Related Insights

PFAS State Law Acceleration: Connecticut Live, Minnesota Submitted — Where the Next State Laws Are Coming

PFAS State Law Acceleration: Connecticut Live, Minnesota Submitted — Where the Next State Laws Are Coming

State‑driven PFAS regulations are reshaping the specialty chemical landscape. With Connecticut’s labeling law now active and Minnesota’s PRISM reporting deadline passed, manufacturers face a patchwork of rules. Maine, Oregon, and Colorado are next in line, targeting food packaging, textiles, and consumer goods. A comprehensive compliance matrix is no longer optional; it’s essential for managing disclosure, labeling, and reporting across jurisdictions.

EPA’s PFAS TSCA Reporting Rule Finalized June 2026: What Importers Must Do Now

EPA’s PFAS TSCA Reporting Rule Finalized June 2026: What Importers Must Do Now

The EPA has finalized a sweeping PFAS reporting rule under TSCA Section 8(a)(7), covering all PFAS manufactured and imported in the U.S. from 2011‑2022. Importers of PFAS‑containing resins, coatings and functional chemicals need to act fast to meet the new compliance window and portal requirements. This article explains the rule, the reporting timeline, and practical steps to stay compliant.

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