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Document 52012SC0066
COMMISSION STAFF WORKING DOCUMENT IMPACT ASSESSMENT Accompanying the document Proposal for a DIRECTIVE OF THE EUROPEAN PARLIAMENT AND OF THE COUNCIL amending Directive 2006/66/EC on batteries and accumulators and waste batteries and accumulators as regards the placing on the market of portable batteries and accumulators containing cadmium intended for use in cordless power tools
COMMISSION STAFF WORKING DOCUMENT IMPACT ASSESSMENT Accompanying the document Proposal for a DIRECTIVE OF THE EUROPEAN PARLIAMENT AND OF THE COUNCIL amending Directive 2006/66/EC on batteries and accumulators and waste batteries and accumulators as regards the placing on the market of portable batteries and accumulators containing cadmium intended for use in cordless power tools
COMMISSION STAFF WORKING DOCUMENT IMPACT ASSESSMENT Accompanying the document Proposal for a DIRECTIVE OF THE EUROPEAN PARLIAMENT AND OF THE COUNCIL amending Directive 2006/66/EC on batteries and accumulators and waste batteries and accumulators as regards the placing on the market of portable batteries and accumulators containing cadmium intended for use in cordless power tools
/* SWD/2012/0066 final - COD 2012/0066 */
COMMISSION STAFF WORKING DOCUMENT IMPACT ASSESSMENT Accompanying the document Proposal for a DIRECTIVE OF THE EUROPEAN PARLIAMENT AND OF THE COUNCIL amending Directive 2006/66/EC on batteries and accumulators and waste batteries and accumulators as regards the placing on the market of portable batteries and accumulators containing cadmium intended for use in cordless power tools /* SWD/2012/0066 final - COD 2012/0066 */
COMMISSION STAFF WORKING DOCUMENT IMPACT ASSESSMENT Accompanying the document Proposal for a
DIRECTIVE OF THE EUROPEAN PARLIAMENT AND OF THE COUNCIL amending Directive 2006/66/EC on
batteries and accumulators and waste batteries and accumulators as regards the
placing on the market of portable batteries and accumulators containing cadmium
intended for use in cordless power tools Disclaimer This report commits only the Commission's
services involved in its preparation and does not prejudge the final form of
any decision to be taken by the Commission TABLE OF CONTENTS ............. Introduction.................................................................................................................... 3 1........... Section 1: Procedural issues and
consultation of interested parties.................................... 3 1.1........ Identification................................................................................................................... 3 1.2........ Organisation and timing................................................................................................... 3 1.3........ Consultation and expertise.............................................................................................. 3 1.3.1..... External expertise........................................................................................................... 3 1.3.2..... Consultation process and results...................................................................................... 3 1.4........ Consultation of the Impact
Assessment Board................................................................. 3 2........... Section 2: Policy context,
problem definition and subsidiarity............................................ 3 2.1........ Policy context................................................................................................................. 3 2.2........ Problem definition........................................................................................................... 3 2.3........ Who is affected, in what ways,
and to what extent?......................................................... 3 2.4........ How would the problem evolve, if
no action is taken........................................................ 3 2.5........ The EU's right to act and
justification (Does the EU have the right to act?)........................ 3 3........... Section 3: Objectives...................................................................................................... 3 3.1........ General objective............................................................................................................ 3 3.2........ Specific objectives.......................................................................................................... 3 3.3........ Operational objectives.................................................................................................... 3 3.4........ Consistency of the objectives
with other goals (EU policies and strategies – e.g. Europe 2020) 3 4........... Section 4: Description of policy
options........................................................................... 3 4.1........ Policy options retained.................................................................................................... 3 4.2........ Policy options discarded at an
early stage........................................................................ 3 5........... Section 5: Analysis of impacts......................................................................................... 3 5.1........ Assumptions and methodology used
for the quantitative assessment................................. 3 5.2........ Policy Option 1: Business as
Usual.................................................................................. 3 5.2.1..... Economic impacts........................................................................................................... 3 5.2.2..... Environmental impacts.................................................................................................... 3 5.2.3..... Social impacts................................................................................................................ 3 5.2.4..... Administrative burdens.................................................................................................... 3 5.3........ Policy Option 2: Immediate
deletion of the exemption (2013)........................................... 3 5.3.1..... Economic impacts........................................................................................................... 3 5.3.2..... Environmental impacts.................................................................................................... 3 5.3.3..... Social impacts................................................................................................................ 3 5.3.4..... Administrative burdens.................................................................................................... 3 5.4........ Policy Option 3: Delayed
withdrawal of the exemption (2016)......................................... 3 5.4.1..... Economic impacts........................................................................................................... 3 5.4.2..... Environmental impacts.................................................................................................... 3 5.4.3..... Social impacts................................................................................................................ 3 5.4.4..... Administrative burdens.................................................................................................... 3 5.5........ Summary of the economic impacts.................................................................................. 3 5.6........ Compliance aspects........................................................................................................ 3 6........... Section 6: Comparing the options.................................................................................... 3 6.1........ Effectiveness................................................................................................................... 3 6.2........ Efficiency........................................................................................................................ 3 6.3........ Coherence...................................................................................................................... 3 6.4........ Preferred option............................................................................................................. 3 7........... Section 7: Monitoring and
evaluation............................................................................... 3 7.1........ Core indicators of progress
towards meeting the objectives............................................. 3 7.2........ Broad outline for possible
monitoring and evaluation arrangements................................... 3 8........... Glossary......................................................................................................................... 3 9........... References..................................................................................................................... 3 Introduction The Batteries Directive (Directive 2006/66/EC[1]) seeks to improve the
environmental performance of batteries and accumulators and of the activities
of all operators involved in their life-cycle. It lays down specific rules on
placing batteries and accumulators on the market and on collection, treatment,
recycling and disposal of waste batteries and accumulators. To achieve its objectives, the Directive
prohibits placing on the market of batteries and accumulators containing
mercury and cadmium. This prohibition to use cadmium in batteries and
accumulators applies to "portable batteries and accumulators, including
those incorporated in appliances, that contain more than 0.002% of cadmium by
weight" (Article 4 (1)(b) of the Batteries Directive). However, Article
4(3) exempts portable batteries and accumulators intended for use in: –
emergency and alarm systems, including emergency
lighting; –
medical equipment; –
cordless power tools (CPT). The Commission was requested to review the
exemption in relation to cordless power tools and submit a report to the
European Parliament and the Council by 26 September 2010, "together, if
appropriate, with relevant proposals, with a view to the prohibition of cadmium
in (portable) batteries and accumulators" (Article 4(4) of the Directive).
