Je k dispozici novější verze tohoto regulatorního záznamu. Tato verze je ponechána pouze jako historický záznam. Odkaz na nejnovější verzi nalzeznete v sekci historie záznamu.
List details
Základní informace
Stav | Intention |
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Detaily rozsahu omezení | Restricting the use of per- and polyfluoroalkyl substances (PFAS) in fire-fighting foams. |
Důvod omezení | Per- and polyfluoroalkyl substances (PFAS) constitute a group of thousands of man-made chemicals that are widely used in various consumer and industrial products (e.g. water- and stain repellent textiles, fire-fighting foams, food contact materials and cosmetics). These substances are of increasing concern as many are likely to be persistent in the environment, whilst some are also known to be mobile, toxic and bioaccumulative. For many PFAS currently in use, there is a lack of detailed knowledge on their chemical structures, properties, uses and toxicological profiles. The Commission and ECHA recently commissioned a study on possible regulatory management options to address the risks associated with the use of PFAS in fire-fighting foams in the EU. The results show that fluorine-free fire-fighting foams are generally available and technically feasible and have been successfully used in most of the sectors identified. Fluorinated fire-fighting foams are the cause of many cases of contamination in Europe, both of soil and drinking water. The study identified the most relevant technologies for the remediation of PFAS contamination from use of fire-fighting foams. Moreover, the inclusion of PFOA, its salts and PFOA related compounds in Annex I of the POPs Regulation, following the listing under the Stockholm Convention, will lead, in the next 5 years, to the substitution of fire-fighting foams containing these substances. Considering the concern raised by substituting fire-fighting foams containing PFOA with other fluorine-based ones, the increasing availability of fluorine-free alternatives and the conclusions of ECHA’s and Commission’s study, the Commission requested ECHA to develop an Annex XV dossier in accordance with Article 69(1) of REACH for a potential restriction of PFAS in fire-fighting foams. |
Časová osa záměru
Datum záměru | 2020-10-01 |
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Předpokládané datum předložení | 2022-01-14 |
Poslední úprava | 2021-09-30 |
Doplňkové informace
Poznámky | Stakeholders are requested to provide any information relevant to the Dossier Submitter during the Annex XV Restriction Dossier process, either in any call for evidence or separately during the process. This information will be used, amongst other issues, to determine if any derogations are required for the potential restriction as these cannot be proposed without adequate risk and socio-economic information. If a derogation is not proposed by the Dossier Submitter then it will be incumbent on the relevant stakeholders to do so during any consultation process with a full risk and socio-economic justification accompanying it. |
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Související látky
Žádné látky související s tímto záznamem nebyly v naší databázi nalezeny.
Související regulatorní záznamy
Historie záznamu
Následující časová osa ukazuje kdy jsme zjistili změny tohoto regulatorního záznamu (datum se může mírně lišit od skutečného data změny). Údaje přidané mezi verzemi jsou vyznačeny zeleně, červená barva označuje údaje odebrané.
21. ledna 2022
- Poslední úprava: 2021-09-30 → 2022-01-19
- Poznámky: Stakeholders are requested to provide any information relevant to the Dossier Submitter during the Annex XV Restriction Dossier process, either in any call for evidence or separately during the process. This information will be used, amongst other issues, to determine if any derogations are required for the potential restriction as these cannot be proposed without adequate risk and socio-economic information. If a derogation is not proposed by the Dossier Submitter then it will be incumbent on the relevant stakeholders to do so during any consultation process with a full risk and socio-economic justification accompanying it.
- Stav: Intention → Submitted
4. března 2022
- Poslední úprava: 2022-01-19 → 2022-03-04
- Protokol o omezení a přílohy: https://echa.europa.eu/documents/10162/1001faea-609f-4687-4fd1-a236762e4510
- Protokol o omezení a přílohy: https://echa.europa.eu/documents/10162/8034900a-3385-f8b6-1ca0-9793c9ecb255
- Protokol o omezení a přílohy: https://echa.europa.eu/documents/10162/bad6f294-f6b8-3f8e-ed67-c89a760d3f12
26. dubna 2022
- Detaily rozsahu omezení: Restricting the use of per- and polyfluoroalkyl substances (PFAS) in fire-fighting foams. → Restricting the use of per- and polyfluoroalkyl substances (PFASs) in fire-fighting foams.
