California’s Proposition 65 (“Prop. 65”), the Safe Drinking Water and Toxic Enforcement Act of 1986, requires, among other things, sellers of products to provide a “clear and reasonable warning” if use of the product results in a knowing and intentional exposure to one of more than 900 different chemicals “known to the State of California” to cause cancer or reproductive toxicity, which are included on The Proposition 65 List. For additional background information, see the Special Focus article, California's Proposition 65: A Regulatory Conundrum. Because Prop. 65 permits enforcement of the law by private individuals (the so-called bounty hunter provision), this section of the statute has long been a source of significant claims and litigation in California. It has also gone a long way in helping to create a plaintiff’s bar that specializes in such lawsuits. This is because the statute allows recovery of attorney’s fees, in addition to the imposition of civil penalties as high as $2,500 per day per violation. Thus, the costs of litigation and settlement can be substantial. The purpose of Keller and Heckman’s latest publication, Prop 65 Pulse, is to provide our readers with an idea of the ongoing trends in bounty hunter activity. In January of 2025, product manufacturers, distributors, and retailers were the targets of 337 new Notices of Violation (“Notices”) and amended Notices, alleging a violation of Prop. 65 for failure to provide a warning for their products. This was based on the alleged presence of the following chemicals in these products. Noteworthy trends and categories from Notices sent in January 2025 are excerpted and discussed below. A complete list of Notices sent in January 2025 can be found on the California Attorney General’s website, located here: 60-Day Notice Search. |
Food and Drug | ||
Product Category | Notice(s) | Alleged Chemicals |
Dietary Supplements: Notices include protein powder, prenatal vitamins, and spirulina | 22 Notices | Lead and Lead Compounds |
Assorted Prepared Food and Snacks: Notices include chips, soup mix, plant-based patties, and protein bars | 21 Notices | Cadmium and Lead and Lead Compounds |
Seafood: Notices include sardines, mussels, cod liver, tuna, and clams | 19 Notices | Cadmium and Cadmium Compounds and Lead and Lead Compounds |
Cannabinoid Products: Notices include tinctures, gummies, CBD oil, and seltzer | 14 Notices | Delta-9-tetrahydrocannabinol |
Fruits and Vegetables: Notices include olives, chopped spinach, dried tomatoes, and artichoke hearts | 13 Notices | Lead and Lead Compounds and Cadmium and Cadmium Compounds |
Spices and Sauces: Notices include chat masala, dried ginger, and chili | 6 Notices | Lead and Lead Compounds |
Noodles, Pasta, and Rice: Notices include vegetable lasagna, cheese tortellini, and angel hair pasta | 4 Notices | Lead and Lead Compounds and Cadmium |
Mint Products: Notices include mint candy and mint caffeine pouches | 2 Notices | Pulegone |
Seafood: Notices include whole clams and sardines | 2 Notices | Perfluorononanoic acid (PFNA) and its salts, Perfluorooctane Sulfonate (PFOS), and Perfluorooctanoic Acid (PFOA) |
Dietary Supplements | 1 Notice | Perfluorooctanoic Acid (PFOA) |
Fruits and Vegetables: Notices include dried mandarin oranges | 1 Notice | Perfluorooctanoic Acid (PFOA) |
Cosmetics and Personal Care | ||
Product Category | Notice(s) | Alleged Chemicals |
Personal Care Products: Notices include shaving cream, moisturizers, shampoo, sunscreen, and hair dye | 52 Notices | Diethanolamine |
Personal Care Products: Notices include shaving cream, cleansing foam, and hair mousse | 5 Notices | Nitrous oxide |
Consumer Products | ||
Product Category | Notice(s) | Alleged Chemicals |
Plastic Pouches, Bags, and Accessories: Notices include pet carriers, water bottle sleeves, lunch bags, and eyewear cases | 60 Notices | Bisphenol A (BPA), Di(2-ethylhexyl)phthalate (DEHP), Diisononyl phthalate (DINP), and Di-n-butyl Phthalate (DBP) |
Tools: Notices include screws, solder slugs, lead anchors, and brass hose nozzles | 45 Notices | Bisphenol S (BPS), Di(2-ethylhexyl)phthalate (DEHP), Di-n-butyl Phthalate (DBP), and Lead and Lead Compounds |
Glassware and Ceramics: Notices include mugs, vases, ramekins, and bowls | 38 Notices | Lead |
Housewares: Notices include tablecloths, corkscrews, and vinyl seat cushions | 11 Notices | Di(2-ethylhexyl)phthalate (DEHP), Diisononyl phthalate (DINP), Di-n-butyl Phthalate (DBP), and Lead |
Sports Gear: Notices include roller skates, batting gloves, and dumbbells | 8 Notices | Chromium (hexavalent compounds), Di(2-ethylhexyl)phthalate (DEHP), Diisononyl phthalate (DINP), and Lead |
Moth Balls | 6 Notices | Naphthalene and p-Dichlorobenzene |
Clothing, Shoes, and Jewelry: Notices include hats, gloves, rain footwear, and sandals | 5 Notices | Di(2-ethylhexyl)phthalate (DEHP) and Chromium (hexavalent compounds) |
Cookware: Notices include single-use oval burrito bowls and paper straws | 2 Notices | Perfluorooctanoic Acid (PFOA) |
There are numerous defenses to Prop. 65 claims, and proactive measures that industry can take prior to receiving a Prop. 65 Notice in the first place. Keller and Heckman attorneys have extensive experience in defense of Prop. 65 claims and in all aspects of Prop. 65 compliance and risk management. We provide tailored Proposition 65 services to a wide range of industries, including food and beverage, personal care, consumer products, chemical products, e-vapor and tobacco products, household products, plastics and rubber, and retail distribution.