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3E has achieved ISO/IEC 42001:2023 certification, independently validating how it governs AI across its product compliance solutions.

3E strengthens trusted AI with ISO/IEC 42001 certification

3E strengthens trusted AI with ISO/IEC 42001 certification
Regulatory change management for chemical compliance: a practical framework

Regulatory change management for chemical compliance: a practical framework

Regulatory change management for chemical compliance: a practical framework
SDS update requirements: when and why you need to revise a safety data sheet

SDS update requirements: when and why you need to revise a safety data sheet

SDS update requirements: when and why you need to revise a safety data sheet
Looking Beyond Individual Chemicals: Why PFAS Risk Assessment Is Evolving

Looking Beyond Individual Chemicals: Why PFAS Risk Assessment Is Evolving

Looking Beyond Individual Chemicals: Why PFAS Risk Assessment Is Evolving

Five European countries are currently working on a European restriction on per-and polyfluoroalkyl substances (PFAS), aiming to limit the risks these substances pose to people and the environment. A proposal is expected in January 2023 and the possible date of entry into force of this restriction is expected in 2025.

The concept of “essential uses” will likely be included in the REACH restriction process. It is unknown how this will be done in practice and to what extent it will impact the PFAS restriction.

This restriction is not affecting solely the chemical industries but also the entire supply chain, including industry associations, manufacturers, importers, distributors and downstream users.

In addition to pressure from regulators, consumers and NGOs are highly active and demanding transparency.

Both regulatory and societal pressure call for proper risk management that should be part of a company-wide PFAS strategy. The following steps should be considered:

  • Know your inventory and supply chain
  • Identify products with PFAS (including impurities and production processes) and understand your reporting responsibilities (for example, TSCA reporting)
  • Stop using PFAS where possible and find safer alternatives
  • Assess safety and how vital the PFAS-containing application is for society
  • Complete a Process Audit to determine if you have solid compliance management processes in place to ensure you are not introducing these chemicals to the market

Our 3E Regulatory Consulting Services team can help you identify and address the use of forever chemicals. We can screen your product compositions to ensure products can be manufactured, shipped and sold in intended markets.

Related Resources

3E has achieved ISO/IEC 42001:2023 certification, independently validating how it governs AI across its product compliance solutions.

News

3E strengthens trusted AI with ISO/IEC 42001 certification
3E strengthens trusted AI with ISO/IEC 42001 certification
Regulatory change management for chemical compliance: a practical framework

News

Regulatory change management for chemical compliance: a practical framework
Regulatory change management for chemical compliance: a practical framework
SDS update requirements: when and why you need to revise a safety data sheet

News

SDS update requirements: when and why you need to revise a safety data sheet
SDS update requirements: when and why you need to revise a safety data sheet
Looking Beyond Individual Chemicals: Why PFAS Risk Assessment Is Evolving

News

Looking Beyond Individual Chemicals: Why PFAS Risk Assessment Is Evolving
Looking Beyond Individual Chemicals: Why PFAS Risk Assessment Is Evolving

View All 3E Resources

View All 3E Resources