sales@greensofttech.com+1-323-254-5961
    • Services
      • Chemical Regulations
        • California Proposition 65
        • EU Medical Device Regulation (MDR)
        • EU REACH
        • EU RoHS
        • Ozone Depleting Substances (ODS)
        • Persistent Organic Pollutants (POPs)
        • PFAS Regulations
        • SCIP Database
        • U.S. Toxic Substances Control Act (TSCA)
      • Corporate Social Responsibility
        • Anti-Slavery and Human Trafficking
        • Conflict Minerals (CMRT & EMRT)
        • Smelter or Refiner (SOR) Validation
      • Other Services
        • eCMA Forms for Boston Scientific Suppliers
        • Full Material Declaration (FMD)
        • Material Declaration and SDoC Collection
    • Software
      • All Software
        • On-Premise GreenData Manager Software
        • Cloud-Based Hosted GreenData Manager Software
        • PLM/ERP Integration
      • GDM Add-on Modules
        • Component Disclosure Module
        • Conflict Minerals Module
        • EMRT Module
        • Escalation Manager Module
        • iGDM Component Database Search
        • SCIP Module
    • Resources
      • Data Sheets
      • ✅ BOM Scrub Tool – Estimate Your Project Timeline Online
      • EU RoHS & UK RoHS Combined Exemptions List
      • Events and Webinars
        • 📌 WEBINAR: Building Your Environmental Compliance Plan – Register Now!
      • IPC-1752A Viewer Tool
      • PFAS Resource Center
      • SCIP Database FAQ
      • Webinars and Videos Archive
      • White Paper Library
    • Company
      • About GreenSoft
      • Careers
      • Customers
      • Case Studies
      • Security
    • Blog
    • Contact
    • Services
      • Chemical Regulations
        • California Proposition 65
        • EU Medical Device Regulation (MDR)
        • EU REACH
        • EU RoHS
        • Ozone Depleting Substances (ODS)
        • Persistent Organic Pollutants (POPs)
        • PFAS Regulations
        • SCIP Database
        • U.S. Toxic Substances Control Act (TSCA)
      • Corporate Social Responsibility
        • Anti-Slavery and Human Trafficking
        • Conflict Minerals (CMRT & EMRT)
        • Smelter or Refiner (SOR) Validation
      • Other Services
        • eCMA Forms for Boston Scientific Suppliers
        • Full Material Declaration (FMD)
        • Material Declaration and SDoC Collection
    • Software
      • All Software
        • On-Premise GreenData Manager Software
        • Cloud-Based Hosted GreenData Manager Software
        • PLM/ERP Integration
      • GDM Add-on Modules
        • Component Disclosure Module
        • Conflict Minerals Module
        • EMRT Module
        • Escalation Manager Module
        • iGDM Component Database Search
        • SCIP Module
    • Resources
      • Data Sheets
      • ✅ BOM Scrub Tool – Estimate Your Project Timeline Online
      • EU RoHS & UK RoHS Combined Exemptions List
      • Events and Webinars
        • 📌 WEBINAR: Building Your Environmental Compliance Plan – Register Now!
      • IPC-1752A Viewer Tool
      • PFAS Resource Center
      • SCIP Database FAQ
      • Webinars and Videos Archive
      • White Paper Library
    • Company
      • About GreenSoft
      • Careers
      • Customers
      • Case Studies
      • Security
    • Blog
    • Contact

    PFAS

    February 26, 2024 | Written by GreenSoft Technology, Inc.

    Minnesota Seeking Input on PFAS Rulemakings

    Engagement opportunity for stakeholders to submit feedback on PFAS proposal in Minnesota

    The Minnesota Pollution Control Agency (MPCA) has announced a public engagement period in which interested parties can submit feedback on the state’s PFAS regulation.

    Minnesota’s bill regulating the selling of per- and polyfluoroalkyl substances (PFAS), or “forever chemicals,” in the state of Minnesota was signed into law on May 24, 2023, and comes into effect in January 2026.

    Effective January 1, 2026, this new rule provides a new PFAS reporting mandate which requires manufacturers of products sold in Minnesota which contain intentionally-added PFAS to report details on the product and it’s PFAS content to the MPCA. 

    Effective January 1, 2032, the rule moves from a reporting requirement to a PFAS ban. From this date, any products that contain intentionally added PFAS may not be sold, offered for sale, or distributed for sale in Minnesota, unless the MPCA determines by rule that the use of PFAS in the product is a currently unavoidable use.

    Ahead of this deadline, the MPCA is determining how it will define “currently unavoidable uses” of PFAS in products sold, offered for sale, or distributed in Minnesota.

    Interested parties have until March 1, 2024 to submit their feedback. Feedback can be submitted online here.

    More information about the state’s PFAS regulation can be found on our blog here. Additionally, information on PFAS regulations across the US and around the globe can be found in our PFAS Resource Center.

