Document XOr8BvJzjzR4wwwOXJw59v8Lg
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restrictiePFAS]
@kreab.com] @rivm.nl]
Thur 3/10/2022 9:46:52 AM
RE: PFAS restriction proposal under EU REACH
Thur 3/10/2022 9:46:53 AM
Regulation
2965170
Dear
Indeed we have postponed the deadline to January 2023. I do not foresee any further general exchange with stakeholders on the dossier. In my view, based on all other information received, we should be able to draft the restriction proposal. Also I do not see the need for a meeting to explain procedural aspects as most stakeholders are perfectly aware of the REACH procedures. However if you have any questions please feel free to ask. On specific topics/questions, we welcome the opportunity to contact you or other stakeholders. Kind regards,
Centre for Safety of Substances and Products
National Institute for Public Health and the Environment
Antonie van Leeuwenhoeklaan 9 | 3721 MA Bilthoven PO Box 1 (postbak 1) | 3720 BA Bilthoven | The Netherlands
From:
reab.com>
JEEEEl@ Sent: dinsdag 8 maart 2022 10:17
To:
INKED
EI ni Subject: RE: PFAS restriction proposal under EU REACH Regulation
Dear
Thank you for the kind response. We understand the situation.
We have seen that the registry of intention has recently been updated, and the date of submission of the restriction dossier has been postponed to January 2023. We were wondering whether you would be able to comment on the next steps ahead of the submission of the dossier? In particular, we would like to know whether you foresee further exchanges with stakeholders in the form of, e.g., written feedback.
Thank you in advance for your consideration.
Kind regards,
5.1.2e
Enviado el: mircoles, 9 de febrero de 2022 9:23
Para:
5.1.2e
kreab.com>
JEE Gv. 5
5.1.2e
kreab.com>; restrictiePFAS
>
Asunto: RE: Meeting request - Daikin - PFAS restriction proposal under EU REACH Regulation
Dear INEXECNNN.
Thank you for your request for a meeting. During the last two years, the five countries have put much effort in gathering
information on the tonnages, emissions, functionality, alternatives and economic impacts of potential restrictions of PFASs. This
information was received in two consultation rounds and in addition several studies by external consultants were performed. In
the restriction dossier (including Annexes) the information will be presented and based on this one or more restriction options will
be proposed. At this stage we are quite busy with the preparation of the restriction proposal and therefore, would refrain from
organising a meeting right now, unless we have very specific questions. Please also note that submission of the dossier to the
European Chemicals Agency (ECHA) is foreseen in July 2022 and will be followed by a 6 months consultation period where you will
have the possibility to comment on the proposal and provide relevant input.
I am aware that Daikin is one of the main producers of fluoropolymers and also have a facility in The Netherlands, therefore I explicitly also discussed your request with the Ministry responsible for REACH. However, it is decided to concentrate on drafting the dossier.
Kind regards,
Centre for Safety of Substances and Products
National Institute for Public Health and the Environment
Antonie van Leeuwenhoeklaan 9 | 3721 MA Bilthoven PO Box 1 (postbak 1) | 3720 BA Bilthoven | The Netherlands
2965170
vw HOOY@
Sent: dinsdag 8 februari 2022 11:48
@rivm.nl>
kreab.com>
Subject: RE: Meeting request - Daikin - PFAS restriction proposal under EU REACH Regulation
pearIEEE Please allow me to follow up on the meeting request that we sent you on 1 February on behalf of Daikin, one of the world's leading
producers of fluorochemicals as well as air conditioning and refrigeration equipment.
Daikin would very much appreciate the opportunity of discussing the REACH restriction proposal of PFAS with you. We would be happy to propose several dates and time slots for a call in March, preferably in the morning.
We look forward to hearing from you.
With kind regards,
[CEX)
WORLDWIDE
5.1.2e
Kreab
2/4, Rond-Point Schuman,BE-1040Brussels,Belgium
Tel
voEEN
BEE @kreab.com
www.kreab.com
2965170
De: Enviado el: martes, 1 de febrero de 2022 17:50
@rivm.nl> @kreab.com>
Asunto: Meeting request - Daikin - PFAS restriction proposal under EU REACH Regulation
pear IEEE,
We hope this email finds you well.
We are contacting you on behalf of the company Daikin, one of the world's leading producers of fluorochemicals as well as air conditioning and refrigeration equipment. Daikin would like to request a meeting in February/March to discuss the proposal for a restriction of per- and polyfluoroalkyl substances (PFAS) under REACH, as planned by Germany, the Netherlands, Norway, Sweden, and Denmark
On the basis of Daikin's input to the calls for evidence, Daikin would be pleased to have the opportunity to further discuss the PFAS chemistry and its uses, as well as thoughts on how to possibly address different categories in the scope of the upcoming restriction proposal.
In particular, Daikin produces fluoroelastomers which are precompounded in Daikin's facility in the Netherlands (Oss). The fluoroelastomers produced by Daikin are largely used in the automotive industry, for a key vehicle component requiring particularly high performance and safety standards. Non-fluorinated alternatives are not available.
In addition, we would be grateful for the opportunity to also discuss other aspects of the restriction proposal at the meeting, as well as Daikin's suggestions on the exemption needs for fluoropolymers and fluorotelomer uses.
The following participants would attend the meeting on behalf of Daikin:
Daikin; Daikin Chemicals;
Daikin Chemicals;
Daikin Chemicals.
If you are interested in a web-based meeting, we would be happy to propose several dates and time slots in the coming weeks of February/March, preferably in the morning.
In the meantime, we thank you for your consideration and remain at your disposal should you need additional information.
Kind regards,
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