The Commission was asked to only review this exemption as at the time of the
adoption of the Directive in 2006 there were doubts whether technical
substitutes were already available for this application. Article 4(4) does not
require the Commission to re-assess exemptions provided for (a) and (b). It was
demonstrated that the availability of viable substitutes is disputed for the
emergency lighting applications for safety reasons and no viable substitutes
were identified for the medical equipment applications.[2] The purpose of this impact assessment is to
provide a sound knowledge basis for a possible Commission proposal on the
exemption for the use of cadmium in portable batteries intended for the use in
cordless power tools. The scope of this impact assessment is therefore
solely limited to a review of Article 4(3)(c) of the Batteries Directive and
will not analyse impacts of the wider policy decision on the prohibition on the
use of cadmium in portable batteries in general. In this impact assessment
the term ‘batteries’ is used to mean both batteries and accumulators. Section
1: Procedural issues and consultation of interested parties 1.1. Identification Lead DG: ENV Agenda planning/WP reference: 2010/ENV/016 Proposal for amendment of Article 4(3)(c) of
Directive 2006/66/EC on batteries and accumulators and waste batteries and
accumulators and repealing Directive 91/157/EEC (“Batteries Directive” here
afterwards)[3].
1.2. Organisation
and timing Work on the review of the exemption of the
use of cadmium in portable batteries intended for use in cordless power tools
started in 2009. An Impact Assessment Steering Group (IASG)
was established in March 2010 to which the following Directorates-General were
invited: Enterprise and Industry; Environment; Energy; Health and Consumers;
Competition; Economic and Financial Affairs; Internal Market and Services;
Trade; Eurostat; Enlargement; Information Society and Media; Joint Research
Centre; Employment, Social Affaires and Inclusion; Mobility and Transport;
Research and Innovation; Secretariat General and Legal Service. Meetings of the Impact Assessment Steering
Group (IASG), comprising representatives from the Directorates-General ENTR,
SANCO, ENV and the Secretariat-General were held on 2.04.2010, 19.09.2011 and 14.10.2011.
In addition, written comments were also received from DG ENTR, ENV (F1) and
Secretariat-General. The members of the steering group were also invited to
participate in meetings with experts, stakeholders and Member States
representatives[4].
The IASG was regularly informed on and provided input to all important
milestones of the review (preparation of study reports, stakeholder
consultations). 1.3. Consultation
and expertise 1.3.1. External
expertise Studies The following studies concern the review of
the exemption of the use of cadmium in portable batteries intended for use in
cordless power tools: –
In 2009 the Swedish Environmental Protection
Agency published a report on ‘Cadmium in power tool batteries - The possibility
and consequences of a ban’[5].
The report stated that it is possible to replace portable NiCd batteries in
power tools. In particular, development of one alternative technology -
lithium-ion (Li-ion) batteries - has progressed extremely rapidly over the last
few years. The different types of battery technologies all have advantages and
disadvantages. Today Li-ion and nickel-metal hydride (NiMH) are fully
competitive alternatives to NiCd battery technologies, in terms of both price
and performance, according to this report. –
In 2009 the Commission ordered a synthesis study
to assist it with the review of the exemption ("ESWI study"). The
study was published on the DG ENV website in March 2010.[6] The objective was to assess the
available data and information and to identify and address remaining needs for
a review of the exemption. The available data indicated that it could be
technically feasible today to replace NiCd batteries by existing Li-ion and
NiMH battery technologies, with certain reservations in applications where the
temperature lies below 0°C. –
In 2010, the Commission ordered a comparative
life-cycle assessment (LCA) of the three main battery technologies used in
portable batteries intended for use in cordless power tools (nickel-cadmium,
nickel-methal hydrate and lithium-ion) in order to complete a comprehensive
cost-benefit analysis and data gaps need for an impact assessment that would
accompany a possible legislative proposal on the exemption for the use of
cadmium in portable batteries intended for use in cordless power tools ("BIO
study"[7]).
1.3.2. Consultation
process and results An on-line public stakeholder
consultation[8]
(10 March-10 May 2010) has been launched via the EUROPA website, based on the
ESWI study published in 2009. Contributions and summary of stakeholder comments
were published on EUROPA website[9].
