Explanatory Memorandum to COM(2020)667 - Chemicals Strategy for Sustainability Towards a Toxic-Free Environment - Main contents
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This page contains a limited version of this dossier in the EU Monitor.
dossier | COM(2020)667 - Chemicals Strategy for Sustainability Towards a Toxic-Free Environment. |
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source | COM(2020)667 |
date | 14-10-2020 |
Contents
- Brussels, 14.10.2020
- 2.1.1.Promoting safe and sustainable-by-design chemicals
- SAFE AND SUSTAINABLE-BY-DESIGN
- 2.1.2.Achieving safe products and non-toxic material cycles
- NON-TOXIC MATERIAL CYCLES
- 2.1.3.Greening and digitalising the production of chemicals
- INNOVATING INDUSTRIAL PRODUCTION
- 2.2.1.Protect consumers, vulnerable groups and workers from the most harmful chemicals
- PROTECTION AGAINST MOST HARMFUL CHEMICALS
- ENDOCRINE DISRUPTORS
- 2.2.2.Protecting people and the environment from the combination effects of chemicals
- CHEMICAL MIXTURES
- 2.2.3.Towards zero chemical pollution in the environment
- CHEMICAL POLLUTION IN NATURAL ENVIRONMENT
- 2.3.1.One substance, one assessment
- COORDINATE AND SIMPLIFY ACTIONS ACROSS EU CHEMICAL LEGISLATION
- METHODOLOGIES AND DATA
- 2.3.2.A zero tolerance approach to non-compliance
- ZERO TOLERANCE FOR NON-COMPLIANCE
- 2.4.1.Improved availability of chemical data
- INFORMATION REQUIREMENTS
- 2.4.2.A strengthened chemical science-policy interface
- SCIENCE-POLICY INTERFACE
- 2.5.1.Strengthening international standards
- INTERNATIONAL LEADERSHIP
- 2.5.2.Promoting safety and sustainability standards outside the EU
- COOPERATION WITH THIRD COUNTRIES
COM(2020) 667 final
COMMUNICATION FROM THE COMMISSION TO THE EUROPEAN PARLIAMENT, THE COUNCIL, THE EUROPEAN ECONOMIC AND SOCIAL COMMITTEE AND THE COMMITTEE OF THE REGIONS
Chemicals Strategy for Sustainability
Towards a Toxic-Free Environment
{SWD(2020) 225 final} - {SWD(2020) 247 final} - {SWD(2020) 248 final} - {SWD(2020) 249 final} - {SWD(2020) 250 final} - {SWD(2020) 251 final}
1.sustainable chemicals for the green and digital transition
The European Green Deal 1 , European Union’s new growth strategy, has set the EU on a course to become a sustainable climate neutral and circular economy by 2050. It has also set a goal to protect better human health and the environment as part of an ambitious approach to tackle pollution from all sources and move towards a toxic-free environment. Chemicals are everywhere in our daily life and play a fundamental role in most of our activities, as they form part of virtually every device we use to ensure our well-being, protect our health and security, and meet new challenges through innovation. Chemicals are also the building blocks of low-carbon, zero pollution and energy- and resource-efficient technologies, materials and products. The increased investment and innovative capacity of the chemicals industry to provide safe and sustainable chemicals will be vital to offer new solutions and support both the green and the digital transitions of our economy and society.
At the same time, chemicals with hazardous properties can cause harm to human health and the environment. While not all hazardous chemicals raise the same concerns, certain chemicals cause cancers, affect the immune, respiratory, endocrine, reproductive and cardiovascular systems, weaken human resilience and capacity to respond to vaccines 2 and increase vulnerability to diseases 3 .
Exposure to these harmful chemicals is therefore a threat to human health. In addition, chemical pollution is one of the key drivers putting the Earth at risk 4 , impacting and amplifying planetary crises such as climate change, degradation of ecosystems and loss of biodiversity 5 . New chemicals and materials must be inherently safe and sustainable, from production to end of life, while new production processes and technologies must be deployed to allow the chemical industry’s transition to climate neutrality.
The EU already has one of the most comprehensive and protective regulatory frameworks for chemicals, supported by the most advanced knowledge base globally. This regulatory framework is increasingly becoming a model for safety standards worldwide 6 . The EU has been undeniably successful in creating an efficiently functioning internal market for chemicals, in reducing the risks to humans and the environment posed by certain hazardous chemicals, such as carcinogens 7 and heavy metals 8 , and in providing a predictable legislative framework for companies to operate in.
Facts and figures about chemicals, the chemicals industry 9 and chemicals legislation
·Global sales of chemicals were 3347 billion euro in 2018 where Europe was the second biggest producer (accounting for 16.9% of sales) although this share has halved over the last 20 years and forecasts predict a further decline by 2030 to move from second to third position.
·Chemical manufacturing is the fourth largest industry in the EU comprising 30 000 companies, 95% of which are SMEs, directly employing approximately 1.2 million people and 3.6 million indirectly.
·The EU has a comprehensive framework comprising approximately 40 legislative instruments including the Regulation on Registration, Evaluation, Authorisation and Restriction of Chemicals (REACH) 10 , the Regulation on the Classification, Labelling and Packaging of hazardous substances (CLP) 11 and amongst many others the legislation addressing the safety of toys, cosmetics, biocides, plant protection products, food, carcinogens in the workplace as well as legislation on environmental protection.
·Human biomonitoring studies in the EU point to a growing number of different hazardous chemicals in human blood and body tissue, including certain pesticides, biocides, pharmaceuticals, heavy metals, plasticisers and flame retardants 12 . Combined prenatal exposure to several chemicals has led to reduced foetal growth and lower birth rates 13 .
·84% of Europeans are worried about the impact of chemicals present in everyday products on their health, and 90% are worried about their impact on the environment 14 .
Nevertheless, in order to develop and deploy the sustainable chemicals that enable the green and digital transitions and to protect environment and human health, in particular that of vulnerable groups 15 , innovation for the green transition of the chemical industry and its value chains must be stepped up and the existing EU chemicals policy must evolve and respond more rapidly and effectively to the challenges posed by hazardous chemicals. This includes ensuring that all chemicals are used more safely and sustainably, promoting that chemicals having a chronic effect for human health and the environment - substances of concern 16 – are minimised and substituted as far as possible, and phasing out the most harmful ones for non-essential societal use, in particular in consumer products.
A more coherent, predictable and stronger regulatory framework, combined with non-regulatory incentives, will drive the necessary innovation, deliver increased protection, while enhancing the competitiveness of the European chemical industry and its value chains. To ensure a level playing field between EU and non-EU players, the EU must ensure full enforcement of its rules on chemicals both internally and at its borders, and promote them as a gold standard worldwide, in line with our international commitments.
The COVID-19 pandemic has not only added to the urgency to protect human and planetary health but it has also made us aware that manufacturing and supply chains have become increasingly complex and globalised for some critical chemicals, such as those to produce pharmaceuticals. The EU must strengthen its open strategic autonomy with resilient value chains and diversify sustainable sourcing for those chemicals that have essential uses for our health and for achieving a climate-neutral and circular economy.
