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EIF: ~July 2025 and 10y after EIF: ~January 2034 So, the proposal should normally not (too much) interfere with the POP regulation on PFOA which foresees a ban on use by 2023 or July 2025. However, how about e.g. PFHxS for which there is both a REACH restriction proposal and a Stockholm Convention Annex A listing in the pipeline? Any idea on how these will be processed and how ECHA's proposal could interfere with those? In the restriction entry I was thinking not to list any exclusion of the proposal scope due to other PFAS-related legislation, i.e. that the proposal would cover all PFAS in firefighting foams, irrespective of the other legislations in place on PFAS in firefighting foams already in place or to come; the policy makers being in a better place to adjust this themselves later on when they have all options on their table. Would you have recommendations on this issue? Thank you! Best regards,