Stakeholders were invited to give their
views on the environmental, social and economic impact that might result from
any future ban on cadmium in portable batteries and accumulators intended for
use in cordless power tools. Some stakeholders favoured withdrawal of
the exemption for use of nickel-cadmium (NiCd) batteries in cordless power
tools, since they viewed the economic costs as minimal and the environmental
benefits as substantial in the long term. Others opposed withdrawal of the
exemption and underlined that the data on the economic, environmental and
social impact do not justify withdrawal. Overall, the stakeholder consultation
confirmed the need for a comparative life-cycle assessment in order to provide
a firm basis for the cost-benefit analysis. A summary of the stakeholders’
comments is presented in Annex 1. A stakeholder workshop (peer review)
has been organised on 18 July 2011. The objective was to provide input to the
BIO study, notably on the comparative life-cycle assessment of the three
different battery chemistries used in portable batteries intended to be used in
cordless power tools. Minutes of the stakeholder workshop is presented in Annex
2. 1.4. Consultation
of the Impact Assessment Board The Impact Assessment Board of the European Commission examined a
draft version of the Impact Assessment and issued its opinion on 25 November
2011. The Impact Assessment Board made several comments and, in the light of
those suggestions, the final Impact Assessment report: –
clarifies the environmental and health issues,
including the risks of cadmium compared to other battery types –
the natural evaluation of baseline scenario
without an EU ban and the interactions with other EU legislation; –
provides a more prominent discussion on policy
options, including a clarification on different time horizons; adds additional evidence concerning possible impacts on relevant
stakeholders, notably consumers, SMEs and competitiveness; –
adds more developed monitoring and evaluation
arrangements. 2. Section
2: Policy context, problem definition and subsidiarity 2.1. Policy
context The Batteries Directive seeks to improve
the environmental performance of batteries and of the activities of all
operators involved in their life-cycle. It lays down specific rules on placing
batteries on the market and on collection, treatment, recycling and disposal of
waste batteries and accumulators. To achieve its objectives, the Directive
prohibits placing on the market of batteries containing mercury and cadmium.
However, Article 4(3) exempts cadmium-contaning portable batteries intended for
use in cordless power tools (CPT).[10] The initiative
on the prohibition of the use of cadmium in portable batteries is linked to the
Commission Communication of 30 July 1996 on the Review of the Community
Strategy for Waste Management, and a response to the Council Resolution of 25
January 1988 on a Community action programme to combat environmental pollution
by cadmium[11]
which stressed the need of limiting the uses of cadmium to cases where suitable
alternatives do not exist in the interests of the protection of human health
and the environment. Article 4(4) of the Batteries Directive
requires the Commission to review the exemption from the cadmium ban provided for
portable batteries intended for use in CPT and submit a report to the European
Parliament and to the Council together, if appropriate, with relevant
proposals, with a view to the prohibition of cadmium in batteries. The prohibition of the use of cadmium in
batteries was not proposed by the Commission, but only introduced by the
co-legislators in the co-decision procedure on the Commission's proposal on a
revised Directive on batteries and accumulators. It is also in line with
similar prohibitions contained in other Directives such as Directive on
end-of-life vehicles (Directive 2000/53/EC[12]),
waste electrical and electronic equipment (Directive 2002/96/EC[13]) and packaging and packaging
waste (Directive 94/62/EC[14]). At the time of drafting the current Batteries
Directive (2006/66/EC), both Council[15]
and the European Parliament[16]
prepared separate impact assessments on substantive amendments made to the
Commission proposal. A Commission Report was submitted to the
European Parliament and to the Council in December 2010[17]. It concluded that at that
stage it is not appropriate to bring forward proposals on the exemption for
cadmium containing portable batteries intended for use in cordless power tools
(CPT) because not all the technical information (notably costs and benefits of
cadmium and its substitutes) was available to support such a decision. 2.2. Problem
definition Commission Decision 2000/532/EC[18], two categories of waste
batteries were established: hazardous and non-hazardous batteries. NiCd
batteries are classified as hazardous waste as various compounds of cadmium are
also clasified under Regulation (EC) No 1272/2008.[19] The substitutes of NiCd
batteries (e.g. NiMH and Li-ion batteries) are, however, not clasified as
hazardous waste. Cadmium is classified as a CMR substance
(carcinogenic, mutagenic or toxic for reproduction). According to the CLP
Regulation (EC) No 1272/2008 Annex VI it is a type 1B carcinogen (presumed to
have carcinogenic potential for humans, classification is largely based on
animal evidence), a category 2 mutagen (substances which cause concern for
humans owing to the possibility that they may induce heritable mutations in the
germ cells of humans) and category 2 reproductive toxicant (suspected human
reproductive toxicant). It is also classified as toxic for aquatic organisms
and chronic toxicity category 1. The scale of
the environmental and health problems due to cadmium contained in batteries has
been assessed in preparation of the Batteries Directive itself. In 2003 the
Commission concluded that any restriction on the use of cadmium in batteries
should result in decreased negative environmental impacts in the future, since
NiCd batteries are classified as hazardous waste and their substitutes (e.g.