This strategy highlights the areas where the Commission wants to make greater progress, in close concertation with stakeholders to fine-tune these objectives as part of rigorous impact assessment processes building on the ample evidence already gathered on the performance of existing legislation 17 . The Commission will establish a high-level roundtable with representatives from industry including SMEs, science and the civil society to realise the strategy’s objectives in dialogue with the stakeholders concerned. Discussions of the roundtable are envisaged to focus in particular on how to make the chemicals legislation work more efficiently and effectively and how to boost the development and uptake of innovative safe and sustainable chemicals across sectors.
2.towards a toxic-free environment: a new long-term vision for EU chemicals policy
Almost 20 years after the first strategic approach to chemicals management in Europe 18 , the time has come to chart a new long-term vision for the EU’s chemical policy. In line with the European Green Deal, the strategy strives for a toxic-free environment, where chemicals are produced and used in a way that maximises their contribution to society including achieving the green and digital transition, while avoiding harm to the planet and to current and future generations. It envisages the EU industry as a globally competitive player in the production and use of safe and sustainable chemicals. The strategy proposes a clear roadmap and timeline for the transformation of industry with the aim of attracting investment into safe and sustainable products and production methods.
Figure: The toxic-free hierarchy – a new hierarchy in chemicals management
This strategy sets a pathway towards implementation of this vision through actions to support innovation for safe and sustainable chemicals, strengthen the protection of human health and the environment, simplify and strengthen the legal framework on chemicals, build a comprehensive knowledge base to support evidence-based policy making, and set the example of sound management of chemicals globally.
2.1.Innovating for safe and sustainable EU chemicals
The transition to chemicals that are safe and sustainable by design is not only a societal urgency but also a great economic opportunity, as well as a key component of EU’s recovery from the COVID-19 crisis. Considering the trends in global chemical production, this is an opportunity for the EU chemical industry to regain competitiveness by further developing safe and sustainable chemicals and to bring sustainable solutions across sectors, notably for construction materials, textiles, low-carbon mobility, batteries, wind turbines and renewable energy sources. The Commission proposal on Next Generation EU, and its Recovery and Resilience Facility, provides for EU Member States to invest in projects that facilitate the green and digital transition of EU industries, including in the chemical sector, and boost the competitiveness of sustainable EU industry. The transition to sustainable chemicals will also be mindful of socio-economic consequences including employment impacts on specific regions, sectors, and workers.
Europe has frontrunner companies and the scientific and technical capacity to lead the transition to a safe and sustainable-by-design approach 19 to chemicals. Regulatory and market initiatives have to a large extent been established, but substitution of most harmful substances has not occurred at the expected pace 20 and frontrunners still encounter major economic and technical barriers 21 . This transition needs stronger policy and financial support, as well as advice and assistance in particular for SMEs, and requires a concerted effort from all: authorities, businesses, investors and researchers.
Regulatory tools 22 need to be exploited to drive and reward the production and use of safe and sustainable chemicals. It is particularly important to incentivise industry to prioritise innovation for substituting, as far as possible, substances of concern 23 . Moving to safe and sustainable-by-design chemicals, including to sustainable bio-based chemicals 24 , and investing in finding alternatives to substances of concern is crucial for human health and the environment, as well as an important precondition for reaching a clean circular economy.
The Commission will:
·develop EU safe and sustainable-by-design criteria for chemicals;
·establish an EU-wide safe and sustainable-by-design support network to promote cooperation and sharing of information across sectors and the value chain and provide technical expertise on alternatives;
·ensure the development, commercialisation, deployment and uptake of safe and sustainable-by-design substances, materials and products through financial support 25 – in particular to SMEs – under Horizon Europe, cohesion policy, the LIFE programme, other relevant EU funding and investment instruments and public-private partnerships;
·map and address safe and sustainable-by-design skills mismatches and competence gaps, and ensure adequate skills at all levels - including in vocational and tertiary education, research, industry and among regulators;
·establish, in close cooperation with stakeholders, Key Performance Indicators to measure the industrial transition towards the production of safe and sustainable chemicals;
·ensure that the legislation on industrial emissions promotes the use of safer chemicals by industry in the EU by requiring on-site risk assessments and by restricting the use of substances of very high concern.
In a clean circular economy it is essential to boost the production and uptake of secondary raw materials and ensure that both primary and secondary materials and products are always safe. The recently adopted circular economy action plan 26 has shown that this requires a combination of actions upstream, to ensure that products are safe and sustainable-by-design, and downstream, to increase safety of and trust in recycled materials and products. However, the creation of a well-functioning market for secondary raw materials and the transition to safer materials and products is being slowed down by a number of issues, in particular the lack of adequate information on the chemical content of products 27 . Consumers, value chain actors as well as waste operators therefore cannot make informed choices.
To move towards toxic-free material cycles and clean recycling and ensure that “Recycled in the EU” becomes a benchmark worldwide, it is necessary to ensure that substances of concern in products and recycled materials are minimised. As a principle, the same limit value for hazardous substances should apply for virgin and recycled material. However, there may be exceptional circumstances where a derogation to this principle may be necessary. This would be under the condition that the use of the recycled material is limited to clearly defined applications where there is no negative impact on consumer health and the environment, and where the use of recycled material compared to virgin material is justified on the basis of a case by case analysis.
Regulatory actions need to go hand-in-hand with increased investments in innovative technologies to address the presence of legacy substances in waste streams, which could in turn allow to recycle more waste 28 . This is particularly important for certain plastics and textiles. Sustainable innovations and technologies will have to be developed for this purpose. Technologies such as chemical recycling could also have a role but only if they ensure an overall positive environmental and climate performance, from a full life cycle perspective.
The Commission will:
·minimise the presence of substances of concern in products by introducing requirements, also as part of the Sustainable Product Policy Initiative, giving priority to those product categories that affect vulnerable populations as well as those with the highest potential for circularity, such as textiles, packaging including food packaging, furniture, electronics and ICT, construction and buildings;
·ensure availability of information on chemical content and safe use, by introducing information requirements in the context of the Sustainable Product Policy Initiative and tracking the presence of substances of concern through the life cycle of materials and products 29 ;
·ensure that authorisations and derogations from restrictions for recycled materials under REACH are exceptional and justified;
·support investments in sustainable innovations 30 that can decontaminate waste streams, increase safe recycling and reduce the export of waste, in particular plastics and textiles;
·develop methodologies for chemical risk assessment that take into account the whole life cycle of substances, materials and products.
Chemical production is one of the most polluting, energy and resource-intensive sectors and is closely integrated with other energy-intensive sectors and processes. While the European chemical industry has already invested in improved manufacturing plants, the green and digital transition still requires significant investments for the sector 31 . Novel and cleaner industrial processes and technologies would help not only to lower the environmental footprint of chemicals production but also to reduce costs, improve market readiness and create new markets for the European sustainable chemicals industry.
Energy efficiency must be prioritised in accordance with the ambition of the European Green Deal, and fuels such as renewable hydrogen and sustainably produced biomethane could play a decisive role for the sustainability of energy sources 32 . Digital technologies – such as the internet of things, big data, artificial intelligence, smart sensors and robotics – can also play an important role in greening manufacturing processes. In addition, chemical innovations can bring sustainable solutions across sectors to reduce the overall environmental footprint of production processes.
Beyond the role played by technology, innovations in business models can be an important driver for the green transition of the industry producing and using chemicals. Opportunities to shift from traditional production and use of chemicals to chemicals as a service 33 should be explored and promoted. Such innovations could optimise the use of expertise and ensure resource efficiency during the entire life cycle, as well as encourage place-based innovation and the involvement of SMEs. These developments will be supported by the EU sustainable finance taxonomy 34 , to help guide funds towards the manufacturing and use of environmentally sustainable chemicals.
