Document wDE7NG6qpBv7GEzvLmBrN9OX4
From: To: Subject: Importance:
FW: FOA_interdiction_2020-07-04th_questions_about_validity High
Dear-
1 apologize for the delay in replying, due, among other things, to delays in the finalisation of the
delegated act. Please notice that the delegated act amending Annex I of the POPs Regulation for
PFOA, its salts and PFOA-related compounds has been adopted and is now publicly available
https://webgate.ec.europa.eu/regdel/#/delegatedActs/1371
The entry into application is foreseen for 4 July 2020, if there are no objections from Council and
Parliament in the next two months.
Concerning your questions: if both the following conditions apply, you can still use - after 4 July 2020:
fulfils the definition of "article" of point 3 of Article 3 of REACH Regulation:
"an object which during production is given a specia/ shape, surface or design which
determines its function to a greater degree than does its chemica/ composition"
is already in use before 4 July 2020 (Art. 2, paragraph 2 of POPs Regulation).
NB: the definition of use of REACH Regulation applies: "processing, formulation,
consumption, storage, keeping, treatment, filling into containers, transferfrom one
container to another, mixing. oroduction ofan article or any other utilisation". We advise
you to keep relevant documentation at hand proving that
was already in
use {e.g. the production date) before 4 July 2020.
Please notice that this is a preliminary interpretation of Art. 2 of the POPs Regulation and we will
discuss it during next meeting of the POP Competent Authorities, before publishing a "question
and answer".
Concerning your question on the concentration of PFOA in the article, please notice that the 25
ppb limit would apply to
and not to the whole article.
Concerning your question on exemptions, please consult the version of the delegated act which
was adopted. lt foresees some exemption on the use of PFOA for the production of
in some specific applications.
Regards
From:
Sent: Monday, January 27, 2020 3:47 PM
To: ENV POP <ENV-POP@ec.europa.eu>
Subject: FOA_interdiction_2020-07-04th_questions_about_validity
lmportance: High
To whom it may concern,
1 would be very glad to get the chance to discuss these questions with one of the commission
expert group member. 1 would appreciate if you would either call me directly or share some
contact data with me. 1 talk English, German or French fluently...
We need to get a clear understanding about the impact of the new regulation on the usage
of PFOA which will be valid from 2020/07/04th on.
- The affected good containing the PFOA substance is-. Due to the amount
of PFOA in
will be forbidden for import or usage in
EU from 2020/07/04th
- What would happen to sub-assemblies already produced before 2020/07/04th
including- but where the percentaged weight in this sub-assembly
would not exceed the new legal limit?
o Could these sub-assemblies be used for further production in EU and then
sold to customer after 2020/07/04?
- What would happen to final products already produced before 2020/07/04th including
but where the percentaged weight in this sub-assembly would not
exceed the new legal limit?
o Could these products still be sold to customers after 2020/07/04th?
Out actual understanding
1. PFOA belongs to ANNEX XVII to REACH as entry 68
2. PFOA not allowed to be used and to be sold in EU from 2020/07/04th
3.
is an article, i.e.
is not allowed to be used in any kind of
product leaving
from 2020/07/04th . The supply chain needs to make sure
that
can produce with a new PFOA
from 2020/07/04th on.
These are the questions to be answered:
A.
Are the applications thereof the products are already on the market impacted
by the new regulation as well?
B. If we consider the smallest product leaving our plants it is
The percentaged content of PFOA in this product is
lower than 25 ppb Is our product impacted by the new regulation?
C. What is the exact meaning regarding the date?
o From 2020/07/04th means that the last day allowed to use and to sell PFOA is
2020/07/04th? Or is it already forbidden on 2020/07/04th?
D. Some exemptions exist...
Is there any exemption valid for our product to be not impacted
by this new regulation?
Is there any exemption to allow us to use
in
our production and in our products for a longer time e.g. 6 more
months?
E. The supplier of
explained that some discussions are ongoing with
the EU agency. Some organizations/companies are trying to obtain some more
time or even some exemptions...
o Es gibt 25 Feedback Eingaben, die auf der Seite der EU Commission
aufgefhrt sind: https://ec.europa.eu/info/law/better-
regulation/initiatives/ares-2019-6890180 en
Feedback period was from 2019/11/07th until
2019/12/05th On this website we can also find a draft out out the last
commission expert group meeting: "Annex -
Ares(2019)6890180/1. (PFOA_POP_Part-2019....)" with this content:
"8. Use of articles already in use in the Union
before 4 July 2020 containing PFOA, its salts and/or
PFOA-related compounds shall be allowed. Article 4(2),
third and fourth subparagraphs shall apply in relation to
such articles." "
a. How does this re-discussion process work? Any end date?
b. Is there anything for us to be expected out of such a discussion?
c. Exemption according to "8." Already valid? When? Under which
conditions?
Due to very close interdiction date we need a very prompt feedback within the couple of days, Thanks in advance for your consideration, Best regards,
Tel.
| Mobil