Europaudvalget 2022-23 (2. samling)
EUU Alm.del
Offentligt
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Date: .07/09/2021
Kind attention:
Mr. Martijn Beekman - Netherlands
Dr. Mandy Lokaj - Germany
Mrs. Jenny Ivarsson - Sweden
Mr. Toke Winther - Denmark
Mr. Audun Heggelund - Norway
Mr. Mark Blainey - ECHA
[email protected]
[email protected]
[email protected]
[email protected]
[email protected]
[email protected]
Through:
fluorseals S.p.A - Via Tribolina, 20/22 - 24064 Grumello del Monte (BG) - Italy
The members of fluorseals S.p.A mainly focus on processing of Fluoropolymers, part
manufacturing and its applications, the involvement of downstream users in PFAS process.
Subject:
PFAS restriction proposal & request for exemption of FLUOROPOLYMERS
Reference:
PFAS - Registry of restriction intentions until outcome (RoI) dated 15
th
July 2021
Dear Sir/Madam,
With regards to Registry of Intention (RoI) filed by 4 EU Member States (Germany, the Netherlands,
Sweden, and Denmark) & Norway for the restriction of PFAS, we, a member of fluoropolymer
downstream user industry, hereby, would like to share some salient facts related to the importance
of fluoropolymers, critical functionalities, performance and benefits of its applications to society,
while acknowledging concerns regarding PFAS emissions related to the use of fluoropolymers and
their end of life.
Registry of Intention for PFAS restriction was announced by ECHA on 15
th
July 2021, to prepare a
restriction proposal for PFAS. Fluoropolymers are also included in the scope. The restriction
proposal is intended to be submitted to ECHA by 15
th
July 2022.
Fluoropolymers are a distinct subset of PFAS and are inherently safe, non-mobile, non-bio
accumulative and non-toxic. Fluoropolymers are different from other PFAS as they
do not share
the toxicological and environmental profiles
associated with PFAS of concern. Fluoropolymers
have
unique set of physicochemical properties,
they meet OECD polymer of low concern criteria,
and are considered to have
insignificant environmental and human health impact.
Fluoropolymers ensure safety, reliability, durability and critical performance in numerous
technologies, industrial processes and everyday applications that are important for human health,
safety, and the environment. With a unique combination of functionalities, fluoropolymers are
irreplaceable across many key sectors/applications. Alternatives to fluoropolymers, if exist,
escalate safety risks, carbon footprint, technology regression, and do not match the advanced
performance of fluoropolymers. Most importantly, restriction on fluoropolymers will make EU
industry lose its technological superiority over other economies
and could put Europe’s climate and
energy goals at risk. Overall, fluoropolymers contribute heavily to
Europe’s
socio-economic status
and are critical for the betterment of the society.
730 rue des Barronnières 01700 BEYNOST (Fr) – 0472456038 – +33 (0)4 72 45 60 38 – www.approflon.com
EUU, Alm.del - 2022-23 (2. samling) - Supplerende svar på spørgsmål 49: Spm. om, hvilke interessenter, virksomheder mv. ministeriet har været i dialog med i forbindelse med ønsket om at indføre et forbud imod anvendelsen af PFAS, til miljøministeren, kopi til udenrigsministeren
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The fluoropolymer downstream user industry acknowledges the concerns regarding PFAS
emissions due to the use of fluoropolymers and end of life processes. We wish to assure the
authorities and EU Member States that, we are implementing Best Available Technologies to
ensure reduction in PFAS emissions in a systematic way and eventually eliminating them to achieve
EU’s sustainability goals. Parallelly, we are consciously working
on recyclability and reusability to
meet circular economy goal.
Fluoropolymers play an important role in achieving EU Green Deal objectives and UN Sustainable
Development Goals (UN SDG) because of their vital use in Lithium-ion batteries, Green hydrogen,
Fuel Cell, Solar and Wind energy. No new-age technologies are possible without the use of
fluoropolymers. Restriction on the use of fluoropolymers would adversely impact implementation
of these technologies crucial for
planet’s future
as well as in all existing applications vital for the
society.
Considering the benefits of fluoropolymer applications to environment and society, low PFAS
emissions and initiatives being taken by the processing industry to further minimize emissions and
closing the loop by implementing circular economy wherever possible, we request for a
complete
exemption of fluoropolymers from the PFAS restriction proposal.
Fluoropolymers processed by us:
Virgin PTFE, PTFE with charge, PCTFE, PFA, FEP, ETFE, PVDF, PEEK
Service application industries:
Chemical, Oil Industry, Medical, Food, Automotive, Aeronautic, Electronic; Mechanical,
Construction.
Sincerely yours,
Name and signature
Bruno PIANTE
730 rue des Barronnières 01700 BEYNOST (Fr) – 0472456038 – +33 (0)4 72 45 60 38 – www.approflon.com