NiMH and Li-ion batteries) are not.[20]
Further studies were undertaken by the Commission in 2009 and 2010, especially
to ensure sufficient knowledge of the comparative benefits (life-cycle
assessment) of alternatives battery technologies (see section 1.3.). The
International Agency for Research on Cancer has identified cadmium as a known
human carcinogen. Cadmium is a toxic and carcinogenic substance that can cause
irreversible adverse effects (e.g. lung cancer, kidney damage, bone and
hematologic disorders, organ toxicity in animals)[21]. Due to its low permissible exposure limit, overexposures may occur
even in situations where trace quantities of cadmium are found. Humans normally
absorb cadmium into the body either by ingestion or inhalation. Dermal exposure
(uptake through the skin) is generally not regarded to be of significance. It
is widely accepted that approximately 2% to 6% of the cadmium ingested is
actually taken up into the body. In contrast, from 30% to 64% of inhaled
cadmium is absorbed by the body, with some variation as a function of chemical
form, solubility and particle size of the material inhaled. Thus, a greater
proportion of inhaled cadmium is retained by the body than when cadmium is
taken in by ingestion. For the non-occupationally exposed individual,
inhalation exposure to cadmium does not usually contribute significantly to
overall body burden[22].
Cadmium is also very toxic to aquatic organisms, may cause long-term adverse
effects in the aquatic environment. Batteries have the highest concentration of
cadmium compared to the other typical metal concentration of municipal solid
waste (MSW) constituents. The EU regional consumption of cadmium reaches the
value of 2.638 tonnes, which are distributed for 75.2% to NiCd batteries, 14.9%
to pigments, 5% to stabilisers and 5% in alloys and plating”. Portable NiCd
batteries are reported to contain on average 13% of cadmium by weight and
industrial NiCd batteries 8% by weight.[23] Spent batteries enter the environment when
they are landfilled or incinerated. Cadmium and other metals in batteries which
are landfilled or incinerated may pollute lakes and streams, vaporise into the
air when incinerated, or may leach into groundwater after landfilling and
expose the environment to highly corrosive acids and bases. Directive 2000/76/EC on the incineration of
waste sets stringent emission limit values, which could lead to a significant
reduction in emissions of various pollutants to the atmosphere. At present,
incinerators have to meet emission limit values of 0.05 mg/m3
cadmium.[24]
In case of incineration of batteries, metals such as cadmium, mercury, zinc,
lead, nickel, lithium and manganese will be found in the bottom-ashes and fly
ashes. Incineration of batteries thus contributes to emissions of heavy metals
to air and reduces the quality of the fly ashes and bottom-ashes (incineration
residues). The main disposal route for spent batteries
is landfilling. It is estimated that 75% of the disposed spent batteries are
being landfilled. The main environmental concerns associated with the
landfilling of batteries are related to the generation and eventual discharges
of leachate into the environment.[25],
[26] The environmental risks related to the
disposal of cadmium batteries was assessed in the draft Targeted Risk
Assessment Report “Cadmium (oxide) as used in batteries” (TRAR).[27] According to the TRAR, the cadmium emissions of portable NiCd
batteries due to incineration was calculated to be 323 – 1.617 kg of cadmium
per year to air and 35-176 kg of cadmium per year to water. Total cadmium
emissions of portable NiCd batteries due to landfill was calculated at 131-655
kg of cadmium per year.[28] In 2002, 45.5% of the portable batteries
and accumulators sold in the EU-15 that year went to final disposal
(incineration or landfill).[29]
It is estimated that in 2002 at EU level 2.044 tonnes of portable NiCd
batteries were disposed of in the MSW stream.[30]
However, a large quantity of batteries - even spent batteries - are kept at
home, for many years, by end-users before being discarded (‘hoarding of
batteries’). At EU level it is estimated that households hoard 37% of portable
batteries.[31]
With rechargeable batteries, including NiCd batteries, the hoarding effect may
be even higher.[32]
At the moment, whenever the end-user decides to dispose of those batteries and
accumulators conventionally, they may end up in the municipal solid waste
stream. The TRAR stated: “If NiCd batteries cannot be collected
efficaciously, the future cadmium content in the MSW stream is predicted to
increase. The impact of this potential increase on future emissions has been
assessed for MSW incineration only. The impact of a future change in the MSW
composition on the composition of the leachate of a landfill could not be
judged based on the current lack of knowledge and methodology”.[33] The Council underligned (November 2004)
that the "key advantage of a ban is that
it would be a sustainable means of limiting the environmental impact of cadmium
in the longer term, consistent with the precautionaryprinciple". It agreed that "it is very difficult to quantify the
positive environmental impact of a ban on the use of cadmium in portable
batteries and the extent to which different policy options would increase or
diminish this impact. The reasons for this
uncertainty include: –
the lack of an agreed scientific methodology;
and –
potential developments in the batteries
market, consumer behaviour and waste treatment and disposal policies within
Member States. Nevertheless, Bio Intelligence estimated[34] that, in 2002,
over 2,000 tonnes of portable NiCd batteries ended up in the MSW stream in the
then 15 Member States, Norway and Switzerland. It further estimated that this
was equivalent to an input to groundwater of between 13 and 66 Kg of cadmium. A
ban on portable NiCd batteries would prevent this pollution." [35] Concern over cadmium’s toxicity persuaded
the European Parliament and the Council to restrict the use of cadmium in
portable batteries to 0,002% of cadmium by weight as from 26 September 2006. The exemption of cadmium-containing
