Webinar
April 29, 2026 | Written by GreenSoft Technology, Inc.
WATCH NOW: Minnesota PFAS Reporting for Electronics Manufacturers Webinar
Get an Overview of Minnesota’s PFAS Law, Data Requirements, and Submission Process
On April 28, GreenSoft Technology hosted a webinar on Minnesota's PFAS reporting requirements to help electronics manufacturers and distributors prepare for the upcoming reporting deadline.
Minnesota’s PFAS reporting law is one of the most far-reaching PFAS regulations in the U.S. This webinar breaks down the regulation, the data requirements, and the submission process step-by-step. You can watch a recording of the webinar in our Webinar Archive.
The Sept. 15, 2026 PFAS Reporting Deadline is Approaching
Minnesota’s PFAS law requires manufacturers to disclose any intentionally added PFAS in products sold in the state. Under the state’s newly finalized reporting rule, companies must submit detailed product and chemical information through Minnesota’s PFAS database and the PRISM reporting platform.
Electronics manufacturers and other affected industries must begin identifying PFAS in their products, assigning Minnesota specific use codes, and preparing their submissions. The state extended the initial reporting deadline from July 1 to September 15, 2026, giving companies more time but also raising new questions about expectations and enforcement.
What You’ll Learn
In this webinar, Mitchell Gilbert, Compliance Analyst for GreenSoft Technology, covers the following:
- Overview of Minnesota’s PFAS Regulation: Including requirements, reporting obligations, key deadlines, compliance timeline, and the latest on the “Currently Unavoidable Use” rulemaking process.
- Who Must Submit: Which companies and product types fall under the 2026 reporting requirement, and what exemptions do not apply.
- What Data You Need to Collect: Required PFAS information, product-level details, and documentation expectations for a complete submission.
- Minnesota PFAS Use Codes: How Minnesota’s use codes differ from TSCA, and how TSCA classifications can be leveraged to help assign the appropriate Minnesota PFAS Function to your products.
- How to Submit Through the Minnesota PFAS Database: A walkthrough of the state’s reporting system, including data entry steps, tips, and common pitfalls to avoid.
Stay Ahead of Upcoming PFAS Regulations
With new PFAS regulations and reporting requirements emerging, ensuring compliance with existing standards while preparing for impending changes can be a complex challenge.
GreenSoft identifies the presence of PFAS in your parts and materials to cover existing PFAS regulations, including EPA TSCA Section 8(a)(7), reporting requirements in Minnesota and other US states, and the proposed ban in the EU, as well as future PFAS restrictions and reporting requirements.
Our Proactive PFAS Solution:
- Hands-On PFAS Data Collection: GreenSoft collects PFAS data from your supply chain and follows up with suppliers for clarification and corrections as needed.
- Comprehensive PFAS Data Validation: Our multi-step validation process ensures the PFAS data that we collect for you is accurate and complete.
- PFAS Legislation Monitoring: Our dedicated team monitors updates to PFAS legislation worldwide to notify you when regulations change and new ones arise.
Learn about how our data solutions and GreenData Manager software can support your compliance efforts year-round. Contact us to get started with a personalized demo.
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Minnesota has officially extended its PFAS initial reporting deadline to September 15, 2026, with a 90‑day extension option available. Learn what the MPCA’s updated timeline means for manufacturers, how PRISM reporting challenges are being addressed, and how GreenSoft supports PFAS data collection and compliance.