- Poslední úprava: 2022-03-04 → 2022-03-25
- Důvod omezení: Per- and polyfluoroalkyl substances (PFAS) constitute a group of thousands of man-made chemicals that are widely used in various consumer and industrial products (e.g. water- and stain repellent textiles, fire-fighting foams, food contact materials and cosmetics). These substances are of increasing concern as many are likely to be persistent in the environment, whilst some are also known to be mobile, toxic and bioaccumulative. For many PFAS currently in use, there is a lack of detailed knowledge on their chemical structures, properties, uses and toxicological profiles. The Commission and ECHA recently commissioned a study on possible regulatory management options to address the risks associated with the use of PFAS in fire-fighting foams in the EU. The results show that fluorine-free fire-fighting foams are generally available and technically feasible and have been successfully used in most of the sectors identified. Fluorinated fire-fighting foams are the cause of many cases of contamination in Europe, both of soil and drinking water. The study identified the most relevant technologies for the remediation of PFAS contamination from use of fire-fighting foams. Moreover, the inclusion of PFOA, its salts and PFOA related compounds in Annex I of the POPs Regulation, following the listing under the Stockholm Convention, will lead, in the next 5 years, to the substitution of fire-fighting foams containing these substances. Considering the concern raised by substituting fire-fighting foams containing PFOA with other fluorine-based ones, the increasing availability of fluorine-free alternatives and the conclusions of ECHA’s and Commission’s study, the Commission requested ECHA to develop an Annex XV dossier in accordance with Article 69(1) of REACH for a potential restriction of PFAS in fire-fighting foams. → Per- and polyfluoroalkyl substances (PFASs) constitute a group of thousands of man-made chemicals that are widely used in various consumer and industrial products (e.g. water- and stain repellent textiles, fire-fighting foams, food contact materials and cosmetics). These substances are of increasing concern as many are likely to be persistent in the environment, whilst some are also known to be mobile, toxic and bioaccumulative. For many PFASs currently in use, there is a lack of detailed knowledge on their chemical structures, properties, uses and toxicological profiles. The Commission and ECHA recently commissioned a study on possible regulatory management options to address the risks associated with the use of PFASs in fire-fighting foams in the EU. The results show that fluorine-free fire-fighting foams are generally available and technically feasible and have been successfully used in most of the sectors identified. Fluorinated fire-fighting foams are the cause of many cases of contamination in Europe, both of soil and drinking water. The study identified the most relevant technologies for the remediation of PFASs contamination from use of fire-fighting foams. Moreover, the inclusion of PFOA, its salts and PFOA related compounds in Annex I of the POPs Regulation, following the listing under the Stockholm Convention, will lead, in the next 5 years, to the substitution of fire-fighting foams containing these substances. Considering the concern raised by substituting fire-fighting foams containing PFOA with other fluorine-based ones, the increasing availability of fluorine-free alternatives and the conclusions of ECHA’s and Commission’s study, the Commission requested ECHA to develop an Annex XV dossier in accordance with Article 69(1) of REACH for a potential restriction of PFASs in fire-fighting foams.
