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Canada Releases PFAS Reporting Rule

SafeGuardSAutomotive, Electrical & Electronics, Hardgoods, Personal and Protective Equipment, Softlines, Toys and Juvenile Products21 Aug 2024

SG 132/24

The reporting mandate applies to Canadian businesses and covers 312 substances.

On July 27, 2024, the Canadian government published a notice under section 71 of the Canadian Environmental Protection Act, 1999 (CEPA 1999), which requires Canadian businesses to provide information concerning per- and polyfluoroalkyl substances (PFAS) manufactured, imported or used as a standalone substance, in mixtures or in articles in the 2023 calendar year. The reporting requirements will be applicable to 312 PFAS compounds listed in the notice. The notice further breaks down the PFAS compounds into three parts, with different reporting requirements applicable.

Table 1 provides details with regards to the reporting requirements.


CEPA 1999 Sec 71 PFAS reporting notice
ScopeCanadian businesses, which:
  • Manufactured any of the 312 listed PFAS in a quantity above 1,000g
  • Imported more than 10g of a part 1 PFAS or more than 100kg of a part 2 or 3 PFAS, whether the substance was alone or present above 1ppm in a mixture, product or in one of 12 specified categories of reportable manufactured items
  • Imported more than 100kg of any of the 312 listed PFAS at a concentration equal or above 1ppm in a manufactured item outside the 12 specified categories
  • Used more than 10g of any of the 312 listed PFAS – either alone or in a concentration above 1ppm in the manufacture of a mixture, product or manufactured item
Product Categories12 specified categories refer to any manufactured item:
  • That is intended to be used by or for children under the age of 14 years
  • That is intended to come into contact with the mucosa of an individual
  • That is used as intended in a manner such that the substance may be inhaled, or come into dermal or oral contact with an individual
  • That is cookware, or a cooking or serving utensil that is intended to come into direct contact with heated food or beverage
  • That is food packaging material, including single-serve/disposable bowls, plates, cups and other serving-ware, as well as food cans and lid liners, that are intended to or may come into direct contact with food or beverage
  • That is a reusable food or beverage container
  • That is food processing equipment, including conveyor belts, trays, vats, nozzles, molds and cutters that come into contact with food or beverage prior to packaging and distribution
  • That is clothing or footwear, including life jackets, personal flotation devices and other safety apparel
  • That is bedding, sleeping bags or towels
  • That is furniture, mattresses, cushions or pillows intended to be used by an individual, where the substance is contained in foam or leather or in a textile fiber, yarn or fabric
  • That is carpet, vinyl or laminate flooring, or foam underlay for flooring, intended to be used by an individual
  • Such that the substance is intended to be released from the manufactured item

Table 1

The information needs to be submitted by January 29, 2025, through the Environment and Climate Change Canada’s Single Window reporting system. Additional time may be requested prior to the reporting deadline.

SGS is committed to providing information about development in regulations for consumer products as complimentary services. Through a global network of laboratories, SGS provides a wide range of services including physical/mechanical testing, analytical testing and consultancy work for technical and non-technical parameters applicable to a comprehensive range of consumer products. Contact us for more information or visit our website. In the end, it’s only trusted because it’s tested.

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For further information, please contact:

Melanie Tamayo

Melanie

Tamayo

Senior Technical Manager, SGS NA
HingWo Tsang

Dr.

Hingwo

Tsang

Global Information and Innovation Manager

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