batteries in cordless power tools (CPT) was given by co-legislator because
there was uncertainty whether viable technical substitutes existed for this
application at the time of the adoption of the Batteries Directive. For
instance, the European Parliament in its first reading (April 2004) stated: "A list of exemptions shall be
provided for those applications where the use of the heavy metals in
unavoidable; in other words, where no substitutes exist. Other buttons cells
than for hearing aids (in the same wording as article 4(2) of the Commission
proposal) and cordless power tools are also added to this list. This list of
exemptions shall be reviewed to ensure that always the latest development on
technology is reflected in this list. It is the objective of the Battery
Directive that the use of cadmium, lead and mercury is prohibited in case the
use is avoidable." The Council's Common Position (March 2005)
stated: "The Commission should evaluate the
need for adaptation of this Directive, taking account of available technical
and scientific evidence. In particular, the Commission should carry out a
review of the exemption from the cadmium ban provided for portable batteries
and accumulators intended for use in cordless power tools. Examples of cordless
power tools are tools that consumers and professionals use for turning,
milling, sanding, grinding, sawing, cutting, shearing, drilling, making holes,
punching, hammering, riveting, screwing, polishing or similar processing of
wood, metal and other materials, as well as for mowing, cutting and other
gardening activities." This is reflected in Recital 11 of the
Batteries Directive which was published in 2006 and confirms the
co-legislator's intention that the basis for the Commission's review of the
exemption for the use of cadmium in portable batteries intended for use in
cordless power tools (CPT) should be technical availability of cadmium-free
substitutes in this particular application. Latest studies prove that
appropriate substitutes are commercially available on the market. In 2007, Belgium finalized
a Risk Assessment for cadmium and cadmium oxide[36], in
accordance with Council Regulation (EEC) 793/93 on the evaluation and control
of the risks of existing substances.[37]
This Risk Assessment was peer-reviewed by the Scientific Committee on Toxicity,
Ecotoxicity and the Environment (SCTEE). This comprehensive document integrated
in particular the targeted risk assessment on batteries, issued by Belgium in
2003, which has been updated. The conclusions
of this global risk assessment led to a Commission communication and a
Commission recommendation published in 2008[38],
indicating that in the EU cadmium is used mainly in the manufacture of
nickel-cadmium (NiCd) batteries and that there is a need for further specific
measures to limit the risks for workers as a consequence of inhalation exposure
that could arise from cadmium production, batteries manufacture and recycling
and for the environment (aquatic ecosystem including sediment). However, for
the latter, the risk was linked to local specific issues. The question now is whether a removal of
the exemption can be justified on the basis of the economic, social and
environmental impacts. 2.3. Who
is affected, in what ways, and to what extent? Parties concerned The actors that would mainly be affected by
the fact that the exemption for the use of cadmium in portable batteries for
CPT application exists are as follows: –
Producers of portable rechargeable batteries
intended for use in cordless power tools (for example NiCd, NiMH, Li-ion and
other technical substitutes) – all located outside EU;[39] –
CPTs producers; The main producers of CPTs[40] placed on the EU market are
located in the United Kingdom (2), Germany (3), Finland (1), Ireland (1): 5 of
them already sell CPTs with NiMH batteries and 7 of them with Li-ion batteries.
–
Recycling companies that recycle portable
batteries to be intended for use in cordless power tools or that recycle
cordless power tools; Portable NiCd
batteries are currently recycled by the following companies: SNAM (France)[41], SAFT AB (Sweden)[42] and Accurec (Germany)[43]. These recyclers also recycle
portable and industrial NiCd batteries from other applications than CPT. All
these companies also recycle portable NiMH batteries. SNAM (France) also
recycles portable Li-ion batteries. In addition, Li-ion batteries are recycled
by Umicore (Belgium)[44],
Batrec Industrie AG (Switzerland) and Recupyl (France)[45]. The actors that might be affected are as
follows: –
Producers of raw material used in portable
rechargeble batteries intended for use in cordless power tools (for example
nickel, cadmium, lithium, cobalt and manganese industry). Cobalt is mined in
the Democratic Republic of Congo and China, lithium in Chile and rare-earth
oxides in China. Primary cadmium is generally not mined on its own but
recovered as a by-product from zinc concentrates; –
Battery back assemblers; –
Retailers; –
Professionals and consumers of CPTs; –
Society and environment; –
Member States authorities. The causal
relations in the supply, recycling and disposal chain of all batteries used in
CPT and of CPT themselves are presented in Annex 3. Possible impacts –
Economic impacts for these stakeholders are
potentially in the form of costs and change in turnover (of producers of raw
materials, battery producers, battery back assemblers, CPT producers, and
recycling companies), change in price of CPTs (on consumers), change in
external costs (on society and environment) and possible change in
administrative burdens (on Member State authorities). –
Social impacts are likely to be in form of
impact on employment (of producers of raw materials, battery producers, battery
pack assemblers, CPT producers, Member State authorities and recycling
companies). –
Environmental impacts are due to the
hazardousness of materials used in the batteries and chargers during their
production and the environmental impacts that occur during the use-phase and
end-of-life management of waste batteries and chargers. 2.4. How
