Europaudvalget 2022-23 (2. samling)
EUU Alm.del
Offentligt
Complementary note to the PFAS Survey of the 2
nd
Stakeholder Consultation
In addition to the replies to the PFAS Survey
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, EPEE, APPLiA, AREA, ASERCOM, EFCTC, EHI, EHPA, EPFA,
EUROVENT and Transfrigoroute International would like to provide further input and feedback to the
“Report
summary F-Gas uses: Heating, ventilation, and air-conditioning and refrigeration (HVACR), foam-
blowing agents, solvents, propellants, cover gases and fire suppressants”
(‘Summary Report’),
accompanying the 2nd Stakeholder Consultation (‘CfE’).
Scope of the Registry of Intention (‘RoI’)
Following our previous joint letter of 13 August 2021, and your feedback through the supplementary
“Information Document” accompanying the CfE, we understand that the scope of the PFAS definition in
view of the restriction under REACH
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could still change in the near future.
We also understand that some PFAS substances may belong to several of the groups indicated in the
Summary Report, due to their inherent complexity. Therefore, the list of the PFAS substances shared by
Norway is a non-exhaustive list of PFASs and should be regarded only as guidance on the current
investigation.
Other non-Refrigerant uses of PFAS in HVACR
It is also useful to note that “non-refrigerant” PFAS uses are also relevant for the Heating, Ventilation, Air
Conditioning, and Refrigeration (HVACR) systems. While in the Summary Report refrigerants have been
thoroughly examined, none of the summary reports are likely to adequately address the other uses of
PFAS by the HVACR industry. Therefore, certain products (such as coatings, sealings, bearings etc.) may
have been overlooked in the current scope of the PFAS REACH restriction. Consequently, these
applications were forced to be considered into the “Lubricants” and “Electronics” workstreams, despite
not being an ideal fit to describe and evaluate these uses of PFAS.
Given the above, we recommend that a new HVACR workstream that encompasses these non-refrigerant
uses of PFAS is also established so as to adequately acknowledge the unique and vital position of the
HVACR industry for society. Moreover, the transition to low global warming potential refrigerants while
also transitioning other PFAS components in HVACR systems to non-PFAS alternatives would be an
arduous task. It would likely lead to the discontinuation of a number of product lines that are necessary
to help the EU achieve some of the goals outlined in the European Green Deal, and seriously delaying
including the development of alternative technologies. The same could apply to other F-Gas uses such as
blowing agents in thermally insulating foams.
Data on tonnage and emissions
From the Summary Report, we understand that Regulation No 525/2013
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, repealed by the EU Governance
Regulation No 2018/1999,
and its Greenhouse Gas (‘GHG’) Inventory elaborated to report the EU
aggregated values to the UNFCCC are the legal basis used to collect the data by Norway and Exponent.
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https://echa.europa.eu/calls-for-comments-and-evidence/-/substance-rev/66505/term
https://echa.europa.eu/regulations/reach/legislation
https://eur-lex.europa.eu/legal-content/EN/TXT/PDF/?uri=CELEX:32013R0525&rid=2