ARTICLE
3 June 2026

Connecticut Posts PFAS Reporting Form For Manufacturers; Will Post Fillable Version In Early June

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Bergeson & Campbell

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Bergeson & Campbell, P.C. is a Washington D.C. law firm focusing on chemical product approval and regulation, product defense, and associated business issues. The Acta Group, B&C's scientific and regulatory consulting affiliate provides strategic, comprehensive support for global chemical registration, regulation, and sustained compliance. Together, we help companies that make and use chemicals commercialize their products, maintain compliance, and gain competitive advantage as they market their products globally.
Beginning July 1, 2026, Connecticut will prohibit the manufacture, sale, and distribution of certain consumer products that contain intentionally added per- and polyfluoroalkyl substances (PFAS)...
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Beginning July 1, 2026, Connecticut will prohibit the manufacture, sale, and distribution of certain consumer products that contain intentionally added per- and polyfluoroalkyl substances (PFAS) unless the manufacturer provides prior notification to the Connecticut Department of Energy and Environmental Protection (DEEP) and labels these products. The consumer products are apparel; carpets or rugs; cleaning products; cookware; cosmetic products; dental floss; fabric treatments; children’s products; menstruation products; textile furnishings; ski wax; or upholstered furniture. DEEP recently posted a PDF of its PFAS Reporting Form for Manufacturers for informational purposes. While the form cannot be submitted until DEEP publishes the fillable version in early June 2026, manufacturers can review the form now to ensure that they have the information required to complete the form. For each product category, the form requires the amount (in grams (g)) of each PFAS or subgroup; the range by percent weight in the product category; the component, if applicable; and the total fluorine (in parts per million (ppm)), if applicable. For each category selected, manufacturers must then provide a brief description of the product(s) and the function or purpose of the PFAS in each product.

According to DEEP’s website, the following labels have been approved:

  • Contains PFAS;
  • Made with PFAS;
  • Made with PFAS chemicals;
  • Made with intentionally added PFAS;
  • This product contains PFAS; and
  • Contains PFAS in Internal Components.

The label may inform the purchaser that PFAS is present in the product by including it in a list with other chemicals, stating “This product contains:” followed by a list of chemicals, including the term “PFAS” or “PFAS chemicals.” According to DEEP, chemicals in the list may be separated by commas, semicolons, the word “and,” or any combination thereof, but may not be separated by the terms “and/or” or “or.” Manufacturers can petition DEEP to approve other language or symbols.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

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