Document 6wL8QgvQYEzGOMmOj7E09Jk53
DIGITALEURUPE
A DIGITAL view on the PFAS restriction
We represent over 45,000 businesses across Europe
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NATIONAL ASSOCIATIONS
100
COMPANIES
60+ Categories of uses identified in electronics*
Application area Coatings
*Excluding semiconductors, energy, medical, automotive, aerospace
Printed circuit boards High voltage/power applications Cables and connectors Components Mechanical applications Displays Batteries Fire prevention Heat transfer
Details Capacitors, dielectric films Electret films in microphones, sensors Gaskets, sealing Microphone/speaker vent membrane Piezo in acoustical equipment Rubber parts in image forming process in printers
Chemical equipment
Chemicals
3Others
Complexity of electronics supply chain
Even a simple circuit board contains dozens of different components A component consists of many articles A product contains thousands of articles Each article to be investigated for the use of PFAS
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Annex XV report about electronics
Elements contradicting circularity for electronics and twin transition objectives
1 Apart from proposed 12-year derogation for the semiconductor manufacturing process,
no derogations for the electronics sector No computing / communications products will meet 18 months transition period Huge economic impact, business closures
2 No exemption for spare parts of existing products
No spare parts can be made available despite the requirement to do so under the EU Ecodesign directive/regulation
As is, restriction will lead to premature obsolescence of products on the market
3 No exemption for refurbished or pre-owned products / articles already on the market
Use and emissions from electronics are less than 1% of the
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total PFAS use and emission
Towards PFAS-free electronics
No drop-in alternatives for most applications; products must be re-designed In many cases, there is no alternative for PFAS yet (e.g., Li ion batteries) 18 months transition period is insufficient
Significantly more time is required to gather information on the uses of PFAS in all components of complex electronic products, substitution analysis and product re-design
Once alternative is available, product re-design normally takes minimum 24 months (selection, qualification, certification, etc.)
Redesign of a complete portfolio takes longer
Applications which have no alternatives will require timebound derogations like EU RoHS exemptions
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Derogation needed | Spare parts & pre-owned products
At least 7 years derogation needed to avoid premature obsolescence of existing consumer electronic products
Precedents in other REACH substance restrictions Needed for compliance with Ecodesign, right-to-repair
At least 15 years derogation needed to avoid premature obsolescence of existing professional b2b electronic products
Lifetimes and contracted maintenance periods usually extends to 10 to 15 years Availability of spare parts is essential to realize the lifetime potential of such products
Without an exemption for re-supply of pre-owned products, resale of pre-owned products will be banned
Established practice under REACH, POPs Regulation, CE marking legislation Needed for compliance with future Ecodesign Regulation
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Spare parts & pre-owned products - Support from 25 global industry associations
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Conclusions & Way forward
Current proposal will force most electronic products to be withdrawn from the market due to short transition period and no exemptions Elements are contradicting the Green Deal, Circular Electronics, and particularly Ecodesign objectives
Digital/Green Transition objectives impossible No refurbishment, no repair; premature obsolescence
Transition towards PFAS-free electronics will take time
General 5-year derogation for EEE needed Time-bound exemptions for uses with no alternatives Derogations for spare parts and articles already on the market
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