Response Recorded
You have confirmed that the products your company supplies to Alamo Group Inc. do not contain intentionally added PFAS.
Your response has been recorded. No further action is required at this time.
If your company has an existing PFAS declaration, statement, certificate, or other supporting documentation confirming that the supplied products do not contain intentionally added PFAS, please send a copy to the Regulatory Compliance Team at [email protected].
If you have any questions or selected this option in error, please contact the Regulatory Compliance Team at the same email address.
Thank you for your cooperation in supporting Alamo Group Inc.’s compliance with Minnesota PFAS reporting requirements.
Handled securely under Minn. Stat. §116.943 — used only for regulatory reporting.
Regulatory context
Minnesota's Amara's Law (Minn. Stat. §116.943) requires manufacturers to report intentionally added PFAS in products sold in the state. Where your products enter that supply chain, Alamo's report must reflect them accurately.
The declaration follows established compliance practice — comparable to REACH and CLP-style substance reporting — so the information requested will be familiar to product stewardship and regulatory teams.
Questions, answered
PFAS deliberately added to a product to serve a function — not incidental or unintended trace presence. This includes PFAS used for performance, processing, or as a component of a product.
No problem. Contact our Regulatory compliance team and we'll correct your response before any data is included in the report. Reach us at [email protected]
Your submission is confidential, GDPR-compliant, encrypted, and used only for regulatory reporting under Minn. Stat. §116.943. It is never repurposed or shared beyond compliance.
Alamo's product stewardship team is here to help — email [email protected] and we'll route your question to the right person.