA59 | |
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| Proportion of Canadian FP waste sent to Michigan | |||||
%Can. Waste to Mich |
5.0% | 11% | 20% | Michigan Department of Environment60 | |
For non-polymeric PFASs in the “functional” category, we used 370, 2820 and 25
200 ng g−1 for the lower, middle and high values, respectively, estimated from the list of PFASs authorized for use by the U.S. Food and Drug Administration and from Liu et al. (see ESI Table S1†).31,52 For food packaging with non-functional addition of non-polymeric PFASs, we used 370 ng g−1 as our upper boundary, and 0 ng g−1 as the minimum, with 200 ng g−1 as the middle value. A complete listing of data sources and explanations for these choices are provided in ESI Section S3.1.†
We note that the SFA for polymeric PFASs provides inputs to the non-polymeric PFASs SFA through the release of side chains and other processes of polymeric breakdown. However, we had insufficient data to quantify this transfer and therefore did not quantify releases from polymeric breakdown as an input to the non-polymeric PFASs SFA. All values used in the SFA are listed in Table 1 with full details in ESI Section S2.†
| F1 = MFP × (Cfunctional × %functional + Cnon-functional × %non-functional + CnoPFAS × %noPFAS) | (2) |
PFAS are the concentrations in each of the three categories of food packaging, which are present in the %functional, %non-functional, and %no
PFAS percentages, respectively. Due to a lack of data, the percentages of food packaging types were assumed such that the estimated flows accorded with 10
000 (1080–21
600) tonnes of PFASs used in food packaging annually in the U.S., which we estimated based on data available in the literature. We used the same percentages for Canada (ESI Section S2.3 and S3.2†) (Table 1).
| F2 = F1 − Fintake ≅ F1 | (3) |
| F3 = F2 × %litter | (4) |
recycled). It was divided into four parts,| F4 = F4,1 + F4,2 + F4,3 + Frecycling | (5) |
F4 = (F2 − F3) × %FP recycled | (6) |
F4,1 = F4 × %FP recycled to FP | (7) |
| F4,2 ≅ F4 − F4,1 − F4,3 | (8) |
F4,3 = F4 × %recycling to landfill | (9) |
F
4,1 is the flow from recycled food packaging that is recycled back to food packaging, which depends on the percentage of food packaging recycled back to food packaging, %FP
recycled
to
FP, estimated using data on the use of recycled paper in the production of new paper in the U.S.53F4,2 is the flow from recycled food packaging that is recycled into other materials. F4,3 is the flow from food packaging intended for recycling but that is ultimately landfilled or exported (%recycling
to
landfill), which could represent up to one-third of discarded food packaging.54–56Frecycling is the flow from the recycling process of food packaging emitted to the environment, which is assumed to be negligible due to a lack of information sufficient for quantification (ESI Section S2.6†).
| F5 = (F2 − F3) × %incineration | (10) |
Michigan, %Can.
waste
to
Mich.),60 where MMich and MCan represent the mass of Canadian waste sent to Michigan and Canada landfills, respectively.| F6 = F2 − F3 – F4 − F5 | (11) |
For Canada more specifically:
| F6 = F6,Canada + F6,Michigan | (12) |
![]() | (13) |
000) and 940 (range 120–2600) tonnes per year for middle (low–high) scenarios in the U.S. and Canada, respectively (Fig. 1 and Table 2). Of this total inflow, >99% were polymeric forms. The total estimate inflows of non-polymeric PFASs were 11 (range 0.42–60) and 1.2 (range 0.044–6.4) tonnes per year for the U.S. and Canada, respectively. Total inflows were dominated by the intentional addition of PFASs: ∼80% and 35% of the polymeric and non-polymer PFASs flows, respectively, were estimated to have come from food packaging with PFASs added at levels to confer grease and water repellency (ESI Tables S9 and S10†). Conversely, 65% of the non-polymeric (environmentally mobile) inflow of 7.2 tonnes per year or ∼0–18 tonnes per year combined for U.S. and Canada, was attributable to the occurrence of PFASs found in food packaging at non-functional concentrations. The total PFASs inflow was due to ∼2% and 40–60% of total food packaging containing functional and non-functional addition of PFASs, respectively.
