Document bBGKg11V7kqjXpwOmXLDmMRO
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On site intermediates exemptions under the EU REACH and POP Regulations 08 July 2020 15:13:06
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Dear
I hope this email finds you both well during these interesting times.
As PFOA recently moved from the REACH Restriction to the POP Regulation, I am contacting you for an advice regarding the 'on site intermediates':
Am I correct in understanding that under the POP Regulation the on-site intermediates are not 'automatically' exempted, as they were under the REACH Article 68(1)(2) (= "on site isolated intermediates are excluded from the introduction and amendment of restrictions"), but we would need to ask for a separate exemption for 'closed-system site limited intermediate'(Article 4 (3) of the POP Regulation(EU) 2019/1021)?
We noted there is a transition period until 3 December 2020 for PFOA compounds that are currently subject to a derogation from the Annex XVII restriction(Recital 9). Would that extension apply also to on-side intermediate uses of PFOA compounds?
Lastly, I would also like to understand better the conditions and sequence(+ timing) for requesting an exemption under Article 4(3) of the POP Regulation. It is not clear from that Article whether and to what extent the Commission must intervene in adopting a delegated act with such exemption, before or after notification to the POP secretariat.
I would appreciate your feedback on these three questions, as 3M Dyneon plant in Germany
might need to request an exemption for closed-system site-limited intermediates under Article
4(3) . I can be reached on my mobile phone
) if you would like to discuss further
by phone.
Thank you very much & Best regards ----