would the problem evolve, if no action is taken The baseline scenario is also referred to
as a “Business as Usual” (BaU)
scenario which is used to explain how the current
situation would evolve without additional intervention or “no change in
policy”. The baseline scenario is considered as a possible option and provides
the basis for comparing policy options. In this option, the present situation
would continue, meaning there would be no withdrawal of the current exemption
in the Batteries Directive (Article 4 (3)(c)) to the use of portable NiCd
batteries in CPTs. If cadmium is to continue to be used in
batteries, a good collection system is decisive. The cadmium that is not
collected and recycled in an appropriate manner could continue to accumulate
and migrate in the environment and cause considerable damage to health and the
environment. Although collection targets for all portable batteries are already
set up in the Batteries Directive - 25% to be achieved by 26 September 2012 and
45% to be achived by 26 September 2016 - it would mean that half of all
portable batteries, including cadmium-contaning batteries used in CPT, would
not be collected in the long-term. Given the hoarding effect, sonner or later
consumers would also start discarding hoarded portable batteries. It has to be noticed, that in spite of very
well established and montiored separate collection systems in some Member
States, such as in Germany for example[46],
the majority of NiCd batteries and thus of the contained cadmium is collected
with residual household waste and possibly other waste streams, and either
incinerated in municipally solid waste incineration plants,
mechanical-biological treatment plants, in plants of treating non-ferrous
metals separated from residual waste or directly landfilled. Thus there is some
likelihood that cadmium can dissipate uncontrolled into the environment during
the waste-phase of portable NiCd batteries. ESWI study estimated that without a ban of
NiCd batteries for CPT, it is expected that the European NiCd battery waste
arisings would stabilize at a level of 12,000 tonnes per year and continue at
this level for the foreseeable future.[47]
The recycling of NiCd batteries would have to continue for several years
for decreasing amounts of NiCd batteries. Part of the market share of NiCd
recyclers would shift to recyclers of other battery-types. In the medium term the
waste management sector may profit from the elimination of one of the most
hazardous substances they have to deal with. Interactions
with other EU legislation REACH[48]
regulates and fully harmonises restrictions of chemicals. The purpose of this
Regulation is to ensure a high level of protection of human health and the
environment, including the promotion of alternative methods for assessment of
hazards of substances, as well as the free circulation of substances on the
internal market while enhancing competitiveness and innovation. Cadmium and its compounds are regulated
through the entry 23 of the Annex XVII ("restrictions on the manufacture,
placing on the market and use of certain dangerous substances, mixtures and
articles") of REACH. However, the use of cadmium in batteries, including
portable batteries used in CPT is not regulated in REACH, the principle of lex
specialis should applied. Batteries within the scope of the Batteries
Directive do not fall within any REACH general exemption. Both REACH and the
Batteries Directive provide defence-related exemptions. The Batteries Directive provides exemptions
from its cadmium related prohibition on placing batteries on the market for
portable batteries for use in emergency and alarm systems, medical equipment,
or CPT (Article 4(3)). In this context the lex specialis
principle having to be applied, REACH is not the appropriate tool to deal with
the problems related to cadmium in batteries. There is therefore a need of
using the appropriate sectorial legislative instrument to regulate the use of
cadmium in portable batteries used in CPT, and namely the Batteries Directive. EU and
worldwide market trends According to the ESWI study, in total a
number of around 1060 million cells (NiCd, NiMH and Li-ion) have been used in
cordless power tools (CPT) worldwide in 2008. The number of cells used in CPTs
in Europe in 2008 is about 41 % of the world market and estimated to amount to
436 million cells. These were used in about 12.9 million CPT units. The number
of NiCd cells used in CPTs in 2008 was about 515 million cells worldwide and
240 million cells within the EU. This corresponds to a world market share of
47%. The BIO Study
summarized data on the worldwide and EU market for cordless power tools as
follows: Table 1: Worldwide and EU market of CPT
sector[49] Market || Units || Year || Worldwide || EU CPTs as % of overall electric power tool market || % || 2007 || 38 || 38 CPT market value || Million euro || 2007 || €3500 || €1440 Battery cells used in CPTs (number in use in EU) || Million cells || 2008 || 1060 || €494* Battery cells used in CPTs || Million euro || 2008 || €1025 || €478* NiCd cells used in CPTs || Million cells || 2008 || 515 || 240 * These values are estimated based on the assumption that
the EU market share (both by value and number of units sold) of overall
worldwide battery cell is the same as the EU market share of the worldwide
market of NiCd cells used in CPTs: 47% (=240*100/515). EPTA (CPT
manufacturers) estimates that in 2008, 65% of the EU CPT market (by value) was
represented by Professional (PRO) users and the remaining 35% by Do It Yourself
(DIY) users. This compares with EPTA’s estimate of 37% of EU market (by number
of units) represented by PRO and remaining 63% by DIY during the same year. The
main reason that the PRO market segment for CPT has moved towards substitutes
for NiCd batteries is that the alternatives provide a better technical
performance and that the technical advantages of Li-ion batteries are more
important than the additional costs. CPTs in EU are currently operated with
portable rechargeable NiCd, Li-ion, or NiMH batteries and accumulators specific
to the battery chemistry[50].
