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commitment

CPE is committed to Safe & Healthy Cooking

CPE is striving for a Better Tomorrow

Cookware Chemicals Disclosure

 

California Assembly Bill 1200 (“A.B. 1200”) is a law that sets forth disclosure and labelling requirements for manufacturers of cookware:

·       “Cookware” means durable houseware items that are used in homes and restaurants to prepare, dispense, or store food, foodstuffs, or beverages. “Cookware” includes pots, pans, skillets, grills, baking sheets, baking molds, trays, bowls, and cooking utensils.

·       “Kitchen Electrics” encompasses a variety of small, electric-powered appliances designed for kitchen use, including blenders, food processors, coffee makers, toasters, electric kettles, electric grills, waffle makers, electric skillets, mixers, hand blenders, food choppers, electric can openers, electric knives, rice cookers, juicers, and electric citrus presses. These appliances are tailored to streamline and enhance various aspects of food preparation and cooking.

·       The disclosure and labeling requirements only apply when a listed chemical is intentionally included in the handle of the product or in any product surface that comes into contact with food, foodstuffs, or beverages.

·       The designated chemicals are the Candidate Chemicals identified in the Safer Consumer Products Regulations.

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** This includes all components such as rivets, handles, lids, vessels for both aluminum, carbon steel and stainless steel.**

Information on Chemicals

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PFAS Disclosure

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PTFE, PFA and FEP are all fluoropolymers that create a non-stick surface on the food-contact surface of cookware and bakeware products. Although inert solids, PTFE, PFA and FEP are classified as PFAS substances and must be disclosed. Given that PFAS is a broad categorization that includes thousands of fluorochemicals, we recommend visiting the below source to learn more about the different types of PFAS substances.

https://cookwareandbakeware.org/good-science/

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Our Priority at CHK is to produce safe and high-quality products to improve consumers’ daily lives. In relation to Minnesota Statute Section 116.943, Subd. 5(a) (hereinafter referred to as the “2025 PFAS MN Law”) which is a part of Amara’s law, no cookware (among other products) that contains intentionally added per- or polyfluoroalkyl substances (PFAS) may be sold, offered for sale or distributed in Minnesota after December 31, 2024. All our products comply with relevant rules established by the Federal Food and Drug Administration, including the relevant requirements of Title 21 of the Code of Federal Regulations governing the safe use of substances in contact with food. In regards to this Statue the below ranges will not be sold in Minnesota beginning Jan 1, 2025.

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