Minnesota continues refining its statutory restrictions on intentionally added PFAS in products (known as Amara’s Law) as the state’s deadline for the statute’s reporting requirements approaches. In early June 2026, an amendment to Amara’s Law was enacted that excludes products that contain intentionally added PFAS made before July 1, 2023 from the statute’s reporting requirement. Depending on inventory practices, that could limit the scope of any reporting obligations for many manufacturers (which, as defined, also includes manufacturers of PFAS-containing components who sell to Minnesota-bas