EXPLANATORY MEMORANDUM
1.CONTEXT OF THE DELEGATED ACT
This Commission Delegated Directive amends, for the purpose of adapting to technical progress, Annex IV of Directive 2011/65/EU of the European Parliament and of the Council on the restriction of the use of certain hazardous substances in electrical and electronic equipment (recast) 1 (RoHS 2) as regards an exemption for specific applications containing lead.
RoHS 2 restricts the use of certain hazardous substances in electrical and electronic equipment, as provided for in its Article 4. It entered into force on 21 July 2011.
The currently restricted substances as listed in Annex II to RoHS 2 are the following: lead, mercury, cadmium, hexavalent chromium, polybrominated biphenyls (PBB), polybrominated diphenyl ethers (PBDE), bis(2ethylhexyl) phthalate (DEHP), butyl benzyl phthalate (BBP), dibutyl phthalate (DBP) and diisobutyl phthalate (DIBP). Annexes III and IV to RoHS 2 list the materials and components of electrical and electronic equipment (EEE) for specific applications exempted from the substance restriction of RoHS 2 Article 4(1).
Article 5 makes provision for the adaptation to scientific and technical progress (inclusion, renewal, amendments and revoking of exemptions) of Annexes III and IV. Pursuant to Article 5(1)(a), exemptions are to be included in Annexes III and IV only if such inclusion does not weaken the environmental and health protection afforded by Regulation (EC) No 1907/2006 2 and where any of the following conditions is fulfilled: their elimination or substitution via design changes or materials and components which do not require any of the materials or substances listed in Annex II is scientifically or technically impracticable; the reliability of substitutes is not ensured; or the total negative environmental, health and consumer safety impacts caused by substitution are likely to outweigh the total environmental, health and consumer safety benefits thereof.
Decisions on exemptions, and their duration, are furthermore to take into account the availability of substitutes and the socioeconomic impact of substitution; and decisions on the duration of exemptions shall take into account any potential impact on innovation. Life-cycle thinking on the overall impacts of the exemption shall apply, where relevant.
Furthermore, Article 5(1) provides that the European Commission (the Commission) shall include materials and components of EEE for specific applications in the lists in Annexes III and IV by means of individual delegated acts in accordance with Article 20. Article 5(3) and Annex V establish the procedure for submitting applications for granting, renewing, or revoking an exemption.
2.CONSULTATIONS PRIOR TO THE ADOPTION OF THE ACT
Since the publication of RoHS 2, the Commission has received numerous 3 requests from economic operators, according to the provisions in Article 5(3) and Annex V, for both granting new and renewing existing exemptions.
The current Annex IV exemption 41 permits the use of lead as a thermal stabiliser in polyvinyl chloride (PVC) used as base material in amperometric, potentiometric and conductometric electrochemical sensors which are used in in-vitro diagnostic medical devices for the analysis of blood and other body fluids and body gases. The Commission received one application for renewal of this exemption in June 2017. While exemption 41 had 31 December 2018 as expiration date for category 8 in vitro diagnostic medical devices, in line with the requirements of the RoHS Directive (Article 5(5), second subparagraph), it continues to apply until a decision on the renewal application is taken by the Commission. 4
With a view to evaluating the request for exemption, the Commission launched a study to carry out the required technical and scientific assessment, including a sixweek online openended stakeholder consultation 5 on the application. One contribution was received during the stakeholder consultation.
The final report containing the assessment of the application was published 6 ; stakeholders were notified.
Subsequently, the Commission consulted the Member States expert group for delegated acts under RoHS 2 during an expert meeting on 29 October 2018. The experts agreed with the proposal presented, with a large majority of absent or silent members. All applicable steps relating to exemptions from the substance restriction pursuant to Articles 5(3) to 5(7) have been performed. 7 The Council and the European Parliament were notified of all activities.
The final report highlighted in particular the following technical information and assessment:
·Lead in the PVC sensor card of concerned in vitro medical devices (blood analysers) is enhancing sensor performance which is necessary for the optimum performance in terms of analytical reliability claimed in product publications and thus for fulfilment of requirements set by EU legislation on in vitro diagnostic medical devices.
·While lead-free technologies are available on the market for certain analysers of other manufacturers, the applicant requires additional time to test the reliability of substitutes and to achieve compliance. Should the lead-based applications be discontinued without providing additional time to the applicant, a premature generation of 112,000 kg of waste EEE can be expected. Furthermore, as the devices concerned cover 30 % of blood analysers market in the EU, significant costs for health providers are presumed.
·At least one of the relevant criteria specified in Article 5(1)(a) is met by the application subject to the exemption request: the total negative environmental, health and consumer safety impacts by substitution (i.e. premature generation of waste EEE) are likely to outweigh the total environmental, health and consumer safety benefits thereof (avoidance of approx. 157 kg of lead to be placed on the market).
The evaluation results for categories 8 in vitro medical devices show that the specific exemption would at this point not weaken the environmental and health protection afforded by Regulation (EC) No 1907/2006 (REACH), in accordance with Article 5 of Directive 2011/65/EU. Under Regulation (EC) No 1907/2006 (REACH), there is a restriction process on lead in PVC ongoing since 2016. The recent publication of a draft restriction proposal under REACH 8 provides sufficient indications with regard to lead in PVC in order to proceed with the decision under RoHS. In any case, in light of the ongoing REACH restriction process, the renewal of the exemption should be granted for a short validity period of 2 years starting from the date of the publication of the Delegated Directive in the Official Journal to ensure alignment with REACH once the restriction process is concluded. The validity period for the exemption being very short, it is also not expected to have adverse impacts on innovation. The exemption renewal granting additional time for achieving compliance will further avoid negative socioeconomic impacts of substitution for certain health providers that would otherwise arise. The granted validity period is also not expected to have adverse impacts on innovation.