| U.S. | Canada | ||||||
|---|---|---|---|---|---|---|---|
| Low | Middle | High | Low | Middle | High | ||
| Polymeric PFASs | |||||||
| F 1 | Flow in the sales of FP | 1.13 × 103 | 9.03 × 103 | 2.49 × 104 | 1.18 × 102 | 9.43 × 102 | 2.64 × 103 |
| F 2 | Flow in discarded FP | 1.13 × 103 | 9.03 × 103 | 2.49 × 104 | 1.18 × 102 | 9.43 × 102 | 2.64 × 103 |
| 0% | 0% | 0% | 0% | 0% | 0% | ||
| F 3 | Flow in littered FP | 3.39 × 102 | 4.51 × 102 | 3.74 × 103 | 3.55 × 101 | 4.71 × 101 | 3.96 × 102 |
| 30% | 5% | 15% | 30% | 5% | 15% | ||
| F 4 | Flow in recycled FP | 7.92 × 101 | 1.71 × 103 | 6.36 × 103 | 8.28 | 1.79 × 102 | 6.73 × 102 |
| 7% | 19% | 26% | 7% | 19% | 26% | ||
| F 4,1 | Flow in recycled FP that is recycled back to FP | 3.96 | 3.09 × 102 | 2.10 × 103 | 4.14 × 10−1 | 3.22 × 101 | 2.22 × 102 |
| 0% | 3% | 8% | 0% | 3% | 8% | ||
| F 4,2 | Flow in recycled FP that is recycled into other materials | 7.13 × 101 | 1.15 × 103 | 2.35 × 103 | 7.45 | 1.20 × 102 | 2.49 × 102 |
| 6% | 13% | 9% | 6% | 13% | 9% | ||
| F 4,3 | Flow in FP initially intended for recycling but that is ultimately landfilled or exported | 3.96 | 2.57 × 102 | 1.91 × 103 | 4.14 × 10−1 | 2.69 × 101 | 2.02 × 102 |
| 0% | 3% | 8% | 0% | 3% | 8% | ||
| F 5 | Flow in incinerated FP | 3.17 × 101 | 9.43 × 102 | 3.60 × 103 | 2.48 | 4.48 × 101 | 1.80 × 102 |
| 3% | 10% | 14% | 2% | 5% | 7% | ||
| F 6 | Flow in landfilled and composted FP | 6.81 × 102 | 5.92 × 103 | 1.12 × 104 | 7.20 × 101 | 6.72 × 102 | 1.39 × 103 |
| 60% | 66% | 45% | 61% | 71% | 53% | ||
| F 6,Michigan | Flow in landfilled FP sent to Michigan | — | — | — | 3.60 | 7.39 × 101 | 2.78 × 102 |
| — | — | — | 3% | 8% | 11% | ||
| F 6,Canada | Flow in FP landfilled or composted in Canada | — | — | — | 6.84 × 101 | 5.98 × 102 | 1.11 × 103 |
| — | — | — | 58% | 63% | 42% | ||
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| Non-polymeric PFASs | |||||||
| F 1 | Flow in the sales of FP | 4.19 × 10−1 | 1.13 × 101 | 6.04 × 101 | 4.37 × 10−2 | 1.18 | 6.39 |
| F 2 | Flow in discarded FP | 4.19 × 10−1 | 1.13 × 101 | 6.04 × 101 | 4.37 × 10−2 | 1.18 | 6.39 |
| 0% | 0% | 0% | 0% | 0% | 0% | ||
| F 3 | Flow in littered FP | 1.26 × 10−1 | 5.63 × 10−1 | 9.06 | 1.31 × 10−2 | 5.88 × 10−2 | 9.58 × 10−1 |
| 30% | 5% | 15% | 30% | 5% | 15% | ||
| F 4 | Flow in recycled FP | 2.93 × 10−2 | 2.14 | 1.54 × 101 | 3.06 × 10−3 | 2.23 × 10−1 | 1.63 |
| 7% | 19% | 26% | 7% | 19% | 26% | ||
| F 4,1 | Flow in recycled FP that is recycled back to FP | 1.47 × 10−3 | 3.85 × 10−1 | 5.08 | 1.53 × 10−4 | 4.02 × 10−2 | 5.38 × 10−1 |
| 0% | 3% | 8% | 0% | 3% | 8% | ||
| F 4,2 | Flow in recycled FP that is recycled into other materials | 2.64 × 10−2 | 1.43 | 5.70 | 2.76 × 10−3 | 1.50 × 10−1 | 6.03 × 10−1 |
