Europaudvalget 2022-23 (2. samling)
EUU Alm.del
Offentligt
Brussels, 31 March 2021
EPEE Position Paper on the REACH restriction proposal of all per- and polyfluoroalkyl
substances (PFAS)
Introduction
EPEE, representing the refrigeration, air-conditioning and heat pump industry in Europe, has been
following with interest the recent call for evidence by the Netherlands, Germany, Norway, Sweden and
Denmark related to a possible REACH restriction proposal to limit the risks to the environment and
human health from the manufacture and use of all per- and polyfluoroalkyl substances (PFASs).
EPEE understands that the above-mentioned Member States Competent Authorities (MSCAs) are
currently working on an analysis for PFASs in the context of a regulatory management option analysis
(RMOA), with Norway having the lead on fluorinated gases (F-Gases).
As major downstream users of hydrofluorocarbons (HFCs), hydrofluoroolefins (HFOs) and
hydrochlorofluoroolefins (HCFOs) in refrigeration, air-conditioning and heat pumps, EPEE members
wish to share their views about a possible inclusion of F-Gases in a broad-PFAS restriction proposal, as
this could lead to significant unintended consequences and seriously jeopardise the European and
international climate and energy goals.
Executive Summary
In this paper, EPEE will substantiate the claim that it would be counter-productive to address F-
Gases in the context of a REACH restriction proposal. EPEE strongly recommends addressing all F-
Gases, including HFOs, solely under the F-Gas Regulation as the most suitable framework, taking
into account safety, energy efficiency, environment and health.
In particular, EPEE considers that:
•
Including F-Gases in a broad PFAS REACH restriction proposal could have unintended
consequences as the term PFAS as such does not identify if a substance is harmful or not
and represents an overgeneralisation which is problematic.
•
Restricting F-Gases via REACH would lead to double regulation and jeopardise the F-Gas
Regulation
–
one of the most successful climate regulations in the EU.
•
Restricting F-Gases and more specifically HFCs and HFOs in Europe would create a climate
of uncertainty and jeopardise the major climate benefits of the Kigali Amendment to the
Montreal Protocol.
•
Lower Global Warming Potential (GWP) HFCs and HFOs are essential to decarbonise the
heating and cooling sector in a safe, reliable and cost-efficient way.
1. F-Gases are already successfully addressed by the F-Gas Regulation
The F-Gas Regulation provides a robust framework to address F-Gases. It is geared towards preventing
emissions, reducing the consumption of F-Gases and restricting them in specific applications whenever
possible from a technical, economic feasibilty and health and environmental perspective. Within this
context, additional restrictions under REACH would be disproportionate, hamper competitiveness and
innovation as compared to the goals already pursued by the F-Gas Regulation.
EPEE
–
European Partnership for Energy and the Environment
Avenue des Arts, 46 · 1000 Brussels
·
www.epeeglobal.org