The Commission will support, through its financial instruments and research and innovation programmes 35 :
·research and development in advanced materials for applications in the energy, construction, mobility, health, agriculture and electronics sectors to deliver the green and digital transition;
·research, development and deployment of low-carbon and low environmental impact chemical and material production processes;
·research and development of innovative business models such as performance-based business model to ensure a more efficient use of chemicals and other resources and the minimization of wastes and emissions;
·re-skilling and up-skilling the workforce involved in the production and use of chemicals towards the green and digital transition;
·access to risk finance, in particular for SMEs and start-ups;
·development and deployment of infrastructure allowing to switch to the use, transport and storage of electricity from renewable / carbon-neutral energy sources for the production of chemicals;
·increase the current deployment rate of available technologies for manufacturing purposes such as internet of things, big data, artificial intelligence, automation, smart sensors and robotics.
2.1.4.Strengthening the EU’s open strategic autonomy
Over the past decades, manufacturing and supply chains have become increasingly complex and globalised for some critical chemicals, e.g. raw materials, intermediates, active pharmaceutical ingredients. The COVID-19 pandemic has highlighted that the limited number of suppliers for some chemicals used in essential societal applications may pose risks, for example to the availability of medicines and to EU’s capacity to respond to health crises. EU’s resilience to supply disruptions is not only key to guarantee availability of chemicals used in health applications but also for achieving the overall sustainability goals as set in the European Green Deal, including technologies for climate neutrality, such as batteries, wind turbines and photovoltaics, for clean material circularity and for the zero pollution ambition.
A more resilient economy and healthcare systems requires the existing chemical production capacity in the EU to thrive, sufficiently diversified sources of supply and a better management of the risk of disruption at all levels, strategic reserves and stockpiling, as well as mechanisms to ensure that supply chains can continue to operate unaffected in case of a crisis.
STRENGTHENING EU’S OPEN STRATEGIC AUTONOMY
The Commission will:
·in line with the European Council Conclusions of October 2020 and the announced update of the Industrial Policy Communication, identify strategic dependencies and propose measures to reduce these dependencies;
·identify strategic value chains in particular for technologies and applications relevant for the green and digital transition where critical chemicals are important building blocks;
·engage with stakeholders to increase the Union’s strategic foresight on chemicals;
·promote interregional collaboration along sustainable chemicals value chains, through smart specialisation 36 , in order to accelerate the development of joint investment projects;
·promote the EU’s resilience of supply and sustainability of chemicals used in essential applications for society through EU funding and investment mechanisms 37 .
2.2.Stronger EU legal framework to address pressing environmental and health concerns
Although the EU’s approach to chemicals management has been effective in reducing human and environmental exposures to certain problematic substances, ongoing and emerging health and environmental concerns call for a strengthening of the legal framework to rapidly respond to scientific findings, making it more coherent, simple and predictable for all actors. In particular, the REACH and CLP Regulations should be reinforced as EU’s cornerstones for regulating chemicals, and be complemented by coherent approaches to assess and manage chemicals in existing sectorial legislation, especially that regulating consumer products.
Consumers are widely exposed to chemicals present in products, from toys and childcare articles to food contact materials, cosmetics, furniture and textiles, to name a few, and millions of workers across the EU daily come into contact with chemical agents that can be harmful to them 38 . Vulnerable population groups - such as children, pregnant women and elderly people – are particularly sensitive to chemicals with certain hazardous properties 39 .
One of the biggest health benefits of the EU chemicals legislation in the past decades has been the reduction in the exposure of citizens to carcinogenic substances. This has been possible in particular thanks to a preventive approach across legislation – the ‘generic approach to risk management’ 40 - which means that carcinogenic substances have been generally banned from most consumer products and for uses that expose vulnerable groups, while allowing limited exemptions under conditions clearly defined in law. Such preventive approach is simpler, generally faster and provides clear signals to all actors - enforcement authorities, industry and downstream users - on the types of chemical substances where innovation should be prioritised by the industry 41 .
However, the vast majority of chemicals in the EU is currently regulated on a case-by-case basis and for each specific use 42 . Ample evidence and citizens’ worries justify that for the most harmful chemicals the generic approach to risk management becomes the default option, in particular as regards their use in consumer products. This will be done gradually. Firstly, the Commission will extend the generic approach to risk management to ensure that consumer products do not contain chemicals that cause cancers, gene mutations, affect the reproductive or the endocrine system, or are persistent and bioaccumulative. Secondly, the Commission will immediately launch a comprehensive impact assessment to define the modalities and timing for extending the same generic approach, with regard to consumer products, to further chemicals, including those affecting the immune, neurological or respiratory systems and chemicals toxic to a specific organ.
Extending the generic approach will ensure that consumers, vulnerable groups and the natural environment are more consistently protected, while still allowing for the use of these most harmful chemicals where proven essential for society. The criteria for essential uses of these chemicals will have to be properly defined to ensure coherent application across EU legislation, and will in particular take into consideration the needs for achieving the green and digital transition.
The Commission will:
·extend the generic approach to risk management to ensure that consumer products – including, among other things, food contact materials, toys, childcare articles, cosmetics, detergents, furniture and textiles - do not contain chemicals that cause cancers, gene mutations, affect the reproductive or the endocrine system, or are persistent and bioaccumulative. In addition, immediately launch a comprehensive impact assessment to define the modalities and timing for extending the same generic approach, with regard to consumer products, to further harmful chemicals, including those affecting the immune, neurological or respiratory systems and chemicals toxic to a specific organ;
·in the meantime, while the generic approach to risk management is not in place, prioritise all the above-listed substances for restrictions for all uses and through grouping, instead of regulating them one by one;
·ensure the safety of children 43 from hazardous chemicals in childcare articles and other products for children (other than toys) to provide the same level of protection as in toys, through the mandatory legal requirements of the General Product Safety Directive and restrictions in REACH;
·define criteria for essential uses 44 to ensure that the most harmful chemicals are only allowed if their use is necessary for health, safety or is critical for the functioning of society and if there are no alternatives that are acceptable from the standpoint of environment and health. These criteria will guide the application of essential uses in all relevant EU legislation for both generic and specific risk assessments;
·extend to professional users under REACH the level of protection granted to consumers;
·strengthen protection of workers by defining, in the process of the upcoming Strategic Framework for Health and Safety at work, further priorities for addressing workers’ exposure to hazardous substances, including by identifying most harmful substances for which the Commission will propose to set occupational limits following the established consultation process in the area of health and safety at work. Also, strengthen protection of workers, notably by proposing lowering existing occupational limit values for lead and asbestos and establishing a binding limit value for di-isocyanates.
The exposure of humans and the environment to endocrine-disrupting chemicals requires specific attention. These substances are increasingly linked to diseases acting via the hormonal system 45 . Their use is on the rise, representing a serious risk to human health and wildlife as well as creating an economic cost for society. As hormones control brain development and growth, exposure to endocrine-disruptors during foetal development and puberty can lead to irreversible effects, some being detected only many years later 46 . Although some pieces of legislation 47 are able to identify endocrine disruptors, the EU regulatory system is overall fragmented, limited and needs to be consolidated and simplified to ensure that endocrine disruptors are recognised in a timely manner and that exposure of humans and the environment is minimised. This requires the adoption of the preventive generic approach to risk management across legislation 48 , especially to avoid the use of endocrine disruptors in consumer products.