| 6% | 13% | 9% | 6% | 13% | 9% | ||
| F 4,3 | Flow in FP initially intended for recycling but that is ultimately landfilled or exported | 1.47 × 10−3 | 3.21 × 10−1 | 4.62 | 1.53 × 10−4 | 3.35 × 10−2 | 4.89 × 10−1 |
| 0% | 3% | 8% | 0% | 3% | 8% | ||
| F 5 | Flow in incinerated FP | 1.17 × 10−2 | 1.18 | 8.72 | 9.19 × 10−4 | 5.59 × 10−2 | 4.34 × 10−1 |
| 3% | 10% | 14% | 2% | 5% | 7% | ||
| F 6 | Flow in landfilled and composted FP | 2.52 × 10−1 | 7.38 | 2.72 × 101 | 2.66 × 10−2 | 8.38 × 10−1 | 3.37 |
| 60% | 66% | 45% | 61% | 71% | 53% | ||
| F 6,Michigan | Flow in landfilled FP sent to Michigan | — | — | — | 1.33 × 10−3 | 9.22 × 10−2 | 6.73 × 10−1 |
| — | — | — | 3% | 8% | 11% | ||
| F 6,Canada | Flow in FP landfilled or composted in Canada | — | — | — | 2.53 × 10−2 | 7.46 × 10−1 | 2.69 |
| — | — | — | 58% | 63% | 42% | ||
The scenario based on middle values provides the most realistic estimate of actual flows, benchmarked against an estimate of PFASs used in food packaging in the U.S. The flow of 9000 tonnes per year in the U.S. was about a third of the 21
600 tonnes per year of fluorinated substances that could be used annually for food packaging in the U.S. based on values from ∼2000 and 2015 (ESI Section S3.2†).5,66 Note that none of the upcoming bans in food packaging by three U.S. states or the U.S. voluntary phase-out from food packaging were considered in this analysis (the ban in New York will occur after 2022).67
All food packaging produced moved to end-of-life, according to our assumption of limited storage. For the U.S., ∼70% (60–50%, low–high values) or 6100 (range 690–13
000, flows F6 and F3.2) tonnes of polymeric PFASs from food packaging per year went to landfill and composting facilities, ∼5% (30–15%) or 450 (340–3700) tonnes per year to litter and ∼10% (3–14%) or 940 (32–3600) tonnes per year to incineration. An unknown fraction of food packaging sent to landfill and/or composting was sent abroad.68
As mentioned above, some breakdown of polymeric PFASs into non-polymeric forms is inevitable. However, degradation rates and yield, including degradation of side-chain fluorinated polymers, are highly uncertain.69,70 Van der Veen et al.71 studied releases from durable water-repellent clothes, measuring 5- to 100-fold increases of non-polymeric PFASs concentrations following weathering, probably due to the degradation and transformation of precursors used for the formation of the durable water-repellent polymers. Similar values were obtained by Schellenberger et al.72 These results suggest that even limited breakdown of the large mass of polymeric PFASs from food packaging would considerably increase the mass and flows of non-polymeric PFASs.
