ARTICLE
6 November 2023

Connecticut's Ban On "Intentionally Added" PFAS In Food Packaging Begins On New Year's Eve

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Shipman & Goodwin LLP
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Shipman & Goodwin’s value lies in our commitment -- to our clients, to the profession and to the community. We have one goal: to help our clients achieve their goals. How we accomplish it is simple: we devote our considerable experience and depth of knowledge to understand each client’s unique needs, business and industry, and then we develop solutions to meet those needs. Clients turn to us when they need a trusted advisor. With our invaluable awareness of each client’s challenges, we can counsel them at every step -- to keep their operations running smoothly, help them navigate complex business transactions, position them for future growth, or resolve business disputes. The success of our clients is of primary importance to us and our attorneys invest meaningful time getting to know the client's business and are skilled in the practice areas and industry sectors critical to that success. With more than 175 attorneys in offices throughout Connecticut, New York and in Washington, DC, we serve the needs of
Beginning December 31, 2023, food packaging used in Connecticut cannot include intentionally added per- and polyfluoroalkyl substances (PFAS). All food producers and packaging manufacturers with products...
United States Environment
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Beginning December 31, 2023, food packaging used in Connecticut cannot include intentionally added per- and polyfluoroalkyl substances (PFAS). All food producers and packaging manufacturers with products sold or distributed in Connecticut will be impacted by this far-reaching ban, which:

  • Pertains to any package or packaging component applied to or in direct contact with any food or beverage, such as wraps, to-go containers, food boats and cups;
  • Prohibits PFAS that are "intentionally introduced" during manufacturing or distribution where their continued presence is desired for a specific characteristic, appearance or quality (e.g., grease resistance); and
  • Also prohibits PFAS alternatives or replacements if such chemicals create an equal or greater hazard than the PFAS being replaced.
  • Note, however, PFAS present in food packaging or packaging components due to recycled materials are not restricted.

As detailed in a prior post, Connecticut is one of several states acting independently to ban intentionally added PFAS in food packaging, with several other states' laws already in (or soon to be in) effect. Looking ahead, Oregon's ban takes effect January 1, 2024, and Rhode Island's takes effect July 1, 2024. Additionally, Maine's requirement that manufacturers notify the state of products with intentionally added PFAS has been modified as follows: (i) only the PFAS content of the product—not its packaging—must be reported; and (ii) the effective date has been pushed back to January 1, 2025.

The patchwork approach by states makes it very important for manufacturers and distributors with multi-state footprints to be aware of, and understand, each ban and their differences to ensure they comply with all applicable requirements.

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PFAS are a hot topic in Connecticut and nationally. Our environmental attorneys are advising clients in various sectors on the evolving legal, regulatory and technical impacts of PFAS on their operations and transactions.

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.

ARTICLE
6 November 2023

Connecticut's Ban On "Intentionally Added" PFAS In Food Packaging Begins On New Year's Eve

United States Environment
Contributor
Shipman & Goodwin LLP  logo
Shipman & Goodwin’s value lies in our commitment -- to our clients, to the profession and to the community. We have one goal: to help our clients achieve their goals. How we accomplish it is simple: we devote our considerable experience and depth of knowledge to understand each client’s unique needs, business and industry, and then we develop solutions to meet those needs. Clients turn to us when they need a trusted advisor. With our invaluable awareness of each client’s challenges, we can counsel them at every step -- to keep their operations running smoothly, help them navigate complex business transactions, position them for future growth, or resolve business disputes. The success of our clients is of primary importance to us and our attorneys invest meaningful time getting to know the client's business and are skilled in the practice areas and industry sectors critical to that success. With more than 175 attorneys in offices throughout Connecticut, New York and in Washington, DC, we serve the needs of
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