Generate valid PFAS Certificates in 2 Minutes, from our website
CA & NY inspectors accept our PDF
CA & NY inspectors accept our PDF
Join the early-access list
First 100: 50% off launch (Q4 2025)
Join Early Access
The Compliance Headache – Solved
California
Jan 1, 2025
Ban on intentionally added PFAS (or ≥100 ppm total fluorine) in textile articles & apparel; certificate-of-compliance required.
All textile goods and apparel sold in CA (except certain outdoor apparel until 2028).
New York
Jan 1, 2025
Ban on intentionally added PFAS in all new apparel.
Apparel & accessories marketed in NY.
Minnesota
Jan 1, 2025
Ban on intentionally added PFAS in 11 product categories (carpets, cookware, cosmetics, ski wax, etc.) — Amara’s Law Phase 1.
Listed categories sold in MN.
Colorado
Jan 1, 2025
Ban on intentionally added PFAS in cosmetics, indoor textile furnishings, and indoor upholstered furniture.
Products sold or distributed in CO.
Washington
Jan 1, 2025
Restriction on PFAS in aftermarket stain-resistant sprays, carpets & rugs (Safer Products Cycle 1).
Manufacturers of listed items in WA.
Maine
Jan 1, 2025
Initial reporting of any product with intentionally added PFAS to Maine DEP.
All PFAS-containing products shipped into ME.
US (EPA)
May 8, 2025
One-time TSCA §8(a)(7) PFAS production/import report covering years 2011-2022.
All PFAS manufacturers & importers (articles included).
Washington
Jan 1, 2026
Ban on PFAS in leather & textile furniture/furnishings intended for indoor use (Safer Products Cycle 1 Phase 2).
Furniture & furnishings sold in WA.
Colorado
Jan 1, 2026
Ban on intentionally added PFAS in cookware (SB 24-081 amending HB 22-1345).
Cookware sold in CO.
Minnesota
Jan 1, 2026
Mandatory reporting of PFAS in any product (Amara’s Law Phase 2).
All products containing PFAS sold in MN.
Vermont
Jan 1, 2026
Ban on PFAS in cosmetics, menstrual products, and certain PPE (Act 36 & Act 131).
Specified products offered in VT.
US (EPA)
Oct 13, 2026
Extended TSCA §8(a)(7) reporting deadline for small-importer PFAS article reporters.
Small-volume importers of PFAS articles.
California
Jan 1, 2025
Ban on intentionally added PFAS (or ≥100 ppm total fluorine) in textile articles & apparel; certificate-of-compliance required.
All textile goods and apparel sold in CA (except certain outdoor apparel until 2028).
New York
Jan 1, 2025
Ban on intentionally added PFAS in all new apparel.
Apparel & accessories marketed in NY.
Minnesota
Jan 1, 2025
Ban on intentionally added PFAS in 11 product categories (carpets, cookware, cosmetics, ski wax, etc.) — Amara’s Law Phase 1.
Listed categories sold in MN.
Colorado
Jan 1, 2025
Ban on intentionally added PFAS in cosmetics, indoor textile furnishings, and indoor upholstered furniture.
Products sold or distributed in CO.
Washington
Jan 1, 2025
Restriction on PFAS in aftermarket stain-resistant sprays, carpets & rugs (Safer Products Cycle 1).
Manufacturers of listed items in WA.
Maine
Jan 1, 2025
Initial reporting of any product with intentionally added PFAS to Maine DEP.
All PFAS-containing products shipped into ME.
US (EPA)
May 8, 2025
One-time TSCA §8(a)(7) PFAS production/import report covering years 2011-2022.
All PFAS manufacturers & importers (articles included).
Washington
Jan 1, 2026
Ban on PFAS in leather & textile furniture/furnishings intended for indoor use (Safer Products Cycle 1 Phase 2).
Furniture & furnishings sold in WA.
Colorado
Jan 1, 2026
Ban on intentionally added PFAS in cookware (SB 24-081 amending HB 22-1345).
Cookware sold in CO.
Minnesota
Jan 1, 2026
Mandatory reporting of PFAS in any product (Amara’s Law Phase 2).
All products containing PFAS sold in MN.