- Protokol o omezení a přílohy: https://echa.europa.eu/documents/10162/1001faea-609f-4687-4fd1-a236762e4510 → https://echa.europa.eu/documents/10162/4524f49c-ae14-b01b-71d2-ac3fa916c4e9
- Protokol o omezení a přílohy: https://echa.europa.eu/documents/10162/8034900a-3385-f8b6-1ca0-9793c9ecb255 → https://echa.europa.eu/documents/10162/a1d2a670-5526-c9dc-c4e7-105676070547
- Protokol o omezení a přílohy: https://echa.europa.eu/documents/10162/bad6f294-f6b8-3f8e-ed67-c89a760d3f12 → https://echa.europa.eu/documents/10162/faf3207a-4910-292e-e994-2ab1281a0512
- Stav: Submitted → Opinion development
6. června 2022
- Poslední úprava: 2022-03-25 → 2022-06-01
24. června 2022
- Předpokládané datum předložení: 2021-10-01
- Poslední úprava: 2022-06-01 → 2022-06-13
- Důvod omezení: Per- and polyfluoroalkyl substances (PFAS) constitute a group of thousands of man-made chemicals that are widely used in various consumer and industrial products (e.g. water- and stain repellent textiles, fire-fighting foams, food contact materials and cosmetics). These substances are of increasing concern as many are likely to be persistent in the environment, whilst some are also known to be mobile, toxic and bioaccumulative. For many PFAS currently in use, there is a lack of detailed knowledge on their chemical structures, properties, uses and toxicological profiles. The Commission and ECHA recently commissioned a study on possible regulatory management options to address the risks associated with the use of PFAS in fire-fighting foams in the EU. The results show that fluorine-free fire-fighting foams are generally available and technically feasible and have been successfully used in most of the sectors identified. Fluorinated fire-fighting foams are the cause of many cases of contamination in Europe, both of soil and drinking water. The study identified the most relevant technologies for the remediation of PFAS contamination from use of fire-fighting foams. Moreover, the inclusion of PFOA, its salts and PFOA related compounds in Annex I of the POPs Regulation, following the listing under the Stockholm Convention, will lead, in the next 5 years, to the substitution of fire-fighting foams containing these substances. Considering the concern raised by substituting fire-fighting foams containing PFOA with other fluorine-based ones, the increasing availability of fluorine-free alternatives and the conclusions of ECHA’s and Commission’s study, the Commission requested ECHA to develop an Annex XV dossier in accordance with Article 69(1) of REACH for a potential restriction of PFAS in fire-fighting foams.
- Důvod omezení: Per- and polyfluoroalkyl substances (PFAS) constitute a group of thousands of man-made chemicals that are widely used in various consumer and industrial products (e.g. water- and stain repellent textiles, fire-fighting foams, food contact materials and cosmetics). These substances are of increasing concern as many are likely to be persistent in the environment, whilst some are also known to be mobile, toxic and bioaccumulative. For many PFAS currently in use, there is a lack of detailed knowledge on their chemical structures, properties, uses and toxicological profiles. The Commission and ECHA recently commissioned a study on possible regulatory management options to address the risks associated with the use of PFAS in fire-fighting foams in the EU. The results show that fluorine-free fire-fighting foams are generally available and technically feasible and have been successfully used in most of the sectors identified. Fluorinated fire-fighting foams are the cause of many cases of contamination in Europe, both of soil and drinking water. The study identified the most relevant technologies for the remediation of PFAS contamination from use of fire-fighting foams. Moreover, the inclusion of PFOA, its salts and PFOA related compounds in Annex I of the POPs Regulation, following the listing under the Stockholm Convention, will lead, in the next 5 years, to the substitution of fire-fighting foams containing these substances. Considering the concern raised by substituting fire-fighting foams containing PFOA with other fluorine-based ones, the increasing availability of fluorine-free alternatives and the conclusions of ECHA’s and Commission’s study, the Commission requested ECHA to develop an Annex XV dossier in accordance with Article 69(1) of REACH for a potential restriction of PFAS in fire-fighting foams.
- Důvod omezení: Per- and polyfluoroalkyl substances (PFAS) constitute a group of thousands of man-made chemicals that are widely used in various consumer and industrial products (e.g. water- and stain repellent textiles, fire-fighting foams, food contact materials and cosmetics). These substances are of increasing concern as many are likely to be persistent in the environment, whilst some are also known to be mobile, toxic and bioaccumulative. For many PFAS currently in use, there is a lack of detailed knowledge on their chemical structures, properties, uses and toxicological profiles. The Commission and ECHA recently commissioned a study on possible regulatory management options to address the risks associated with the use of PFAS in fire-fighting foams in the EU. The results show that fluorine-free fire-fighting foams are generally available and technically feasible and have been successfully used in most of the sectors identified. Fluorinated fire-fighting foams are the cause of many cases of contamination in Europe, both of soil and drinking water. The study identified the most relevant technologies for the remediation of PFAS contamination from use of fire-fighting foams. Moreover, the inclusion of PFOA, its salts and PFOA related compounds in Annex I of the POPs Regulation, following the listing under the Stockholm Convention, will lead, in the next 5 years, to the substitution of fire-fighting foams containing these substances. Considering the concern raised by substituting fire-fighting foams containing PFOA with other fluorine-based ones, the increasing availability of fluorine-free alternatives and the conclusions of ECHA’s and Commission’s study, the Commission requested ECHA to develop an Annex XV dossier in accordance with Article 69(1) of REACH for a potential restriction of PFAS in fire-fighting foams.