The worldwide market share (by number of units) of these battery technologies
was 55% for NiCd, 36% for Li-ion and 9% for NiMH in 2008[51]. The EU sales (by number of
units) of CPTs per battery technology were 49% for NiCd battery technology, 40%
for Li-Ion battery technology and 11% for NiMH battery technology in 2008 (see Figure 1)[52]. Figure 1: EU market share (number of units
sold) of NiCd, NiMH and Li-ion technology based CPTs in the year 2008 (From
left to right, overall market share, PRO market share and DIY market share) As reported by
EPTA, the EU CPT market in 2010 witnessed sales worth €3.2 billion and the
share (by value of the sold CPTs) of NiCd, NiMH and Li-ion technologies based
CPT was as per following: –
NiCd CPT: 34%; –
NiMH CPT: 6%; –
Li-ion CPT: 60%. A natural evolution of sales of NiCd and
other alternative battery technologies used in CPTs will continue towards
replacement of NiCd batteries by existing NiMH and Li-ion technologies. It is estimated that the overall CPTs market in EU will grow in both
DYI and PRO segments by 5% annually between 2010 and 202053. Market
size of NiCd portable batteries is expected to decrease by 50% between 2008 and
2020, which leads to a natural annual decrease in NiCd batteries of 5%[53]. It can be expected that the
above trends in overall CPT market evolution will continue until 2025. The average mass of a NiCd cell used in
CPTs is 51,4 g resulting in a total mass of 13,200 tonnes of NiCd cells used in
CPTs in Europe in 2008.[54] SAFT (France) is the last European producer
of NiCd batteries (portable and industrial). Applications of portable NiCd
batteries from SAFT are for example medical equipment, radio, communication and
tracking equipment, emergency lighting and security devices. SAFT does not
produce any more portable NiCd batteries intended for the use in CPTs. All portable
NiCd batteries used in CPTs are imported to the EU mainly from Asia. All
portable NiMH and Li-ion batteries used in CPTs are also imported to the EU
mainly from Asia. The decrease in share of portable NiCd
batteries usage in CPTs during this period will be replaced by portable Li-ion
and NiMH batteries. The following constant market replacement ratesare expected
(during the period 2010-2025): [55] –
80% replacement by portable Li-ion batteries; –
20% replacement by portable NiMH batteries. The evolution of the overall CPT battery
market (PRO and DIY) in the BaU scenario over the period 2010-2025 in EU is
presented in the figure below. The evolution of PRO and DIY market is presented
in Annex 5. Figure 2: Evolution of overall CPT battery market (number of battery pack
units) in EU until 2025 in BaU scenario (Option 1) Substitutes and technical assessment It is clear that since the adoption of the
Batteries Directive in 2006, alternative battery chemistries than cadmium
batteries have increasingly being used in cordless power tool applications. The available data indicates that alternatives to cadmium batteries
in cordless power tools (CPT) already exist (such as Li-ion and NiMH
technologies). [56] Current market trends and the technical
assessment let expect that: –
For existing NiCd-driven cordless power tools[57] NiMH power packs would be used
as replacement (power tools that are sold today can be driven by either NiCd or
NiMH batteries, only a different charging equipment may be necessary[58]); –
New cordless power tools[59] would be driven by
Li-ion battery power packs. So, already today’s Li-ion battery is a
more than good substitute for NiCd batteries in CPT. Li-ion batteries are
lighter, lose less energy during storage, have a better energy efficiency,
store more energy per volume. Li-ion batteries having three times the cell
voltage of NiCd batteries, will allow to design much more powerful CPT in
future. The above "natural" trend is to
some extent also influenced by the review of the cadmium ban itself and the
expectation of industry that the exemption will be lifted. It is considered
that the "natural" trend to better performing Li-ion batteries would
not render a cadmium ban unnecessary in the medium term (e.g. 2016). Although
the Li-ion technology is more expensive than NiCd technology, the withdrawal of
the current exemption could accelerate the transition of the European CPT
industry towards the Li-ion technology, allow CPT producers to develop new,
more powerful applications that contain less hazardous substances and ensure
even level playing for all economic operators. It has to be noted, that providers of CPT
such as Bosch claim that their youngest generation of Li-ion power packs they
distribute together with their power tools have the same number of charging
cycles and life time as NiCd batteries.[60] It is assumed that a replacement of NiCd
batteries by the existing alternatives would not have dramatic consequences
from the technical point of view as the leading CPT producers sell for standard
tools all three types of battery technologies (NiCd, NiMH and Li-ion) while
developing their most advanced tools in line with Li-ion batteries only.[61] Shortcomings of Li-ion batteries in
comparison to NiCd batteries are the limitation in operations below 0 °C and a
yet uncertain lifetime.[62]
The poor sub-zero °C performance of Li-ion batteries, however, does not keep
professionals from preferring Li-ion batteries over NiCd batteries even in cold
areas such as Northern Sweden.[63]
A cordless power tool producer stated that
Li-ion batteries can operate also at lower temperatures, as it produces heat as
long as it is in use.[64]
Even if its core temperature goes below –10 °C no irreversible damage would
occur with Li-ion batteries. Also professionals operating CPT by Li-ion
batteries in the cold region of northern Sweden have no problems with this
battery type.[65]
It also needs to be mentioned that below 0°C NiCd batteries show a much lowered
energy storage capacity.[66] The uncertain lifetime[67] is less a technical as an
economic restriction. Even a more conservative estimate reports Li-ion
batteries of having 62 % of the NiCd’s life-time-energy storage capacity.[68] Other sources attest Li-ion
batteries to have the same life-time-energy storage capacity as NiCd batteries.[69] Consequently the lifetime system costs of
Li-ion batteries are: –
49 % higher than NiCd-system costs when assuming
as an average life-time of 4.3 years for the Li-ion power pack; –
or only 10 % higher when assuming as an average
lifetime of 7 years for the Li-ion power pack. However, the difference in lifespan is not
relevant here because our assumption for the purpose of this impact assessment
is that batteries are disposed off together with CPT and therefore it is the
