Document v6d91RnOqe9egQ1GnwZeLr9ab
Meeting with Dr Sharon McGuinness, Executive Director of ECHA
27 February 2023
Electroplating industry as an economic factor
... is the electrical deposition of metallic surface layers, e.g. of
Zinc
Copper
Chrome
Stainless steel
... lays the groundwork for innovative products
... saves resources
... prevents corrosion and wear damage of 150 billion p.a. in Germany alone
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Electroplating industry
... is everywhere
Automotive
Electronics
Plumbing
Engineering
Lifestyle
Aerospace
Information
Medical technology
Off-Shore
Screws and more
Mainly small- and medium-sized enterprises, thousands across Europe
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Electroplating industry as an economic factor
Cross-sector industry and trendsetter
Mainly small- and medium-sized enterprises
(approx. 1,200 in Germany)
> 50.000
Employees
Indispensable partner
in the value chains of major economic sectors
7.5 billion p.a.
turnover in DE
> 440.000
European Committee for Surface Treatment (CETS)
Example: A car contains more than 3,000 parts that have been electroplated.
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Electroplating industry as a factor for closing the Circular Economy
Real metal surfaces have the following advantages compared to alternative methods that can only imitate this technology by means of a lacquer structure or a PVD coating.
No microplastics! 100% circular! Low carbon footprint! Crucial element for completing the circular economy!
Chrome parts life cycle strategy
Protective effect of chrome plating
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European Committee for Surface Treatment (CETS)
Established in 1981
22 members across the EU (national industry organisations)
EU Accredited Stakeholder Organisation (ASO)
Represents several hundred SMEs in the EU (providing 440,000 jobs) Objectives: o Providing a means for European manufacturers and suppliers to exchange information on a wide range
of topics of interest o Assisting the European Institutions and Agencies in developing effective regulation of hazardous chemicals
Further information: https://cets-eu.be/
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EU Regulation concerning the Registration, Evaluation, Authorisation and Restriction of Chemicals (REACH)
Entered into force on 01.06.2007. Authorities and companies have gained insights on the strengths and deficits of the framework.
Important achievements have been made that improved the protection of human health and the environment from hazardous chemicals. Reduced application of Substances of Very High Concern According to the latest ECHA study in 2021, five years after the entry to Annex XIV,
Swedish firms had reduced their annual use of SVHC requiring authorisation by about 40%
However, different assessments carried out by ECHA and COM have shown the urgent need for improvement: Optimise protection level while guaranteeing competetiveness of European
companies Relieve authorities and companies of the enormous administrative burden
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Assessment of REACH - Issues of the Authorisation Procedure
Inception Impact Assessment on the REACH Revision (05/2021)
,,The authorisation procedure is too heavy and inflexible. The authorisation process has imposed a heavy burden on both companies and authorities. [...] this has placed EU-based companies at a competitive disadvantage compared to their non-EU competitors."
Background Paper - Workshop on the Reform of the REACH Authorisation and Restriction System (10/2021)
"Dealing with such a high amount of often very detailed information, complex assessments, controversies and court cases, binds significant resources from ECHA, the Commission and Member States. As a consequence,
those resources are not available to deal with other, potentially more important concerns." "This has also affected the choice of risk management measures by authorities. Following the experience with chromium(VI) substances, no other SVHC with a similar widespread use has been recently added to Annex
XIV. Risk from widespread use of such substances have been, or are being addressed more recently rather through the restriction procedure (e.g. PFAS substances) or through occupational health and safety measures (e.g.
cobalt and its compounds, lead and its compounds)"
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ECHA Work Programme 2023
"Develop and implement - jointly with the Commission - an agreed approach to deal with the anticipated significant increase in the number of authorisation applications. [2023]"
"The performance indicators for the Strategic Priorities from 2024 onwards will be defined in line with the new multi-annual objectives in the context of development of ECHA's new multiannual Work Programme in 2023."
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Authorisation Procedure - Chromium trioxide as negative example
Some applications are pending since 2015, affecting hundreds of companies
The number of applications will rise further, increasing the burden on authorities
There is an urgent need to find compromise solutions to solve the problem regarding functional chrome plating with decorative character
Solution 1
Give companies appropiate time and guidance to adjust the
substitution plans
Solution 2
Adjusting the ECHA
guidance for defining
,,intermediates"
Solution 3
Setting a new ,,sunset date" as a definitive end for the use of chromium trioxide
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Revision of REACH - Intensification of existing problems
Generic Risk Approach Dangerous shift from concrete risks to potential hazards. Not all substances that are potentially hazardous automatically pose risks to
users/consumers through their intended use. Safe and controlled use of hazardous substances by specialised producers would
be prohibited.
Essential use Many substances can be assigned to various functional groups. Unclear which bodies will determine what is essential and on what basis. What is ECHA`s future role here?
Instead of making the regulation more efficient, the plans for the REACH revision would bring additional burden for authorities and companies without proven benefits for the
protection of human health and the environment!
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Drastic effects of incautious regulation
Disinfectants
Medical textiles & equipment
Diapers
Stainlees steel pots
Chrome plated faucets
,,Safe uses" in industrial plants
Sealing tape for craftsmen/plumbers
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Key aspects for the REACH Revision
Central principles
1. Bans must be based on a proven and significant harmful effect when used as intended! 2. Define quantifiable targets and monitor the results If targets are not met, measures must be corrected/reversed!
Define controllable and therefore acceptable risk levels
Avoid contradictions with proven, existing sector-specific
regulations, such as OSH
Improve regulation AND avoid blanket bans
Regular review of OSH limits
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Outlook
CETS is looking forward to future meetings and cooperation with ECHA (whenever possible in person rather than online) Given appropriate time, SMEs are happy to give insights and expertise This has in the past proven to be a crucial element of the successful workshops hosted by ECHA
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Contact
Thank you for your attention!
European Committee for Surface Treatment (CETS)
Kapeldreef 60 3001 Leuven Belgium Phone number: + 32 (0) 16401420 E-Mail: info@cets-eu.be Web: www.cets-eu.be
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