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Kentucky PFAS Contamination Map: Drinking Water Detections by Utility

PFAS in Kentucky drinking water

87 drinking-water utilities in Kentucky reported PFAS detections at or above the EPA minimum reporting level under UCMR 5 (the federal monitoring round that ran 2023–2025). Of those, 30 exceeded the final EPA Maximum Contaminant Level for PFOA or PFOS (4 parts per trillion), serving roughly 1,230,392 people.

By the numbers

  • 87 Kentucky water utilities with at least one PFAS compound detected
  • 2,450,981 people served by those utilities
  • 30 utilities above the final 4 ppt MCL for PFOA or PFOS
  • 9 federal and Department of Defense sites with reported PFAS in groundwater

The interactive map below plots every reporting Kentucky utility, colour-coded by whether their worst reading exceeds the federal MCL, sits below it but at or above the reporting threshold, or falls below the reporting threshold. Use the search box to find a specific utility, ZIP code or address.

Top Kentucky water utilities by PFAS impact

The 15 Kentucky public water systems with the most significant PFAS detections under UCMR 5, ranked by how far each system’s worst MCL-exceeding compound runs over the federal limit:

#UtilityPopulation servedHeadline ng/LCompoundvs MCL
1Pendleton Co Water District #1/South3,71350.0PFOS12.5× final MCL
2Harrison Co Water Assoc16,73647.9PFOS12.0× final MCL
3Cynthiana Municipal Water Works7,26318.0PFOS4.5× final MCL
4Georgetown Municipal Water Service35,71412.0PFOS3.0× final MCL
5Sturgis Water Works3,49010.8PFOA2.7× final MCL
6Whitley Co Water District9,82510.0PFOA2.5× final MCL
7Union County Water District6,1178.6PFOA2.1× final MCL
8Cumberland Falls Highway Water District9,4988.6PFOA2.1× final MCL
9Louisville Water Company764,7697.5PFOA1.9× final MCL
10Crittenden-Livingston Co Water District9,5717.3PFOS1.8× final MCL
11Cannonsburg Water District8,9536.8PFOA1.7× final MCL
12Flatwoods Water Company9,6496.5PFOA1.6× final MCL
13Hardin County Water District #276,3266.2PFOA1.6× final MCL
14Ledbetter Water District2,7296.2PFOS1.6× final MCL
15North Nelson Water District13,3655.7PFOA1.4× final MCL
Source: EPA PFAS Analytic Tools (UCMR 5, 2023–2025). For utilities exceeding an MCL the headline reading is the worst MCL-exceeding compound at that system; for detection-only utilities it is the highest reading on any compound.

Use the interactive map above to find every utility (not just the top 15) and to search by ZIP code or address.

The biggest Kentucky systems above the PFOA/PFOS MCL

Ranked by population served, the largest Kentucky water utilities reporting at least one PFAS reading above EPA’s final MCL:

#UtilityPopulation servedWorst compoundReadingvs MCL
1Louisville Water Company764,769PFOA7.5 ng/L1.9× MCL
2Hardin County Water District #276,326PFOA6.2 ng/L1.6× MCL
3Paducah Water Works65,004PFOS5.3 ng/L1.3× MCL
4Owensboro Municipal Utilities60,651PFOA5.0 ng/L1.3× MCL
5Georgetown Municipal Water Service35,714PFOS12.0 ng/L3.0× MCL
6Mt Washington Water Company23,760PFOA4.2 ng/L1.1× MCL
7Taylorsville Water Works18,973PFOA4.7 ng/L1.2× MCL
8Harrison Co Water Assoc16,736PFOS47.9 ng/L12.0× MCL
9Corbin Utilities Commission16,065PFOA4.8 ng/L1.2× MCL
10North Shelby Water District14,660PFOA4.1 ng/L1.0× MCL
Source: EPA UCMR 5. Public water systems serving 10,000 or more residents only.

PFAS compounds detected in Kentucky

UCMR 5 required utilities to test for 29 different PFAS compounds. The table below shows how many Kentucky utilities had at least one above-reporting-level result for each compound, sorted by frequency:

CompoundKentucky utilitiesShare of detecting utilitiesEPA MCL
PFPeA4552%None
PFBA4248%None
PFHxA2529%None
PFOA2529%4 ppt (final)
PFBS2225%None
6:2 FTS1416%None
PFOS1315%4 ppt (final)
PFHxS78%10 ppt (April 2024, under reconsideration)
PFHpA67%None
HFPO-DA33%10 ppt (April 2024, under reconsideration)
PFNA11%10 ppt (April 2024, under reconsideration)
Source: EPA UCMR 5 (2023–2025). Only six PFAS compounds are subject to enforceable EPA Maximum Contaminant Levels in drinking water; the others are unregulated at the federal level.

