Document GKDOOv1vebjMporXqxyNkoMrn

== A ' 0 175 0 == Dal In -- 'xi restriction proposa -- Veeting request == Do ument == Dal In -- 'xi == Til: Elisabeth Paludan (UMST.DK), Toke Winther (Mmst.dk) Fra: P1 El Titel: Daikin -- PFHxA restriction proposal -- Meeting request Sendt: 03-03-2023 10:44 Dear Ms Paludan, dear Mr Winther, We are writing to you on behalf of Daikin, one of the world's leading producers of air conditioning and refrigeration equipment as well as fluorochemicals. Daikin would be grateful for the opportunity of a meeting with you on the proposal for a restriction of PFHxA, its salts and related substances under the REACH Regulation. We understand that the European Commission intends to finalise its legislative proposal in the coming weeks. The restriction proposal is therefore expected to be on the agenda of the REACH Committee shortly. More specifically, Daikin would like to explain its threshold proposal for PFHxA and its salts in fluoropolymers. To the best of our knowledge, Daikin is the only company that uses PFHxA ammonium salt (APFHx) to produce fluoropolymers, in particular fluoroelastomers (FKM). As you are likely aware, the ECHA Committees had requested further evidence to define suitable thresholds in fluoropolymers. Taking this into consideration, Daikin conducted additional analytical works as well as trial production tests to further reduce PFHxA impurity levels in its FKM grades. In addition, Daikin would like to take the opportunity to share its concerns with regard to the recently published draft restriction proposal on all PFAS, particularly the proposed ban on the use of PFAS polymerization aids in the production of FKM in Europe. We would propose to hold such a meeting in March or April, preferably in the morning. We thank you in advance for your consideration and look forward to hearing from you. With kind regards, P2 KREAB WORLDWIDE P3 Senior Account Manager Kreab 2/4, Rond-Point Schuman, BE-1040 Brussels, Belgium Tel T1 Mob T2 El www.kreab.com EU Transparency Register ID Number: 1078390517-54 This communication is only intended for the use of the individual or entity, to which it is directed and may contain information that is privileged, confidential and exempt from disclosure under applicable law. If received in error please notify us immediately, delete this e-mail and destroy all copies. Aktdetaljer Akttitel: ESBAF meeting request: REACH restriction on PFAS Aktnummer: 294 Sagsnummer: 2023 - 11008 Akt-ID: 8274640 Dato: 05-09-2023 12:32:23 Type: Indgende Dokumenter: [1] ESBAF meeting request REACH restriction on PFAS.eml Den 12. juli 2024 Til: Peter Juhl Nielsen (..@mst.dk) Cc: European Small Business Alliance for Fluoropolymers - Team EU Fra: P1 El Titel: ESBAF meeting request: REACH restriction on PFAS Sendt: 05-09-2023 12:32 @dentonsglobaladvisors.com) Dear Mr Nielsen, We are reaching out to you on behalf of the European Small Business Alliance for Fluoropolymers (ESBAF) to request a meeting in the coming weeks to clarify a few elements regarding the proposed REACH restriction on PFAS. ESBAF is a newly formed ad-hoc coalition of SMEs that utilize fluoropolymers across diverse and complex European supply chains, as well as in standard chemical processes. At present, ESBAF counts nine SMEs among its membership, covering various stages of the manufacturing supply chain, all of whom have only recently been alerted of the potential impacts of the PFAS restriction proposal and who are underrepresented in Brussels. This restriction is of a concerning complexity for small business and the impacts on the fluoropolymer supply chain may be underestimated. Even for strategic sectors which have derogated end-uses, the existing proposal threatens to bring manufacturing to a standstill due to the lack of viable alternatives for vital components such as valves, gaskets, and seals. It would also be very difficult for SMEs to navigate these derogations, as they are part of complex supply chains, for which not all end-uses received a derogation. ESBAF will be responding to ECHA's public consultation, but we would still like to kindly request a (web) meeting to clarify some elements from the dossier. We would also like to illustrate our position with a concrete case study from our members. Could you please share with us your availabilities in the coming two weeks, and we would happily meet at your best convenience. Many thanks in advance for your consideration and we look forward to hearing from you. Kind regards, P1 P2 P1 P2 Associate DENTNNS Oa L C.PVISOP M +32 T1 El I Chat with Teams Website Rue du Luxembourg 22-24 I Brussels 1 1000 I Belgium Dentons Global Advisors is proud to be a member of the World Benchmarking Alliance and support its mission of a sustainable future. View our Privacy Policy here! I EU Transparency Register ID Number: 7028457765-59 Aktdetaljer Akttitel: FW: Electronics industry PFAS derogation requests for re-supply of pre-owned products and spare parts Aktnummer: Sagsnummer: 2023 - 11008 Akt-ID: 7457673 Dato: 09-05-2023 08:13:26 Type: Indgende Dokumenter: [1] FW Electronics industry PFAS derogation requests for re-supply of pre-owned products and spare parts.eml (MEDTAGES IKKE) [2] Third draft DE submission to EU PFAS consultation on Spare Parts and Pre-owned Products-clean.docx Den 12. juli 2024