- Důvod omezení: Per- and polyfluoroalkyl substances (PFAS) constitute a group of thousands of man-made chemicals that are widely used in various consumer and industrial products (e.g. water- and stain repellent textiles, fire-fighting foams, food contact materials and cosmetics). These substances are of increasing concern as they are all persistent in the environment, whilst some are also known to be mobile, toxic and bioaccumulative. For many PFAS currently in use, there is a lack of detailed knowledge on their chemical structures, properties, uses and toxicological profiles. The Commission and ECHA recently commissioned a study on possible regulatory management options to address the risks associated with the use of PFAS in fire-fighting foams in the EU. The results show that fluorine-free fire-fighting foams are generally available and technically feasible and have been successfully used in most of the sectors identified. Fluorinated fire-fighting foams are the cause of many cases of contamination in Europe, both of soil and drinking water. The study identified the most relevant technologies for the remediation of PFAS contamination from use of fire-fighting foams. Moreover, the inclusion of PFOA, its salts and PFOA related compounds in Annex I of the POPs Regulation, following the listing under the Stockholm Convention, will lead, in the next 5 years, to the substitution of fire-fighting foams containing these substances. Considering the concern raised by substituting fire-fighting foams containing PFOA with other fluorine-based ones, the increasing availability of fluorine-free alternatives and the conclusions of ECHA’s and Commission’s study, the Commission requested ECHA to develop an Annex XV dossier in accordance with Article 69(1) of REACH for a potential restriction of PFAS in fire-fighting foams.
- Poznámky: Stakeholders are requested to provide any information relevant to the Dossier Submitter during the Annex XV Restriction Dossier process, either in any call for evidence or separately during the process. This information will be used, amongst other issues, to determine if any derogations are required for the potential restriction as these cannot be proposed without adequate risk and socio-economic information. If a derogation is not proposed by the Dossier Submitter then it will be incumbent on the relevant stakeholders to do so during any consultation process with a full risk and socio-economic justification accompanying it.
13. července 2022
- Předpokládané datum předložení: 2021-10-01
- Poslední úprava: 2022-06-13 → 2022-07-12
- Důvod omezení: Per- and polyfluoroalkyl substances (PFAS) constitute a group of thousands of man-made chemicals that are widely used in various consumer and industrial products (e.g. water- and stain repellent textiles, fire-fighting foams, food contact materials and cosmetics). These substances are of increasing concern as many are likely to be persistent in the environment, whilst some are also known to be mobile, toxic and bioaccumulative. For many PFAS currently in use, there is a lack of detailed knowledge on their chemical structures, properties, uses and toxicological profiles. The Commission and ECHA recently commissioned a study on possible regulatory management options to address the risks associated with the use of PFAS in fire-fighting foams in the EU. The results show that fluorine-free fire-fighting foams are generally available and technically feasible and have been successfully used in most of the sectors identified. Fluorinated fire-fighting foams are the cause of many cases of contamination in Europe, both of soil and drinking water. The study identified the most relevant technologies for the remediation of PFAS contamination from use of fire-fighting foams. Moreover, the inclusion of PFOA, its salts and PFOA related compounds in Annex I of the POPs Regulation, following the listing under the Stockholm Convention, will lead, in the next 5 years, to the substitution of fire-fighting foams containing these substances. Considering the concern raised by substituting fire-fighting foams containing PFOA with other fluorine-based ones, the increasing availability of fluorine-free alternatives and the conclusions of ECHA’s and Commission’s study, the Commission requested ECHA to develop an Annex XV dossier in accordance with Article 69(1) of REACH for a potential restriction of PFAS in fire-fighting foams.
