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    PFAS

    April 10, 2026 | Written by GreenSoft Technology, Inc.

    Minnesota PFAS Reporting Update: Deadline Extension, PRISM Reports, and Webinar

     

    Minnesota PFAS reporting: a proposed deadline extension, new GDM reporting support, and an upcoming webinar you don’t want to miss

    Minnesota’s PFAS reporting requirements continue to evolve, and staying ahead of the changes is critical for electronics manufacturers selling into the state. Recent developments suggest some welcome flexibility on timing, while at the same time reinforcing the importance of accurate, manufacturer-ready reporting.

    Here’s what you need to know right now - and how GreenSoft Technology can help.

     

    Minnesota considers extending the PFAS reporting deadline

    The Minnesota Legislature is currently considering a proposal to extend the PFAS reporting deadline under the state’s PFAS in products program by one year.

    HF 4257, which was introduced to the Minnesota House legislature on March 12, 2026, would delay the initial reporting deadline until July 1, 2027, and limit reporting to products manufactured on or after that date.

    The reporting requirement would apply only to products that manufacturers intend to sell or distribute in Minnesota after July 1, 2027, and would not require back reporting for products manufactured or sold prior to that date. Additionally, the proposed legislation would also make changes to the Currently Unavailable Use (CUU) process, as well as exempt broad categories such as semiconductors, electronic components and automobiles, similar to New Mexico’s regulation.

    If adopted, an extension would provide companies with additional time to collect PFAS content data from suppliers, validate product-level information, and prepare submissions for the Minnesota PFAS reporting system (PRISM).

    It’s important to note that this is still a proposal, and has not yet been passed by the Minnesota State House or State Senate, and has not been signed into law by the Governor. Manufacturers should continue preparing as if the current reporting deadline of July 1, 2026 applies, while monitoring regulatory updates closely.

    GreenSoft will continue to monitor the regulation’s progress and will post an announcement on our blog if and when the proposal is officially adopted. Subscribe to GreenSoft’s blog to get regulation news alerts delivered right to your inbox.

     

    GreenSoft GDM software now generates a Minnesota PFAS report for PRISM submissions

    To support manufacturers preparing for Minnesota PFAS compliance, GreenSoft’s latest update to GreenData Manager (GDM) software now includes a Minnesota-specific PFAS report designed to help manufacturers prepare required data for submission through the Minnesota PRISM portal.

    Using PFAS substance data already managed in GDM, users can quickly identify products and components with intentionally added PFAS and generate a consolidated Minnesota PRISM report across selected BOMs. The report aligns with the PFAS substance lists and data fields defined by Minnesota, helping reduce manual research and improving consistency across products.

    The GDM‑generated Minnesota PRISM report serves as a structured source file that can be used to efficiently populate the official PRISM Excel template required by the state. This approach minimizes repetitive data entry, supports internal review before submission, and helps manufacturers catch potential data issues - such as missing identifiers or substances not yet listed in PRISM - early in the process.

    Minnesota PRISM reporting is supported in GDM Desktop Edition and GDM Workgroup Edition. For manufacturers using Hosted GDM, GreenSoft can generate the Minnesota PRISM report on your behalf at no additional cost, ensuring all customers can access the same reporting capability regardless of deployment model.

    By leveraging GDM for Minnesota PFAS reporting, manufacturers can move away from ad‑hoc spreadsheets and toward a repeatable, auditable reporting workflow that supports both current reporting obligations and future annual updates.

     

    Join our upcoming webinar: Minnesota PFAS reporting for electronics manufacturers

    To help manufacturers navigate Minnesota PFAS reporting with greater confidence, we’re hosting a live webinar on Tuesday, April 28, 2026 focused specifically on Minnesota requirements for electronics manufacturers.

    In this session, we’ll cover:

    • An overview of Minnesota’s PFAS reporting requirements
    • Who must submit and what data is needed to submit
    • How PRISM reporting works from a manufacturer perspective
    • A look at how GreenSoft supports Minnesota PFAS reporting
    • What’s being proposed in HF 4257 and how it could impact reporting if enacted, plus any important developments to the proposal that might occur between now and the webinar date

    Whether you’re just starting to assess your obligations or actively preparing your submission, this webinar is designed to provide clarity, practical guidance, and real-world insights.

    Register now: https://www.greensofttech.com/resources/events/webinar-registration-minnesota-pfas-reporting-for-electronics-manufacturers/

     

    GreenSoft helps you stay ready as Minnesota PFAS requirements continue to evolve

    Regulatory proposals can shift timelines, but they don’t eliminate the need for accurate PFAS data and repeatable reporting processes. Manufacturers best positioned to protect both regulatory standing and market access are those investing now in systems that support consistent, defensible reporting.

    GreenSoft will continue to monitor Minnesota PFAS developments closely and keep our customers informed. In the meantime, leveraging GDM’s new Minnesota PFAS reporting capabilities and joining our upcoming webinar can help ensure you stay ahead, compliant, and prepared.

    If you’d like help understanding how GreenSoft data services and GDM software can streamline PFAS reporting and reduce internal burden, our team is here to support you. Contact us today to learn more.

     

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    Minnesota may extend its PFAS reporting deadline to July 1, 2027, while new GDM software capabilities now support Minnesota PRISM report generation. Learn how the proposed changes, reporting exemptions, and GreenSoft’s upcoming webinar can help electronics manufacturers stay compliant and prepared.

    EPA Extends Start Date for TSCA 8(a)(7) PFAS Reporting Rule

    The EPA has delayed the start of TSCA 8(a)(7) PFAS reporting by 60 days pending a final rule revision. Learn how the extension, proposed exemptions, and new thresholds impact electronics manufacturers, and how GreenSoft supports PFAS data collection and TSCA compliance.

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    Join Our April Webinar

    Minnesota PFAS Reporting for Electronics Manufacturers

    Minnesota’s PFAS reporting law is one of the most far‑reaching PFAS regulations in the U.S., and the first major reporting deadline, July 1, 2026, is approaching quickly. This webinar breaks down the regulation, the data collection requirements, and the submission process step‑by‑step.

    Tuesday, April 28, 2026

    Registration

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    Join Our April 28th Webinar

    Minnesota PFAS Reporting for Electronics Manufacturers

    Session 1:

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    Register for Session 1

    Session 2:

    11:00 AM PT / 2:00 PM ET / 8:00 PM CEST

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