The Commission will:
·propose to establish legally binding hazard identification of endocrine disruptors, based on the definition of the WHO, building on criteria already developed for pesticides and biocides, and apply it across all legislation;
·ensure that endocrine disruptors are banned in consumer products as soon as they are identified, allowing their use only where it is proven to be essential for society;
·strengthen workers’ protection by introducing endocrine disruptors as a category of substances of very high concern under REACH;
·ensure that sufficient and appropriate information is made available to authorities to allow the identification of endocrine disruptors by reviewing and strengthening information requirements across legislation;
·accelerate the development and uptake of methods to generate information on endocrine disruptors through screening and testing of substances.
49 50 51 52 53 People and other living organisms are daily exposed to a wide mix of chemicals originating from various sources. Significant progress has been made in recent years to close some knowledge gaps on the impact of the combination effect of those chemicals. However, the safety of chemicals in the EU is usually assessed through the evaluation of single substances, or in some cases of mixtures intentionally added for particular uses, without considering the combined exposure to multiple chemicals from different sources and over time. For people, the combination effects of chemicals may intensify in closed environments. Some pieces of legislation require to assess the cumulative exposure to the same chemical from different sources. Explicit requirements to take into account the impact of unintentional mixtures is generally lacking, currently existing for the protection of workers. The pesticides and biocides legislation require to consider cumulative and synergistic effects. For pesticides, progress has been made in developing a targeted methodology, and work will be accelerated so that existing provisions can be fully implemented.
54 To adequately address the combination effect of chemical mixtures, legal requirements need to be consistently in place to ensure that risks from simultaneous exposure to multiple chemicals are effectively and systematically taken into account across chemicals-related policy areas. As it is currently not realistic nor economically feasible to specifically assess and regulate an almost infinite number of possible combinations of chemicals, scientific consensus is emerging that the effect of chemical mixtures needs to be taken into account and integrated more generally into chemical risk assessments. In parallel, targeted methodologies could be further developed and explored for specific policy areas.
The Commission will:
·assess how to best introduce in REACH (a) mixture assessment factor(s) for the chemical safety assessment of substances;
·introduce or reinforce provisions to take account of the combination effects in other relevant legislation, such as legislation on water, food additives, toys, food contact material, detergents and cosmetics;
·improve the assessments of the mixtures used in the manufacture of tobacco and related products by using where possible existing EU agencies 55 .
Hazardous chemicals and their complex interaction with other environmental stressors can have long-term and large-scale environmental impacts on the terrestrial and marine environment. They can contribute to the reduction of ecosystem resilience, leading to rapid declines in animal populations and, ultimately, to extinctions 56 , as well as impacting human health and wellbeing, not least through the possible presence of contaminants in the food chain. It is estimated that 2.8 million potentially contaminated sites exist in the EU, mainly from waste disposal and treatment, posing a significant environmental hazard for terrestrial and aquatic ecosystems and affecting the productivity of soils 57 . The current regulatory and policy framework struggles to take this into account and needs to be strengthened.
The Commission will:
·propose new hazard classes and criteria in the CLP Regulation to fully address environmental toxicity, persistency, mobility and bioaccumulation;
·introduce endocrine disruptors, persistent, mobile and toxic and very persistent and very mobile substances as categories of substances of very high concern;
·ensure that the information made available to authorities on substances allows comprehensive environmental risk assessments by strengthening requirements across legislation;
·address the impact on the environment of the production and use of pharmaceuticals in the upcoming pharmaceuticals strategy for Europe 58 ;
·support research and development for decontamination solutions in terrestrial and aquatic environments;
·reinforce the regulation of chemical contaminants in food to ensure a high level of human health protection.
Per- and polyfluoroalkyl substances (PFAS) require special attention, considering the large number of cases of contamination of soil and water - including drinking water 59 - in the EU and globally 60 , the number of people affected with a full spectrum of illnesses and the related societal and economic costs 61 . That is why the Commission proposes a comprehensive set of actions to address the use of and contamination with PFAS. Those aim to ensure, in particular, that the use of PFAS is phased out in the EU, unless it is proven essential for society.
PFAS 62
The Commission will:
·ban all PFAS as a group in fire-fighting foams as well as in other uses, allowing their use only where they are essential for society;
·address PFAS with a group approach, under relevant legislation on water, sustainable products, food, industrial emissions, and waste;
·address PFAS concerns on a global scale through the relevant international fora 63 and in bilateral policy dialogues with third countries;
·establish an EU-wide approach and provide financial support under research and innovation programmes to identify and develop innovative methodologies for remediating PFAS contamination in the environment and in products;
·provide research and innovation funding for safe innovations to substitute PFAS under Horizon Europe.
2.3.Simplifying and consolidating the legal framework
The EU regulatory framework for hazard and risk assessment and management of chemicals is comprehensive and complex. Overall, EU chemicals legislation delivers results as intended and is fit-for-purpose. However, a number of significant weaknesses prevent the EU chemicals legislation from living up to its full potential 64 . If not rapidly addressed, the framework will struggle to timely and efficiently cope with the current and future production and use of chemicals. A key ambition of this strategy is to ensure simplification of this framework, as well as the consolidation and full implementation of the EU rules on chemicals.
The complexity of assessment procedures represents a specific challenge for authorities and stakeholders. It can lead to inconsistencies, slow procedures, inefficient use of resources and unnecessary burdens.
The Commission will strive to make those assessment processes simpler and more transparent, in order to reduce the burden on all stakeholders and to make decision-making faster as well as more consistent and predictable. This process will also support the gradual move away from assessing and regulating chemicals substance-by-substance to regulating them by groups.
Chemical safety assessments are being initiated under various pieces of legislation, by various actors and at different points in time, and they are carried out by various EU agencies 65 , scientific committees 66 , expert groups or Commission departments. Stakeholders and the general public struggle to keep track of regulatory processes and resulting decisions. ‘One substance, one assessment’ will ensure that the initiation and priority setting of the safety assessments are done in a coordinated, transparent and to the extent possible synchronised manner taking into account the specificities of each sector. When an assessment is proposed under one piece of legislation, full account shall be taken of the planning under other pieces of legislation, so that coordinated action is ensured. This could be most efficiently done by building on the success of the ‘Public Activities Coordination Tool’, the existing mechanism in place under REACH and CLP 67 . To avoid duplication of work, early agreement on the problem definition will be key, favouring the assessment by groups of substances with structural or functional similarities. The use of available resources and expertise shall be optimised, through a clear allocation of responsibilities as well as good cooperation among all actors.
The Commission will:
·use a single ‘Public Activities Coordination Tool’ to provide an up-to-date overview of all planned and ongoing initiatives on chemicals by authorities across legislation;
·establish an expert working group of Member States, Commission services and EU Agencies 68 to discuss initiatives on hazard/risk assessment on chemicals across chemical legislation, taking into account also the specificities of the sector concerned;
·establish a coordination mechanism within the Commission to agree and synchronise, to the extent possible, actions across chemical legislation as regards hazard identification/classification and risk assessment and oversee the process towards ‘one substance, one assessment’;
·rationalise the use of expertise and resources by proposing the reattribution of technical and scientific work on chemicals performed under the relevant pieces of legislation to European agencies, including work of the SCHEER and SCCS 69 ;
·make a proposal to strengthen the governance of the European Chemicals Agency and increase the sustainability of its financing model;
·reform the REACH authorisation and restriction processes based on key findings from its practical implementation 70 .
