In the wake of escalating global crackdowns on per- and polyfluoroalkyl substances (PFAS), or “forever chemicals”, supply chain leaders are confronting a new kind of operational risk: one that’s invisible, persistent, and increasingly litigious. From factory redesigns to multi-billion-dollar settlements, PFAS is no longer just a regulatory concern, it’s a material liability and a growing component of supply chain ESG risks.
These real-world case files illustrate how fast-moving regulations, product dependencies, and legal actions are converging in industries that once relied on PFAS for performance and durability.
Case file 01: The EV battery disruption
Industry: Automotive
Location: North America and EU
Trigger: Fluoropolymer bans and phase-outs
Impact: Design overhaul and material sourcing delays
A leading electric vehicle (EV) Original Equipment Manufacturer (OEM) had just launched a new generation battery architecture using Polyvinylidene Fluoride (PVDF) binders and separator coatings, both fluoropolymers critical to heat resistance and performance. But with the EU’s expanding PFAS restrictions and state-level phase-outs in the U.S., their supply chain team was forced to act.
When the updated REACH dossier in Europe expanded its scope to over 10,000 PFAS and signaled tighter derogation paths for EV applications, this OEM had to initiate a redesign program. Engineers scrambled to identify alternatives that met thermal and safety standards, but material qualification timelines stretched into years.
Lesson: Regulatory timelines may seem long, but redesign cycles are longer. EV leaders must map PFAS usage early and line up compliant substitutes now, or risk stranded assets in future product cycles. Resilinc helps companies trace PFAS exposure down to the part and material level, simulate the impact of regulatory changes, and proactively identify at-risk suppliers before the design window closes. This level of visibility is critical for addressing global supply chain ESG compliance, especially as environmental regulations evolve across jurisdictions.
Case file 02: The medical recall
Industry: Medical Devices
Location: Global
Trigger: Tier 2 PFAS ingredient identified
Impact: Recall preparation and global compliance review
In early 2025, a global medical device manufacturer discovered that a tier-2 supplier had incorporated a fluoropolymer coating into a diagnostic device packaging component. The material was compliant in the U.S. but newly listed as restricted in France and flagged under EU REACH updates.
As French law (No. 2025-188) moved to ban PFAS in medical packaging unless deemed “currently unavoidable,” the risk team launched a product review. Pre-market clearance was at stake in the EU, and worst-case scenarios included multi-country recalls and reputational fallout.
Lesson: PFAS exposure isn’t always where you think. Suppliers deep in the chain may be using restricted chemicals that escape initial compliance reviews. Multi-tier mapping is now essential to protect market access.
Case file 03: The 3M domino effect
Industry: Cross-Industry Impact
Location: United States
Trigger: $10.3B legal settlement over PFAS contamination
Impact: Surge in downstream litigation and risk disclosures
In April 2024, 3M reached a $10.3 billion settlement with U.S. public water suppliers over PFAS contamination, the largest environmental settlement in history. While the spotlight was on 3M, the ripple effects were just beginning.
In the months that followed, legal actions surged against not only chemical manufacturers, but also downstream users across aerospace, automotive, and consumer goods sectors. Courts and plaintiffs began modeling damages on 3M’s payout, placing unexpected liability on companies previously seen as users, not polluters.
Lesson: The 3M case changed the game. Even if you’re not producing PFAS, using them puts you on the legal radar. Litigation risk now flows downstream, and so must your mitigation strategy.
PFAS: The next frontier in managing supply chain ESG risks
PFAS restrictions are not just about compliance, they’re about resilience—and they’re fast becoming central to how organizations manage supply chain ESG risks. Supply chain teams must treat PFAS as a long-term operational hazard, integrating exposure mapping, supplier disclosures, and proactive substitution into their core risk strategy. Waiting for enforcement to arrive at your doorstep is no longer an option.
To learn more about PFAS, read the full Special Report, PFAS Bans and the Race to Eco-Friendly Supply Chains.