- Důvod omezení: Per- and polyfluoroalkyl substances (PFAS) constitute a group of thousands of man-made chemicals that are widely used in various consumer and industrial products (e.g. water- and stain repellent textiles, fire-fighting foams, food contact materials and cosmetics). These substances are of increasing concern as many are likely to be persistent in the environment, whilst some are also known to be mobile, toxic and bioaccumulative. For many PFAS currently in use, there is a lack of detailed knowledge on their chemical structures, properties, uses and toxicological profiles. The Commission and ECHA recently commissioned a study on possible regulatory management options to address the risks associated with the use of PFAS in fire-fighting foams in the EU. The results show that fluorine-free fire-fighting foams are generally available and technically feasible and have been successfully used in most of the sectors identified. Fluorinated fire-fighting foams are the cause of many cases of contamination in Europe, both of soil and drinking water. The study identified the most relevant technologies for the remediation of PFAS contamination from use of fire-fighting foams. Moreover, the inclusion of PFOA, its salts and PFOA related compounds in Annex I of the POPs Regulation, following the listing under the Stockholm Convention, will lead, in the next 5 years, to the substitution of fire-fighting foams containing these substances. Considering the concern raised by substituting fire-fighting foams containing PFOA with other fluorine-based ones, the increasing availability of fluorine-free alternatives and the conclusions of ECHA’s and Commission’s study, the Commission requested ECHA to develop an Annex XV dossier in accordance with Article 69(1) of REACH for a potential restriction of PFAS in fire-fighting foams.
- Důvod omezení: Per- and polyfluoroalkyl substances (PFAS) constitute a group of thousands of man-made chemicals that are widely used in various consumer and industrial products (e.g. water- and stain repellent textiles, fire-fighting foams, food contact materials and cosmetics). These substances are of increasing concern as many are likely to be persistent in the environment, whilst some are also known to be mobile, toxic and bioaccumulative. For many PFAS currently in use, there is a lack of detailed knowledge on their chemical structures, properties, uses and toxicological profiles. The Commission and ECHA recently commissioned a study on possible regulatory management options to address the risks associated with the use of PFAS in fire-fighting foams in the EU. The results show that fluorine-free fire-fighting foams are generally available and technically feasible and have been successfully used in most of the sectors identified. Fluorinated fire-fighting foams are the cause of many cases of contamination in Europe, both of soil and drinking water. The study identified the most relevant technologies for the remediation of PFAS contamination from use of fire-fighting foams. Moreover, the inclusion of PFOA, its salts and PFOA related compounds in Annex I of the POPs Regulation, following the listing under the Stockholm Convention, will lead, in the next 5 years, to the substitution of fire-fighting foams containing these substances. Considering the concern raised by substituting fire-fighting foams containing PFOA with other fluorine-based ones, the increasing availability of fluorine-free alternatives and the conclusions of ECHA’s and Commission’s study, the Commission requested ECHA to develop an Annex XV dossier in accordance with Article 69(1) of REACH for a potential restriction of PFAS in fire-fighting foams.
- Důvod omezení: Per- and polyfluoroalkyl substances (PFAS) constitute a group of thousands of man-made chemicals that are widely used in various consumer and industrial products (e.g. water- and stain repellent textiles, fire-fighting foams, food contact materials and cosmetics). These substances are of increasing concern as they are all persistent in the environment, whilst some are also known to be mobile, toxic and bioaccumulative. For many PFAS currently in use, there is a lack of detailed knowledge on their chemical structures, properties, uses and toxicological profiles. The Commission and ECHA recently commissioned a study on possible regulatory management options to address the risks associated with the use of PFAS in fire-fighting foams in the EU. The results show that fluorine-free fire-fighting foams are generally available and technically feasible and have been successfully used in most of the sectors identified. Fluorinated fire-fighting foams are the cause of many cases of contamination in Europe, both of soil and drinking water. The study identified the most relevant technologies for the remediation of PFAS contamination from use of fire-fighting foams. Moreover, the inclusion of PFOA, its salts and PFOA related compounds in Annex I of the POPs Regulation, following the listing under the Stockholm Convention, will lead, in the next 5 years, to the substitution of fire-fighting foams containing these substances. Considering the concern raised by substituting fire-fighting foams containing PFOA with other fluorine-based ones, the increasing availability of fluorine-free alternatives and the conclusions of ECHA’s and Commission’s study, the Commission requested ECHA to develop an Annex XV dossier in accordance with Article 69(1) of REACH for a potential restriction of PFAS in fire-fighting foams.
- Poznámky: Stakeholders are requested to provide any information relevant to the Dossier Submitter during the Annex XV Restriction Dossier process, either in any call for evidence or separately during the process. This information will be used, amongst other issues, to determine if any derogations are required for the potential restriction as these cannot be proposed without adequate risk and socio-economic information. If a derogation is not proposed by the Dossier Submitter then it will be incumbent on the relevant stakeholders to do so during any consultation process with a full risk and socio-economic justification accompanying it.