In order to achieve consistency of regulatory outcomes, EU chemicals legislation need to use coherent terminology, in particular to define chemicals (e.g. nanomaterials). Policy evaluations also show that interested parties are not always aware of what information is available, and that re-use rights are sometimes too restrictive. They also highlight a number of shortcomings in the interoperability and accessibility of chemical data 71 . In addition, regulatory safety assessments use various methodologies, which may lead to incoherent outcomes, while academic studies are not sufficiently exploited. Different transparency rules are also applied to the initiation and performance of assessments and data use.
The ‘one substance, one assessment’ approach aims to ensure that methodologies are made more coherent and to the extent possible harmonised. It strives to free the data access of technical or administrative obstacles, according to the principles that data should be easily findable, interoperable, secure, shared and reused by default 72 . Data will be made available in appropriate formats and tools – i.e. IUCLID 73 and IPCHEM 74 - to ensure interoperability. ‘One substance, one assessment’ will also build greater trust in the scientific underpinning of the EU decision-making process for chemicals, building on the important steps taken regarding transparency in the EU food safety sector 75 .
The Commission will:
·ensure that the CLP Regulation is the central piece for hazard classification and allows the Commission to initiate harmonised classifications 76 ;
·review the definition of nanomaterial 77 and ensure its coherent application across legislation using legally binding mechanisms;
·develop a common open data platform on chemicals 78 to facilitate the sharing, access and re-use of information on chemicals coming from all sources;
·promote reuse and harmonisation of human and environmental health-based limit values 79 among EU risk assessors and managers through a centralised and curated EU repository;
·establish tools and practices to ensure that relevant academic data is easily and readily accessible for safety assessments and is suitable for regulatory purposes;
·enable EU and national authorities to commission testing and monitoring of substances as part of the regulatory framework when further information is considered necessary 80 ;
·remove legislative obstacles for the re-use of data and better streamline the flow of chemical data between EU and national authorities;
·extend the principle of open data and the relevant transparency principles from the EU food safety sector to other pieces of chemical legislation.
All chemicals, materials and products produced in the EU or placed on the European market must fully comply with EU information, safety and environmental requirements. In spite of this, currently almost 30% of the alerts on dangerous products on the market involve risks due to chemicals, with almost 90% of those products coming from outside the EU 81 and imported articles and online sales representing a particular challenge. Equally, only one third of the registration dossiers of the chemical substances registered by industry under REACH are fully compliant with the information requirements 82 . Stepping up implementation and enforcement of chemicals legislation is urgently needed to ensure compliance for the production and placing on the market of chemicals as well as for their release and disposal.
The implementation of the new market surveillance Regulation 83 as well as the forthcoming measures to reinforce the EU Customs Union will strengthen enforcement both within the single market and at the EU’s external borders. The Commission is considering which additional measures could be put in place to strengthen the enforcement of REACH at the EU’s borders 84 , as well as to promote cooperation with online market platforms 85 .
Furthermore, enforcement of EU chemicals legislation is not equally effective throughout the EU, due to the different capacities and resources at national level. Member States must increase their enforcement capacity to levels where they can be effective, allowing to reap the benefits from the EU’s rapid information and alert tools 86 , better exploit digital tools for faster action and optimise resources, including of market surveillance authorities. The European Chemicals Agency’s Forum for exchange of information and enforcement 87 has proven effective in advancing the harmonisation of enforcement and will extend its cooperation with existing enforcement networks 88 and authorities 89 to avoid duplication of actions and increase effectiveness.
Ongoing activities aim at improving compliance with environmental legislation relevant to chemicals 90 . A good example is the Environmental Compliance and Governance Forum 91 , which brings together Member States’ chemicals authorities and environmental enforcement networks 92 . The upcoming zero pollution action plan will initiate further specific actions to control chemical pollution.
Actions to empower consumers and consumer organisations will also be key, as their behaviour is a powerful driver to industrial change and to ensuring compliance with legislation. This will be pursued by implementing consumer protection rules 93 .
The Commission will:
·strengthen the principles of no data, no market and the ‘polluter-pays’ under REACH, in particular by requiring compliance of all registration dossiers and revoking the registration numbers in case of non-compliance;
·propose to entrust the Commission with the duty to carry out audits in Member States, where relevant, to ensure compliance and enforcement of chemicals legislation, in particular REACH, and use infringement procedures as necessary;
·target known areas of high risk of non-compliance, in particular online sales, imported articles, classification and labelling and restrictions;
·extend the scope of action of the European Anti-Fraud Office for coordination and investigation, to tackle the circulation of illicit chemical products in the EU 94 ;
·support Member States to prioritise integrated enforcement through multi-legislation checks;
·ensure a harmonised EU-wide response and coordinated exchange of information on enforcement of chemical legislation, by strengthening the use of relevant Commission IT platforms;
·explore the use of digital tools to support market surveillance and customs authorities as well as to improve the compliance of products containing chemicals sold online to European consumers;
·encourage the Member States to use the Recovery and Resilience Facility to invest in the reinforcement of market surveillance infrastructures and digitalisation;
·establish – under the Market Surveillance Regulation 95 – uniform conditions and frequency of checks for certain products where specific risks or serious breaches of applicable Union harmonisation legislation have been continuously identified.
2.4.A comprehensive knowledge base on chemicals
The sound management of chemicals in Europe depends on the ability of the EU and its Member States to make their decisions based on robust and relevant, up-to-date knowledge. The EU has, over several decades, developed world-class knowledge on chemicals' properties and risks also thanks to the work carried out by its scientific bodies and this knowledge base has been widely used also in other parts of the world. Still, there is much knowledge to be acquired by authorities on the intrinsic properties of a vast majority of chemicals, including polymers and chemicals that are not manufactured in high volumes. Equally, knowledge on uses and exposure is fragmented, in particular as it relies on industry to provide accurate information. The sheer number of chemicals on the market represents an immense knowledge challenge, and the expected future rise in chemical production and use risks further widening the ‘unknown territory of chemical risks’.
Figure: The unknown territory of chemical risks, EEA 96
The EU is still lacking a comprehensive information base on all substances placed on the market and on their overall environmental footprint, including their impact on climate, and this hinders the proper management of chemicals and products and does not allow for a full sustainability assessment. In particular polymers, which are the fundamental building blocks of plastics, are not subject to registration under REACH. Furthermore, information required for substances in the low and medium tonnages under REACH does not fully allow to identify substances with critical hazard properties. Strengthening information requirements on the carcinogenicity of substances and on other critical hazards at all production levels plays a fundamental role in the successful fight against illnesses such as cancer 97 . In addition, the efficiency and effectiveness of the REACH evaluation procedures need to be improved 98 .
The Commission will:
·make a proposal to extend the duty of registration under REACH to certain polymers of concern;
·asses how to best introduce information requirements under REACH on the overall environmental footprint of chemicals, including on emissions of greenhouse gases;
·amend REACH information requirements to enable an effective identification of substances with critical hazard properties, including effects on the nervous and the immune systems;
·amend REACH information requirements to enable identification of all carcinogenic substances manufactured or imported in the EU, irrespective of the volume.