    GreenSoft Technology offers a PFAS compliance solution for manufacturers

    GreenSoft Technology’s Data Services solution provides affected companies with the chemical data from their supply chain that is needed to comply with the Minnesota PFAS regulation as well as other PFAS regulations around the globe.

    Our data collection team will contact your suppliers to obtain data on the PFAS chemicals and other substances contained in your product and components. We’ll validate that data for accuracy and completeness, and then check it against the U.S. Environmental Protection Agency (EPA) Master List of PFAS Chemicals, the Organisation for Economic Co-operation and Development (OECD) list of PFAS chemicals, and any other global environmental regulations that you must comply with.

    With our Turnkey Service, we can generate the necessary compliance reports for you. Or you can use our GreenData Manager software to manage your company’s substance database and easily generate reports for this and other environmental regulations.

    Contact us to learn more.

    Subscribe to our Blog

    Blog Search & Categories

    Categories
    • Anti-Slavery and Human Trafficking
    • CA Prop 65 PFAS
    • California Proposition 65
    • Canada PFAS
    • Canadian Environmental Protection Act
    • CE Mark
    • Certificate of Compliance
    • China RoHS
    • Component Disclosure Module
    • Conflict Minerals & Extended Minerals
    • eCMA Forms
    • EN 50581/EN IEC 63000:2018
    • EU Battery Directive
    • EU Green Deal
    • EU Medical Device Regulation (MDR)
    • EU Packaging Regulation
    • EU Persistent Organic Pollutants (POPs) Regulation
    • EU PFAS
    • EU REACH
    • EU RoHS
    • EU Volatile Organic Compounds (VOC)
    • Events
    • French Environmental Labeling Requirements
    • Full Material Declaration (FMD)
    • GreenData Manager Software
    • GreenSoft Data Services
    • GreenSoft Technology
    • Hosted GreenData Manager (GDM) Software
    • IEC 62474
    • iGDM Component Database Search
    • IPC-1752A
    • IPC-1752A Viewer
    • JGPSSI & JIG-101
    • Korea REACH
    • Maine PFAS
    • Maritime
    • Market Access
    • Minnesota PFAS
    • New Mexico PFAS
    • PFAS
    • SCIP Database
    • Seminars
    • Trade Shows
    • TSCA PFAS
    • U.S. Toxic Substances Control Act (TSCA)
    • UK RoHS
    • Uncategorized
    • Webinars
    • White Paper Library

    Related Posts

    Plan to Implement Exemptions, Modifications to Scope of TSCA 8(A)(7) PFAS Rule Confirmed

    EPA plans to issue a notice of proposed rulemaking (NPRM) in December 2025

    EU PFAS Ban Update: ECHA Takes Next Step in Restricting PFAS under EU REACH

    The European Chemicals Agency (ECHA) has published an updated proposal to restrict PFAS under the EU REACH regulation.

    Minnesota PFAS Reporting Deadline Extended Six Months

    Deadline for reporting PFAS under Minnesota’s new regulation pushed to July 1, 2026

    Australia Bans PFOS, PFOA, and PFHxS Under New PFAS Regulation

    New PFAS Ban in Australia Effective July 1, 2025

    PFAS Reporting Period Under U.S. Toxic Substances Control Act (TSCA) Delayed Until 2026

    The EPA has announced the delay of the PFAS reporting period under U.S. Toxic Substances Control Act (TSCA) from July 2025 to April 2026.

    Company

    About 
    Blog
    Contact

    Services

    Data Services 
    Software
    Resources
    Support

    Subscribe to our Blog

    © 2025 GreenSoft Technology, Inc.

      Previous Post

    • Join GreenSoft Technology at the 46th Annual SESHA Symposium

      Next Post

    • Critical ELV Directive Exemptions Under Review
    Manage Consent
    To provide the best experiences, we use technologies like cookies to store and/or access device information. Consenting to these technologies will allow us to process data such as browsing behavior or unique IDs on this site. Not consenting or withdrawing consent, may adversely affect certain features and functions.
    Functional Always active
    The technical storage or access is strictly necessary for the legitimate purpose of enabling the use of a specific service explicitly requested by the subscriber or user, or for the sole purpose of carrying out the transmission of a communication over an electronic communications network.
    Preferences
    The technical storage or access is necessary for the legitimate purpose of storing preferences that are not requested by the subscriber or user.
    Statistics
    The technical storage or access that is used exclusively for statistical purposes. The technical storage or access that is used exclusively for anonymous statistical purposes. Without a subpoena, voluntary compliance on the part of your Internet Service Provider, or additional records from a third party, information stored or retrieved for this purpose alone cannot usually be used to identify you.
    Marketing
    The technical storage or access is required to create user profiles to send advertising, or to track the user on a website for marketing purposes.
    Manage options Manage services Manage {vendor_count} vendors Read more about these purposes
    View preferences
    {title} {title} {title}