Releases of PFASs from food packaging to the environment occur at different life-cycle stages and from various sources. Wastewater treatment plants (WWTPs) receive PFASs from food packaging with associated releases from WWTPs to the environment through outgassing,73–76 biosolids applied to land,29,77,78 or the discharge of final effluent.79–82 Outgassing and leachate from landfills are substantial sources discharged to the environment. We estimated that every year at least 2.27 and 0.26 tonnes of non-polymeric PFASs are released to the U.S. and Canadian environment, respectively, due to the limited ability of WWTP to treat PFASs contained in landfill leachate (ESI Section S2.8†). Furthermore, Lang et al.25 estimated that the entire U.S. waste load (of which about 30% was food packaging) generates at least 563 to 638 kg per year of selected non-polymeric PFASs in landfill leachate, of which 5
:
3 fluorotelomer carboxylic acid (FTCA) was the dominant PFAS identified out of the limited PFASs analysed, noting that composition varies depending on the age of the landfill. Leachate is often directed to WWTPs that are not designed to efficiently treat PFASs.83
WWTPs also receive PFASs from food packaging via human waste, unquantified due to a lack of data. However, several studies have highlighted the tendency of PFASs to transfer from food packaging to food,2,23 which leads to ingestion through food consumption.84 The heating process of food packaging, such as popcorn microwave bags, can also lead to airborne releases of PFASs which can be inhaled.24
Although unquantified, recent analyses of municipal compost from the U.S. found higher concentrations of PFAAs in composts that included food packaging than in those that did not.27 Other major unquantified flows included PFASs released during the manufacturing and recycling of food packaging containing PFASs85–87 and from incineration.88,89
In addition to illustrating the potential of PFASs used in food packaging to contaminate the environment, numerous parts of the waste stream, and new products that contain recycled paper content, these results highlight the lack of knowledge regarding the overall presence and fate of PFASs in food packaging. While substance-based use and emission estimates of PFASs species and groups have been compiled,42,69,90–92 it is difficult to compare the flows of PFASs in food packaging estimated here for the U.S. and Canada with PFASs used in other applications because national product-based inventories of PFAS uses and emissions have not been compiled. The one exception is of PFASs used in carpets in California, for which the flows to landfill are orders-of-magnitude lower than the flows of food packaging estimated in this study, on a per capita basis, likely due to the high recycling rate of carpets in the U.S.44
For environmental releases, particularly glaring knowledge gaps regarding PFASs use in food packaging, which are also instructional for other PFASs uses, are releases during the production with implications for human exposure, and fate at end-of-life (including food packaging intended for recycling but that is exported to low-income countries).93,94 Another knowledge gap is the contribution of polymeric PFASs to non-polymeric forms due to the presence of non-polymeric impurities, and degradation in landfills and the environment. Although total flows were dominated by polymeric PFASs, of concern are non-polymeric flows of at least ∼11 and 1.2 tonnes per year in the U.S. and Canada, given the mobility and higher toxicity of these substances. These knowledge gaps stress the need for chemicals management regimes to take a comprehensive life-cycle approach that considers all stages, from manufacturing to end-of-life, and types of PFASs, when adjudicating the use of chemicals in food packaging and other applications, which is not currently the case in the U.S. or in Canada.31,32
The flows of non-functionally added PFASs in food packaging (estimated at ∼20% of total PFASs flows), including 7.2 and 0.75 tonnes per year in the U.S. and Canada, respectively, of non-polymeric PFASs, highlight our lack of control of PFASs entering food packaging from unintentional use. However, it is the low intentional use of PFASs in food packaging (∼2% of the total food packaging) that leads to the largest releases of PFASs, and highlights hotspots/blindspots for the sound management of food packaging.95,96
These results, specifically the low percentage (∼2%) of food packaging with intentionally added PFASs, lend support to regulatory initiatives to eliminate the use of PFASs in food packaging in seven U.S. states,67 the voluntary agreement brokered between the food packaging industry and the U.S. FDA to restrict which PFAS can be used in food packaging,37 and initiatives among several European countries to restrict non-essential uses of PFAS.97–99 We question whether these initiatives would be able to control flows of PFASs from non-intentional introduction to food packaging in these jurisdictions. Canada has not yet introduced restrictions for PFASs use specific to food packaging and, as noted above, the regulatory process is neither transparent or comprehensive.100,101
Given the high persistence and potential for harm of the entire class of PFASs, both polymers and non-polymers, this analysis leads to questioning the use of PFASs in food packaging in any jurisdiction.
Footnotes |
| † Electronic supplementary information (ESI) available. See https://doi.org/10.1039/d2em00166g |
| ‡ This research was conducted while the first author was at the University of Toronto, Canada. |
| § Current address:California Department of Toxic Substances Control 1001 I St., Sacramento, CA, 95814, USA |
| ¶ Key Laboratory of Geographic Information Science (Ministry of Education), School of Geographic Sciences, East China Normal University, Shanghai 200241, China |
| This journal is © The Royal Society of Chemistry 2022 |