Substantial efforts have been put in place to improve the scientific understanding of the impacts of chemicals on health and the environment 99 . Monitoring the presence of chemicals in humans and ecosystems is key to improve the understanding of their impact, and should be further promoted, including to understand the links between chemicals and gender 100 . In partnership with Member States, the Commission will continue to foster research and (bio-)monitoring to understand and prevent chemicals-related risks and drive innovation in chemical risk assessment and regulatory science through its future framework programme for research and innovation.
Despite a strong EU policy for the protection of animals used for scientific purposes, adopted 10 years ago, which makes full replacement of animal testing its ultimate goal, animals are still required to be used systematically for testing in the field of chemicals 101 . Safety testing and chemical risk assessment need to innovate in order to reduce dependency on animal testing but also to improve the quality, efficiency and speed of chemical hazard and risk assessments.
The Commission will:
·establish and update a research and innovation agenda for chemicals, driven by a EU-level Coordination Group, that would also promote the regulatory uptake of research findings;
·foster multidisciplinary research and digital innovations for advanced tools, methods and models, and data analysis capacities 102 to also move away from animal testing;
·provide financial support for EU-wide human and environmental (bio)monitoring capacities, complementing ecosystem monitoring initiatives 103 ;
·develop an EU early warning and action system for chemicals 104 to ensure that EU policies address emerging chemical risks as soon as identified by monitoring and research;
·develop a framework of indicators to monitor the drivers and impacts of chemical pollution and to measure the effectiveness of chemicals legislation 105 .
2.5.Setting the example for a global sound management of chemicals
The production, use and trade of chemicals are growing in all regions of the world. World chemicals turnover was valued at €3,347 billion in 2018 106 and production is expected to double by 2030. Chemical-intensive sectors like construction, automotive and electronics are also growing, increasing the demand for chemicals and creating opportunities, but also risks 107 . Although its contribution to the global burden of disease is still underestimated 108 , chemical pollution is recognised to be a threat to the right to a life with dignity, notably for children 109 and in particular in low and middle-income countries 110 .
In 2015, the international community recommitted to achieve the target of a global sound management of chemicals by 2020 111 , which is also an essential cross-cutting element to achieve most of the other Sustainable Development Goals. Although much has been done at all levels, progress remains slow and insufficient and this global commitment has not been met 112 . A real sense of urgency is needed. The European Union can and must play a leading role to champion and promote high standards in the world.
A wide diversity of international, regional and national instruments and responses associated with the sound management of chemicals and waste are already in place. However, the global governance remains extremely fragmented, and standards and compliance vary widely across countries. For example, as of 2018, over 120 countries had not implemented the Globally Harmonized System of Classification and Labelling of Chemicals 113 . This fragmentation has hampered the overall impact and effectiveness of existing organisations, programmes and initiatives.
Global strategic objectives and targets are needed for an ambitious international framework that addresses the current fragmentation and fosters coherent policies and action by all relevant international organisations 114 , governments and stakeholders, including industry. A renewed Strategic Approach to International Chemicals Management is the essential multilateral agreement that will allow to fully address the sound management of chemicals throughout their life cycle. While it is important to use relevant international standards, guides and methodologies when developing EU rules, unless they are ineffective or inappropriate, it is at the same time fundamental to mainstream the sound management of chemicals and waste in the work programmes of all relevant international organisations 115 . It will allow the EU to promote consistent policies and actions under the UN’s 2030 Agenda, in line with EU’s international commitments.
The EU will:
·step up its international advocacy to meet the 2030 Agenda’s goals and targets for the sound management of chemicals, in particular by having a leading role and promoting the implementation of existing international instruments 116 as well as EU standards globally;
·strive for the adoption of global strategic objectives and targets for the sound management of chemicals and waste beyond 2020 to reflect life cycle approaches for chemicals, in line with the post-2020 global biodiversity targets;
·promote, together with industry, the implementation of the Globally Harmonized System of Classification and Labelling of Chemicals (UN GHS) as the means for identifying chemical hazards and communicating them to operators, workers and consumers;
·propose to introduce, adapt or clarify criteria/hazard classes in UN GHS 117 ;
·promote the development of common standards and innovative risk assessment tools internationally, notably with the OECD, and promote their use under international frameworks, inter alia to shift further away from animal testing.
While global chemicals production is estimated to double by 2030, the estimated global share of the EU chemical industry is expected to shrink to about 10.7% 118 . Much of the expected rise in chemical production will shift to developing countries and economies in transition. EU chemicals legislation has positioned the EU as a frontrunner in health and environmental standards on chemicals management and this strategy aims to drive EU’s leadership in producing and using sustainable chemicals. The EU must leverage its weight in the world to advocate safe and sustainable-by-design approaches globally, to level the playing field and to increase the market share for companies that produce and use safe and sustainable chemicals.
Closer international cooperation and coordination is also imperative. The Commission is committed to supporting the capacity of EU partner countries to meet their international obligations under the chemicals related international instruments and to adopt and enforce high environmental, health and social standards. The EU’s external action will promote and mainstream the sound management of chemicals through their life cycle and the transition to a toxic-free and circular economy, as essential cross-cutting elements for sustainable development and taking into account policy coherence for development.
Finally, sharing the EU’s knowledge base is important to support developing countries, but also for the benefit of mutual acceptance of data among OECD and other relevant countries. This is key to avoid duplication of work, save resources and support international standards. The existing knowledge base and experience of EU agencies, within their mandate and resources, shall also be put to the benefit of EU international policies and leadership.
The EU will:
·promote the sound management of chemicals through international cooperation and partnerships, in bilateral, regional and multilateral fora, including through cooperation with Africa 119 , as well as cooperation with neighbours and other partners to support their capacity to assess and manage chemicals in a sound manner;
·lead by example, and, in line with international commitments, ensure that hazardous chemicals banned in the European Union are not produced for export, including by amending relevant legislation if and as needed;
·promote due diligence for the production and use of chemicals within the upcoming initiative on sustainable corporate governance.
3.Conclusions
This strategy is an opportunity to reconcile the societal value of chemicals with human health and planetary boundaries as well as to support industry in producing safe and sustainable chemicals. It is also an opportunity to respond to the legitimate aspirations of EU citizens for a high level of protection from hazardous chemicals and to promote the EU industry as a global frontrunner in the production and use of safe and sustainable chemicals.
This strategy represents the necessary first step towards Europe’s zero pollution ambition and the related targets defined in the biodiversity and farm to fork strategies, laying the foundations for the upcoming zero pollution action plan and contributing to the success of the Europe’s beating cancer plan. The strategy is also complementary to the European industrial strategy 120 , the recovery plan for Europe 121 , the circular economy action plan, and other European Green Deal strategies and initiatives such as the pharmaceuticals strategy, the hydrogen strategy and the batteries initiative.
New legislative initiatives announced in this strategy will be underpinned by the Commission’s better regulation tools. Legal proposals, including a revision of the REACH Regulation in the most targeted way possible, limited to achieving the objectives of this Strategy, will be made on the basis of public consultations and subject to comprehensive impact assessments, including analyses of how small and medium size enterprises (SMEs) are affected and innovation is fostered or hindered.
The Commission invites the European Parliament and the Council to endorse this strategy and to contribute to its implementation. The Commission will reach out to citizens and stakeholders in a coordinated way to encourage them to actively participate.
