California AB 1200 Disclosure

StoreBound LLC always places the wellbeing of its customers at the heart of its concerns. StoreBound’s absolute priority is to produce safe and highly qualitative products to improve consumers’ daily lives. 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.

California Assembly Bill 1200 (“A.B. 1200”) and Colorado House Bill 22-1345 (“H.B. 22-1345”) require manufacturers of cookware and kitchen products to disclose the presence of certain chemicals that are intentionally added to the handle of the product or in any product surface that comes into contact with food or beverages. California’s A.B. 1200 applies to chemicals identified on California’s Department of Toxic Substances Control (DTSC) Candidate Chemicals List, while Colorado H.B. 22-1345 applies to PFAS chemicals.

California A.B. 1200 Disclosure Details:

The following tables identify the products for which a chemical disclosure is required to comply with A.B. 1200.


Product Disclosures



Prepdeck Lite Rack, Prepdeck Prepping Tools

Stainless Steel (Manganese, Phosphorous, Chromium, Nickel, Copper)

Prepdeck Gen 2

Magnet (Iron, Aluminum, Boron)


Chemical Disclosures (Authoritative Lists)

Chemical Name

CA DTSC Chemical Name


Manganese & Manganese Compounds

ATSDR Neurotoxicants; CA NLs; CA TACs; CDC 4th National Exposure Report; CWA 303(d); IRIS Neurotoxicants; OEHHA RELs


CA TACs; CWA 303(d)

Chromium Compounds

CA TACs; CDC 4th National Exposure Report; CWA 303(d); OEHHA RELs

Nickel & Nickel Compounds

CA TACs; CWA 303(c); CWA 303(d); IARC Carcinogens - 1; NTP 13th RoC - known; OEHHA RELs; Prop 65


CDC 4th National Exposure Report; CWA 303(c); CWA 303(d); OEHHA RELs


CWA 303(d)


CWA 303(d), CA MCLs, ATSDR


CA NLs; CWA 303(d