31. srpna 2022
- Poslední úprava: 2022-07-12 → 2022-08-18
- Protokol o omezení a přílohy: https://echa.europa.eu/documents/10162/071a3b0e-afab-8775-9323-426268d0df0e
- Protokol o omezení a přílohy: https://echa.europa.eu/documents/10162/a1d2a670-5526-c9dc-c4e7-105676070547
7. září 2022
- Poslední úprava: 2022-08-18 → 2022-09-07
3. října 2022
- Poslední úprava: 2022-09-07 → 2022-09-30
4. listopadu 2022
- Poslední úprava: 2022-09-30 → 2022-11-02
- Protokol o omezení a přílohy: https://echa.europa.eu/documents/10162/faf3207a-4910-292e-e994-2ab1281a0512 → https://echa.europa.eu/documents/10162/d66bdab3-fdb3-93ba-ee81-1dba3977f36d
Tato verze
8. října 2021
- Předpokládané datum předložení: 2021-10-01 → 2022-01-14
- Poslední úprava: 2020-10-14 → 2021-09-30
14. října 2020
- Poslední úprava: 2020-10-07 → 2020-10-14
- Důvod omezení: Per- and polyfluoroalkyl substances (PFAS) constitute a group of thousands of man-made chemicals that are widely used in various consumer and industrial products (e.g. water- and stain repellent textiles, fire-fighting foams, food contact materials and cosmetics). These substances are of increasing concern as they are all persistent in the environment, whilst some are also known to be mobile, toxic and bioaccumulative. For many PFAS currently in use, there is a lack of detailed knowledge on their chemical structures, properties, uses and toxicological profiles. The Commission and ECHA recently commissioned a study on possible regulatory management options to address the risks associated with the use of PFAS in fire-fighting foams in the EU. The results show that fluorine-free fire-fighting foams are generally available and technically feasible and have been successfully used in most of the sectors identified. Fluorinated fire-fighting foams are the cause of many cases of contamination in Europe, both of soil and drinking water. The study identified the most relevant technologies for the remediation of PFAS contamination from use of fire-fighting foams. Moreover, the inclusion of PFOA, its salts and PFOA related compounds in Annex I of the POPs Regulation, following the listing under the Stockholm Convention, will lead, in the next 5 years, to the substitution of fire-fighting foams containing these substances. Considering the concern raised by substituting fire-fighting foams containing PFOA with other fluorine-based ones, the increasing availability of fluorine-free alternatives and the conclusions of ECHA’s and Commission’s study, the Commission requested ECHA to develop an Annex XV dossier in accordance with Article 69(1) of REACH for a potential restriction of PFAS in fire-fighting foams. → Per- and polyfluoroalkyl substances (PFAS) constitute a group of thousands of man-made chemicals that are widely used in various consumer and industrial products (e.g. water- and stain repellent textiles, fire-fighting foams, food contact materials and cosmetics). These substances are of increasing concern as many are likely to be persistent in the environment, whilst some are also known to be mobile, toxic and bioaccumulative. For many PFAS currently in use, there is a lack of detailed knowledge on their chemical structures, properties, uses and toxicological profiles. The Commission and ECHA recently commissioned a study on possible regulatory management options to address the risks associated with the use of PFAS in fire-fighting foams in the EU. The results show that fluorine-free fire-fighting foams are generally available and technically feasible and have been successfully used in most of the sectors identified. Fluorinated fire-fighting foams are the cause of many cases of contamination in Europe, both of soil and drinking water. The study identified the most relevant technologies for the remediation of PFAS contamination from use of fire-fighting foams. Moreover, the inclusion of PFOA, its salts and PFOA related compounds in Annex I of the POPs Regulation, following the listing under the Stockholm Convention, will lead, in the next 5 years, to the substitution of fire-fighting foams containing these substances. Considering the concern raised by substituting fire-fighting foams containing PFOA with other fluorine-based ones, the increasing availability of fluorine-free alternatives and the conclusions of ECHA’s and Commission’s study, the Commission requested ECHA to develop an Annex XV dossier in accordance with Article 69(1) of REACH for a potential restriction of PFAS in fire-fighting foams.