Vermont
Jan 1, 2026
Ban on PFAS in cosmetics, menstrual products, and certain PPE (Act 36 & Act 131).
Specified products offered in VT.
US (EPA)
Oct 13, 2026
Extended TSCA §8(a)(7) reporting deadline for small-importer PFAS article reporters.
Small-volume importers of PFAS articles.
California
Jan 1, 2025
Ban on intentionally added PFAS (or ≥100 ppm total fluorine) in textile articles & apparel; certificate-of-compliance required.
All textile goods and apparel sold in CA (except certain outdoor apparel until 2028).
New York
Jan 1, 2025
Ban on intentionally added PFAS in all new apparel.
Apparel & accessories marketed in NY.
Minnesota
Jan 1, 2025
Ban on intentionally added PFAS in 11 product categories (carpets, cookware, cosmetics, ski wax, etc.) — Amara’s Law Phase 1.
Listed categories sold in MN.
Colorado
Jan 1, 2025
Ban on intentionally added PFAS in cosmetics, indoor textile furnishings, and indoor upholstered furniture.
Products sold or distributed in CO.
Washington
Jan 1, 2025
Restriction on PFAS in aftermarket stain-resistant sprays, carpets & rugs (Safer Products Cycle 1).
Manufacturers of listed items in WA.
Maine
Jan 1, 2025
Initial reporting of any product with intentionally added PFAS to Maine DEP.
All PFAS-containing products shipped into ME.
US (EPA)
May 8, 2025
One-time TSCA §8(a)(7) PFAS production/import report covering years 2011-2022.
All PFAS manufacturers & importers (articles included).
Washington
Jan 1, 2026
Ban on PFAS in leather & textile furniture/furnishings intended for indoor use (Safer Products Cycle 1 Phase 2).
Furniture & furnishings sold in WA.
Colorado
Jan 1, 2026
Ban on intentionally added PFAS in cookware (SB 24-081 amending HB 22-1345).
Cookware sold in CO.
Minnesota
Jan 1, 2026
Mandatory reporting of PFAS in any product (Amara’s Law Phase 2).
All products containing PFAS sold in MN.
Vermont
Jan 1, 2026
Ban on PFAS in cosmetics, menstrual products, and certain PPE (Act 36 & Act 131).
Specified products offered in VT.
US (EPA)
Oct 13, 2026
Extended TSCA §8(a)(7) reporting deadline for small-importer PFAS article reporters.
Small-volume importers of PFAS articles.
Pain points
Pain points
Lose shelf space when you can’t show a PFAS certificate.
Manual PDFs eat
4-6 hours per SKU.
State rules shift - risk a $5000 fine per item.
Solutions
Solutions
Instant proof: retailers accept our online generated auto-signed PDF.
3–5 minutes from validated inputs to state-specific certificate.
Generated certificates are stored for 2-click access, each coming with an expiry reminder.
Join the early-access list
First 100: 50% off launch (Q4 2025)
Beta brands
Beta
Real feedback soon
“Coming soon: testimonial.”
Brand 1
Apparel
“Coming soon: testimonial.”
Brand 2
Home textiles
“Coming soon: testimonial.”
Brand 3
Gear
What’s the price for one certificate?
Targeting $49 per SKU at launch.
Is my data secure?
Yes. All uploads are encrypted in transit (TLS 1.3) and at rest (AES-256). We follow California CPRA and New York SHIELD Act security requirements, and our infrastructure is on a SOC 2-audited cloud.
When do you launch?
Initial rollout in Q4 2025. Join for beta access.
What’s the price for one certificate?
Targeting $49 per SKU at launch.
Is my data secure?
Yes. All uploads are encrypted in transit (TLS 1.3) and at rest (AES-256). We follow California CPRA and New York SHIELD Act security requirements, and our infrastructure is on a SOC 2-audited cloud.
When do you launch?
Initial rollout in Q4 2025. Join for beta access.
What’s the price for one certificate?
Targeting $49 per SKU at launch.
Is my data secure?
Yes. All uploads are encrypted in transit (TLS 1.3) and at rest (AES-256). We follow California CPRA and New York SHIELD Act security requirements, and our infrastructure is on a SOC 2-audited cloud.
When do you launch?
Initial rollout in Q4 2025. Join for beta access.