This restriction proposal was developed in the context of the EU Plastics Strategy, which aims at circular plastics economy and contributes to reaching the 2030 sustainable development goals, the global climate commitments and the EU’s industrial policy objectives.
Now, the ECHA’s Committee for Risk Assessment (RAC) has published its report supporting this proposal to restrict the use of microplastics that are intentionally added to products on the EU/EEA market, in concentrations of more than 0.01 % weight by weight.
In particular, RAC recommended the following:
- Biodegradable polymers: ECHA’s proposal set out specific test methods and pass criteria for identifying biodegradable polymers, which are excluded from the restriction. RAC wanted to see greater evidence that microplastics are biodegradable in the environment (e.g. soils, marine environment, freshwater).
- Use of microplastics as infill material on artificial turf pitches: RAC recommended a complete ban after a transition period of six years as there was incomplete information on the effectiveness of risk management measures. A ban would also be more effective than risk management measures in preventing environmental releases in the long term.
- The definition of ‘a microplastic’: ECHA proposed a lower size limit of 100 nanometres for a microplastic as analytical methods for detecting microplastics in products (i.e. mixtures) are still in development. RAC recommended that a lower size limit is not necessary as the potential restriction can also be enforced in other ways, such as by looking at raw materials in supply chains and recommending more stringent criteria for biodegradable polymers.
[/vc_column_text][vc_empty_space][vc_separator][vc_empty_space][vc_column_text]On top of that, ECHA’s Committee for Socio-economic Analysis (SEAC) agreed on its draft opinion on the costs and benefits of this proposal for society. SEAC supports the wide scope of the proposal and the transition periods for different product groups to give companies time to prepare. For practical reasons and to ease enforcement, SEAC recommends a lower size limit of 100 nanometres until suitable analytical methods are available. SEAC also noted that risk management measures to contain synthetic infill material on artificial pitches cost less than a complete ban, but a ban would be more effective in preventing releases in the long term. Based on the available information, the committee does not prefer one option over the other.
Now, there is open a 60-day consultation of SEAC’s draft opinion, which will end on September the 1st. Following this, the consolidated opinion of both committees is expected to be ready by the end of 2020. So, we can expect to have a final decision by the European Commission next year 2021.[/vc_column_text][/vc_column_inner][/vc_row_inner][/vc_column][/vc_row]