(1) COM(2019) 640 .
(2) Substances such as PFOS and PFOA are associated with reduced antibody response to vaccination; EFSA, www.efsa.europa.eu/sites/default/files">Scientific opinion on PFAS .
(3) Linking pollution and infectious disease , C&en, 2019; www.sciencedaily.com/releases/2019/10/191002144257">Environmental toxins impair immune system over multiple generations , Science Daily, October 2, 2019.
(4) Rockström, J. et al., Planetary Boundaries: Exploring the Safe Operating Space for Humanity. Ecology and Society, 2009.
(5) Examples include negative effects on pollinators, insects, aquatic ecosystems and bird populations.
(6) A. Bradford, The Brussels effect, 2020.
(7) 1 million new cancer cases are estimated to have been prevented in the EU over the last 20 years; SWD(2019)199 .
(8) Including mercury, cadmium and arsenic, SWD(2019)199 .
(9) CEFIC, Facts and Figures Report , 2020.
(10) Regulation (EC) No 1907/2006 on the Registration, Evaluation, Authorisation and Restriction of Chemicals. OJ L 396, 30.12.2006.
(11) Regulation (EC) No 1272/2008 on the Classification, Labelling and Packaging of Substances and Mixtures. OJ L 353, 31.12.2008.
(12) European Commission, Study for the Strategy for the Non-Toxic Environment , p. 123.
(13) Ibid.
(14) Eurostat, Eurobarometer , 2020.
(15) For the scope of this Strategy, vulnerable groups are those populations more vulnerable to chemicals exposure, because for different reasons have a higher sensitivity or a lower threshold for health effects, are more exposed or more likely to be exposed, or have a reduced ability to protect themselves. Vulnerable groups typically include pregnant and nursing women, the unborn, infants and children, the elderly people as well as workers and residents subject to high and/or long term chemical exposure.
(16) These include, in the context of this strategy and related actions, primarily those related to circular economy, substances having a chronic effect for human health or the environment (Candidate list in REACH and Annex VI to the CLP Regulation) but also those which hamper recycling for safe and high quality secondary raw materials.
(17) This includes recent fitness checks and evaluations of EU chemical legislation.
(18) COM(2001) 88 .
(19) At this stage, safe and sustainable-by-design can be defined as a pre-market approach to chemicals that focuses on providing a function (or service), while avoiding volumes and chemical properties that may be harmful to human health or the environment, in particular groups of chemicals likely to be (eco) toxic, persistent, bio-accumulative or mobile. Overall sustainability should be ensured by minimising the environmental footprint of chemicals in particular on climate change, resource use, ecosystems and biodiversity from a lifecycle perspective.
(20) Eurostat, Chemicals production and consumption statistics , 2020.
(21) Wood and Lowell Center for Sustainable Production, Report for the European Commission ‘ Chemicals innovation action agenda ’ , 2019.
(22) Under REACH, in line with the review of REACH, COM(2018)0116 , action 5 , and other legislation, such as the Ecolabel Regulation, the Ecodesign and Industrial Emissions Directives.
(23) Please see footnote 16.
(24) In line with the Bioeconomy Strategy, COM(2018) 673; the environmental sustainability of bio-based chemicals should be proven from a full life-cycle perspective.
(25) Subject to compliance with applicable State aid rules.
(26) COM(2020) 98 .
(27) COM(2018) 32 .
(28) Ibid .
(29) Notably, building on ECHA’s SCIP database, ongoing work on REACH review (action 3), COM(2018)0116 , and the development of product passports.
(30) Taking into account the relevant State aid rules.
(31) EEA, www.eea.europa.eu/data-and-maps/indicators">Industrial pollution in Europe ; www.eea.europa.eu/soer">State of the environment and outlook report , 2020.
(32) The hydrogen strategy for a climate-neutral Europe underlines the need for demand-side support measures, and for an uptake of renewable hydrogen in specific end-use sectors such as the chemical sector. Such quotas or minimum shares could also be considered for other renewable fuels such as bio methane. COM(2020) 301 .
(33) ‘Chemicals as a service’ includes chemicals leasing but also the leasing of services such as logistics, development of specific chemical processes and applications, and waste management.
(34) Regulation (EU) 2020/852 of the European Parliament and of the Council of 18 June 2020 on the establishment of a framework to facilitate sustainable investment, and amending Regulation (EU) 2019/2088. The Commission will adopt delegated acts to specify technical screening criteria for how and when economic activities can qualify as environmentally sustainable.
(35) The European structural and investment funds, the Just Transition Mechanism, InvestEU, the Strategic Investment Facility, React-EU, Horizon Europe and the Digital Europe programme.
(36) Within the EU’s cohesion policy, smart specialisation is a place-based approach.
(37) E.g. European structural and investment funds, the Just Transition Mechanism, European Strategic Investment Funds, ReactEU, Horizon Europe, subject to compliance with State aid rules when they apply.
(38) For chemicals where the workplace exposure is determined to be the dominating risk, the occupational safety and health directives are particularly relevant.
(39) SWD(2019) 199 .
(40) In the EU legislative framework for chemicals, a ‘generic approach to risk management’ is an automatic trigger of pre-determined risk management measures (e.g. packaging requirements, restrictions, bans, etc.) based on the hazardous properties of the chemical and generic considerations of their exposure (e.g. widespread uses, uses in products destined to children, difficult to control exposure). It is applied in a number of pieces of legislation on the basis of specific considerations (e.g. characteristics of the hazard, vulnerability of certain population groups, non-controllable or widespread exposure). SWD(2019) 199 .
(41) SWD(2019) 199 .
(42) ‘Specific risk assessments’ consider the hazard, the use of the substances and related specific exposure scenarios for humans and the environment, and risk management measures are triggered based on their outcomes. SWD(2019) 199 .
(43) The right to health for children will also be addressed in the upcoming EU Strategy on the right of the child.
(44) Taking into account the definition of essential uses in the Montreal Protocol on Substances that Deplete the Ozone Layer , which was introduced to assess whether the use of certain chemicals is actually necessary, while acknowledging that the scope of chemicals covered by the EU chemicals regulatory framework is much broader than the specific scope of chemicals covered by the Montreal Protocol.
(45) Endocrine-related disorders impact in particular the functioning of the thyroid, the immune system, the reproduction system and the overall human metabolism. SWD(2020) 249.
(46) C. Ganzleben, A. Kazmierczak, Leaving no one behind – understanding environmental inequality in Europe , 2020.
(47) REACH Regulation; Regulation (EC) No 1107/2009 concerning the placing of plant protection products on the market; and Regulation (EU) No 528/2012 concerning the making available on the market and use of biocidal products.
(48) SWD(2020) 249.
(49) SWD(2020) 248.
(50) E.g. food contact materials and environmental legislation; SWD(2020) 248
(51) Council Directive 98/24/EC on the protection of the health and safety of workers from the risks related to chemical agents at work (OJ L 131, 5.5.1998) foresees that the risk presented by a combination of chemical agents shall be assessed and managed.
(52) SWD(2020) 248.
(53) This will be done initially under the Regulation (EC) No 396/2005 on maximum residue levels of pesticides and in a second phase under the Regulation on Plant Protection Products.
(54) SWD(2020) 248.
(55) Directive 2014/40/EU on the approximation of the laws, regulations and administrative provisions of the Member States concerning the manufacture, presentation and sale of tobacco and related products. OJ L 127, 29.4.2014.