Where Kentucky’s PFAS contamination is coming from

EPA’s PFAS Analytic Tools also catalogue the suspected industrial, federal and accidental sources of PFAS in each state. Kentucky has 9 federal facilities (mostly U.S. military installations and federal airports) reporting PFAS in groundwater, 1 EPA Superfund site flagged for PFAS, and 7 recorded PFAS-related spills (7 of which reached surface water).

Superfund sites flagged for PFAS in Kentucky

EPA’s Superfund program has identified the following Kentucky site with confirmed PFAS detections:

  • Paducah Gaseous Diffusion Plant (USDOE), Kevil, Mccracken County. NPL status: Final. EPA site report

Recent PFAS-related spills in Kentucky

  • 2026: Pfas (per- and polyfluoroalkyl substances) released in Henderson (Henderson County) by Shamrock Technologies. Reached water.
  • 2025: Ptfe – (polytetrafluoroethylene) released in Henderson (Henderson County) by Shamrock Technologies. Reached water.
  • 2021: Aqueous film-forming foam (AFFF) released in Jefferson County. Reached water.
  • 2021: Aqueous film-forming foam (AFFF) released in Prospect (Jefferson County). Reached water.

What “exceeds the MCL” means here

In April 2024 the EPA finalised the first-ever federal Maximum Contaminant Levels (MCLs) for six PFAS compounds in drinking water. The two most consequential are PFOA and PFOS, both set at 4.0 nanograms per litre (ng/L) — equivalent to 4 parts per trillion. Every red marker on the map above represents a Kentucky water system whose most-recent UCMR 5 result for PFOA or PFOS sat above 4 ng/L.

EPA also issued individual MCLs of 10 ng/L for PFHxS, PFNA and HFPO-DA (GenX) and a Hazard-Index MCL covering mixtures. In May 2025 the agency confirmed the PFOA and PFOS limits would stay in place (with the compliance deadline extended to 2031), and announced its intent to rescind the four other limits. We continue to flag exceedances of the published April 2024 MCL for those compounds and label them as “under EPA reconsideration” so the rule status is honest and current.

Yellow markers mean PFAS were detected at or above EPA’s reporting threshold (the minimum reporting level) but no individual compound exceeded an MCL. Detection at any level is not necessarily a regulatory violation, but it is a signal that PFAS treatment may be needed before the 2031 compliance deadline.

Methodology and data sources

  • Drinking-water detections: EPA PFAS Analytic Tools, UCMR 5 layer. Filtered to Kentucky samples at or above the minimum reporting level. We aggregate the raw 2023–2025 sample records to one entry per public water system, taking the most-recent reading per compound.
  • Superfund sites: EPA PFAS Analytic Tools, Superfund-with-PFAS layer. Includes National Priorities List sites and Superfund Alternative Approach sites where PFAS has been detected.
  • Federal and DoD sites: EPA PFAS Analytic Tools, federal-sites layer. PFOA and PFOS values are maximum readings from groundwater monitoring wells at each installation, not finished drinking water.
  • Spills: EPA PFAS Analytic Tools, spills layer. Covers reported releases involving PFAS-containing materials.

UCMR 5 only required community water systems serving 3,300 or more people, plus a representative sample of smaller systems, to test for PFAS. Private wells, very small public systems, and bottled water are not in this dataset. Absence of a dot on the map does not mean absence of PFAS.

What you can do

  • Check whether your utility appears in the table above or on the map. If it does, your utility is required to come into compliance with the federal PFOA/PFOS MCL by 2031 — usually via granular activated carbon, ion-exchange resin or reverse osmosis treatment.
  • If you are on a private well in or near a flagged area, consider independent PFAS testing through a state-certified laboratory.
  • Look up your most recent Consumer Confidence Report (CCR), which utilities are required to publish annually. PFAS results from UCMR 5 must now appear there.
  • If you want point-of-use protection, only filters certified to NSF/ANSI 53 or NSF/ANSI 58 for PFOA and PFOS reduction will reliably remove PFAS.

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About the Author
I'm Daniel O'Donohue, the voice and creator behind The MapScaping Podcast ( A podcast for the geospatial community ). With a professional background as a geospatial specialist, I've spent years harnessing the power of spatial to unravel the complexities of our world, one layer at a time.