If no methods exist, make this clear when you submit all other information about the PFAS ingredient to the MDA.
If no methods exist, make this clear when you submit all other information about the PFAS ingredient to the MDA.
The law only requires information on product ingredients that meet the Minnesota definition of PFAS be submitted. CSFs will not be required for PFAS reporting.
The law only requires information on product ingredients that meet the Minnesota definition of PFAS be submitted. CSFs will not be required for PFAS reporting.
Containers are not considered part of a pesticide product and thus pesticide containers will not be regulated by the MDA. Containers, including those that are fluorinated, are regulated by the Minnesota Pollution Control Agency. Questions about regulation of fluorinated containers can be directed to: pfasinfo.pca@state.mn.us.
Containers are not considered part of a pesticide product and thus pesticide containers will not be regulated by the MDA. Containers, including those that are fluorinated, are regulated by the Minnesota Pollution Control Agency. Questions about regulation of fluorinated containers can be directed to: pfasinfo.pca@state.mn.us.
No.
No.
Registrants are responsible for determining if their products meet the definition of “cleaning product” and notifying the MDA on renewals.
Registrants are responsible for determining if their products meet the definition of “cleaning product” and notifying the MDA on renewals.