(56) COM(2019) 264 .
(57) European Commission, Status of local soil contamination in Europe , 2018.
(58) And following up the Strategic Approach to Pharmaceuticals in the Environment, COM(2019) 128.
(59) WHO, www.euro.who.int/en/publications/abstracts,-italy-2017">Keeping our water clean: the case of water contamination in the Veneto Region , Italy, 2017.
(60) Study funded by the Nordic Council of Ministers, The Costs of Inaction. A socioeconomic analysis of environmental and health impacts linked to exposure to PFAS , 2019.
(61) Costs from exposure to PFAS in Europe have been estimated between EUR 52 and EUR 84 billion per year; Ibid.
(62) More details in SWD(2020) 247.
(63) Stockholm, Rotterdam and Basel Conventions and OECD.
(64) COM (2019)264.
(65) The European Food Safety Authority (EFSA), the European Chemicals Agency (ECHA), the European Medicines Agency (EMA) and the European Environment Agency (EEA).
(66) Scientific Committee on Health, Environmental and Emerging Risks ( SCHEER ), Scientific Committee on Consumer Safety ( SCCS ).
(67) ECHA, Public Activities Coordination Tool .
(68) EFSA, ECHA, EMA and EEA.
(69) Scientific Committee on Health, Environmental and Emerging Risks and Scientific Committee on Consumer Safety.
(70) REACH Review, COM(2018) 0116 .
(71) COM(2019) 264 .
(72) In line with the EU data strategy .
(73) ECHA, IUCLID .
(74) European Commission, IPCHEM .
(75) In particular in terms of mandatory notification of commissioned studies and accessibility of all scientific data and information, as defined for the transparency of the EU risk assessment in the food chain. See Regulation (EU) 2019/1381 on the transparency and sustainability of the EU risk assessment in the food chain OJ L 231, 6.9.2019.
(76) In particular by adding endocrine disruptors, and PBTs/vPvBs, assessing the need for specific criteria for immunotoxicity and neurotoxicity, currently under the hazard endpoints ‘Specific target organ toxicity’ and ‘reproductive toxicity’, and amend them if necessary.
(77) As set in Recommendation 2011/696/EU on the definition of nanomaterial OJ L 275, 20.10.2011.
(78) As part of the European Green Deal data space announced under the EU data strategy .
(79) E.g. PNECs, DNELs, health based occupational exposure limit values, water quality standards, maximum total daily intake, etc.
(80) Building on existing practices, such as the REACH substances evaluation, the watch lists under the water framework and the ground water directives, Land Use and Coverage Area frame Survey, HBM4EU, and the proposed European Partnership for Risk Assessment.
(81) Data extracted from the EU’s Safety Gate/Rapex .
(82) The European Commission concluded in the REACH Review that the non-compliance of registration dossiers was a key issue hampering progress. ECHA and the Commission have in the meantime developed a Joint Action Plan to step up compliance checks on all registration dossiers.
(83) Regulation (EU) 2019/1020 on market surveillance and compliance of products, which will enter into application in July 2021 OJ L 169, 25.6.2019.
(84) A study is currently ongoing on how to integrate REACH requirements into customs processes. This will be followed by an impact assessment to identify options forward.
(85) A number of online platforms have signed a Safety Pledge to remove from their online listings any product reported in Safety Gate/RAPEX.
(86) RAPEX and RASFF are tools which inform consumers and Member States authorities in case of products posing a risk; Safety gate for consumers .
(87) The Forum for Exchange of Information on Enforcement (Forum) is a network of authorities responsible for the enforcement of the REACH, CLP, PIC, POP and the biocidal products Regulations.
(88) E.g. SLIC (occupational safety and health), PARCS (customs), IMPEL (waste and industrial emissions).
(89) I.e market surveillance authorities dealing with chemical legislation covering REACH, cosmetics, biocides, customs authorities, consumer protection authorities and agencies such as ECHA.
(90) For example, legislation on waste and industrial emissions.
(91) European Commission, Environmental Compliance and Governance Forum .
(92) IMPEL (inspectors), EnviCrimeNet (police), ENPE (prosecutors) and EUFJE (judges).
(93) The representative actions mechanism could be used to collectively enforce breaches of EU law instruments COM(2018) 0184 final.
(94) Drawing inspiration from the rules on mutual administrative assistance in customs matters.
(95) Regulation (EU) 2019/1020 on market surveillance and compliance of products.
(96) EEA, www.eea.europa.eu/publications/soer-2020">The European Environment – State and outlook report , 2020.
(97) Review of REACH, COM (2018) 0116
(98) Ibid.
(99) The European Commission has since the year 2000 provided funding of over 800 million EUR to research projects dealing with chemical hazards and risks.
(100) While policymakers begin to understand the role played by the sound management of chemicals in economic and social development, significant linkages also exist between gender and chemicals, but gender specific data is still largely missing. UNDP, www.undp.org/content/undp/en/home/librarypage">Chemicals and Gender, 2015.
(101) Directive 2010/63/EU. In 2017, over 230 000 animal tests were carried out in the EU to satisfy requirements under chemicals legislation; SWD (2020)10
(102) E.g. predictive toxicology or virtual human platforms
(103) E.g. monitoring initiatives under EU environment legislation and monitoring schemes such as LUCAS , EMBAL, the upcoming EU Soil Observatory and the EU pollinator monitoring.
(104) In connection with ongoing initiatives such as the RAPEX safety gate.
(105) Building on existing initiatives and indicators, this will be part of a wider zero pollution monitoring and outlook framework, in the context of the upcoming 8th Environment Action Programme and will also serve the Environment Implementation Review .
(106) CEFIC, Facts and Figures Report , 2020
(107) UNEP, www.unenvironment.org/explore-topics">Global Chemicals Outlook II , 2019.
(108) www.thelancet.com/pdfs/journals/lancet(17)32345-0.pdf">The Lancet Commission on health and pollution , 2017.
(109) Human Rights Committee, general comment No. 36 on the right to life, 2018.
(110) UNEP, www.unenvironment.org/explore-topics">Global Chemicals Outlook II , 2019.
(111) Based on the 2006 SAICM objective, target 12.4 of the UN 2030 Agenda for Sustainable Development establishes that: ‘By 2020, achieve the environmentally sound management of chemicals and all wastes throughout their life cycle, in accordance with agreed international frameworks, and significantly reduce their release to air, water and soil in order to minimize their adverse impacts on human health and the environment’.
(112) UNEP, www.unenvironment.org/explore-topics">Global Chemicals Outlook II , 2019.
(113) Ibid.
(114) E.g. UNEP, WHO, ILO, UNIDO, World Bank, OECD, SAICM, MEAs.
(115) In particular the participating organisations of the Inter-Organisation Programme for the Sound Management of Chemicals (IOMC).
(116) Notably the Stockholm, Rotterdam and Minamata Conventions.
(117) Introduce new criteria/hazard classes for PBTs/vPvBs, terrestrial toxicity, endocrine disruptors, persistency and mobility; adapt existing criteria based on scientific knowledge and progress, i.a. to take account of alternative methods, and clarify criteria for germ cell mutagenicity.
(118) CEFIC, Facts and Figures Report , 2020.
(119) Towards a comprehensive Strategy with Africa, JOIN(2020)4 ‘.
(120) COM/2020/102
(121) COM/2020/456