Europaudvalget 2022-23 (2. samling)
EUU Alm.del
Offentligt
THE EU’S CHEMICALS STRATEGY, PROPOSED BAN OF PFAS,
AND IMPACT FOR
THE HYDROGEN AND FUEL CELL SECTOR.
Key messages
1. PFAS are essential to the proper functioning of fuel cell and electrolysers.
2. No alternative to PFAS today comes close to the same KPIs
–
research can play a role but no foreseen
fluorine-free breakthrough in the near future.
3. Emission risks are extremely limited (both in terms of environmental and human exposure) and
fluoropolymers are
‘polymers
of low concern’.
4. Best practices for the industry and incentivisation can and should be set up to limit emissions at a
maximum and to foster recovery of materials at end of life (for which there is already an inherent
incentive because of the PGM + fluorine economic value).
5. Not exempting electrolysers and fuel cells from the PFAS ban would threaten the whole European fuel
cell and electrolyser industry and its global competitiveness, as well as jeopardise the achievement of
the EU’s Hydrogen Strategy targets and
climate objectives.
I.
Introduction
Hydrogen has seen an unprecedented development in the year 2020. From an innovative niche technology, it
is fast becoming a systemic element in the European
Union’s (EU) efforts to transition to a climate neutral
society in 2050. It will become a crucial energy vector and the other leg of the energy transition
–
alongside
renewable electricity
–
by replacing coal, oil, and gas across different segments of the economy. The rapid
development of hydrogen is not only important for meeting the EU’s
climate objectives but also for preserving
and enhancing the EU’s industrial and economic competitiveness.
The
EU Chemicals Strategy for sustainability
released on October 14th, 2020, plans for the ban and phasing
out of all per- and polyfluorinated alkyl substances (PFAS),
“allowing
their use only where they are essential
for society.”
PFAS are chemicals that are used in the hydrogen value chain, not least of electrolysers and fuel
cells. As no substitute is available today, an incautious ban would thereby impact both directly and heavily the
hydrogen industry, and would jeopardise
the achievement of the EU’s Hydrogen Strategy targets and
decarbonisation objectives.
The term PFAS represents a broad family of chemistries containing fluorine and carbon, which encompasses
a wide range of chemicals. Following the OECD definition used by the five countries driving this ban proposal,
there are more than 4,700 PFAS. These chemicals all have varying physical and chemical properties, health,
and environmental profiles, uses, and benefits.
1/08/2022
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