Minnesota is one of several states that has started regulating per- and polyfluoroalkyl substances (“PFAS”) in drinking water and consumer products. This client alert reflects the status of PFAS regulations in Minnesota as of February 6, 2020.

For more information on PFAS chemicals, and the regulatory and litigation risks that they pose, please visit our PFAS webpage. If you have a question about how to manage PFAS risk in Minnesota, or any other jurisdiction, please contact Tom Lee, Susan Brice, John Kindschuh, or any other member of our PFAS team at Bryan Cave Leighton Paisner LLP.

This document provides a general summary and is for information/educational purposes only. It is not intended to be comprehensive, nor does it constitute legal advice. Specific legal advice should always be sought before taking or refraining from taking any action.