CPT, and not the battery, which limit the lifespan of the whole system
(CPT+battery). Annex 4 gives an overview of the
conclusions from a technical assessment on the commercially available technical
substitutes for cadmium batteries used in cordless power tools. Waste management Today, no reliable data is available on the
collection of batteries used in CPT in the EU as Member States are not obliged
to report at this stage and data collected by the industry refer to a limited
number of application. However, the WEEE Directive provides statistics on the
collection of CPT. In 2008, the collection rate of CPT was around 10%. The
evaluation of waste CPT battery collection in the BaU scenario over the period
2010-2015 is presented in the figure below: Figure 3: Evolution of waste CPT battery collection (in tonnes) in EU,
2010-2025 in BaU scenario (Option 1) The collection targets of the Batteries
Directive (25% by 2012 and 45% by 2016 are used as well as lower collection
rate of 10% is also considered based on collection data availale under the WEEE
statistics for the collection of CPTs. It is assumed that the batteries used in
CPT are collected together with the CPT and not separately. 2.5. The
EU's right to act and justification (Does the EU have the right to act?) The principle of subsidiarity requires that
the Union shall only take action[70]
if and insofar as the objectives of the proposed action cannot be sufficiently
achieved by the Member States and can therefore be better achieved by the
Union, by reason of scale of effects of the proposed action. The
proportionality principle requires Union action to not go beyond what is
necessary to obtain the objectives.[71] The present impact assessment takes account
of the principles of subsidiarity and proportionality because: –
A prohibition on the use of cadmium in portable
batteries and exemptions thereof have been established at EU level to avoid
distortions of the internal market; –
The Commission has been requested to review the
exemption for the use of cadmium in portable batteries intended for use in
cordless powertools. Unilateral action by Member States would have a negative
impact on the functioning of the internal market by creating barriers to trade
and can distort competition. EU action is necessary as this concerns the
review of an exemption for the use of cadmium in portable batteries intended
for use in cordless power tools which is established at EU level. All Member
States are affected by the use of cadmium in different applications since
batteries are freely circulating in the internal market - hence the
harmonization and coordination of policies and implementing measures on the
EU-level is crucial. No impact is expected on the EU budget. 3. Section
3: Objectives 3.1. General
objective The general objective is to contribute to
the achievement of the objectives of the Battery Directive, in particular to
Article 4(1) thereof, namely the development and marketing of batteries which
contain smaller quantities of dangerous substances or which contain less
polluting substances, in particular as substitutes for cadmium. 3.2. Specific
objectives The specific objectives are to: –
Specific objective 1: minimise environmental
impacts from portable batteries intended for use in cordless power tools, –
Specific objective 2: minimise economic costs
for consumers and manufacturers of CPT, inter alia by ensuring that technically
feasible solutions are available. 3.3. Operational
objectives The operational objectives are to: –
reduce the introduction of cadmium in the EU
economy associated with use of portable batteries in CPT; –
reduce the emissions of cadmium in the EU
associated with use of portable batteries in CPT; –
reduce the overall environmental impact in EU
associated with the use of portable batteries in CPT. 3.4. Consistency
of the objectives with other goals (EU policies and strategies – e.g. Europe
2020) The review of the exemption for the use of
cadmium in portable batteries intended for use in cordless powertools is
consistent with the principle of the prohibition on the use of cadmium in
portable batteries as laid down in Article 4(1) of the Batteries Directive. Under Commission Decision 2000/532/EC,
cadmium batteries are classified as hazardous batteries. Limiting or
restricting the use of hazardous substances is in line with other EU policies
and strategies, for instance with REACH[72].
4. Section
4: Description of policy options 4.1. Policy
options retained For the purpose of the impact assessment,
three policy options have been identified and retained for further analysis. It appears appropriate to present options 2
and 3 as separate options with regard to withdrawal of the exemption to better
reflect and distinguish between different possible impacts in short (2013) and
long-term (2016). Year 2013 (option 2) refers to an immediate
withdrawal of the exemption following a normal co-decision procedure after
adoption of a possible legislative proposal by the Commission (end 2011 or
early 2012). Year 2016 (option 3) refers to the date
established in the Batteries Directive (26 September 2016) by which Members
States should achieve a minimum collection rate of 45% for all portable
batteries placed on the EU market, including portable batteries used in CPT. It
was also indicated by the industry as feasible in terms of alternative. It was not considered useful to consider
other dates (e.g. 2014, 2015) for the withdrawal as different sub-options as
the impact analysis would be largely the same. As regards the 2015 review forseen in the
Batteries Directive by the Commission after the second Member States'
implementation reports (Article 23), at the this stage it is not expected this
review to be accompanied by any legislative proposal. Furthermore, the
co-legislator explicitly asked the Commission to review this exemption by 2010,
so alignment to 2015 review does not seem appropriate. Policy options related, for example, to
mandatory recycling of portable batteries used in CPT were not considered
appropriate as the Batteries Directive in its Article
12(1)(b) already stipulates that all batteries collected should be recycled. In
addition, the Directive specifies minimum recycling efficiency levels that the
battery recycling processes must meet by September 2011 (Article 12(4) and
Annex III, Part B), namely for: –
Nickel-cadmium batteries: recycle cadmium as far
as technically feasible, and recycle a minimum of 75 % of batteries by
average weight; –
Lead-acid batteries: recycle lead as far as
technically feasible, and recycle a minimum of 65 % of batteries by
average weight; –
Other batteries: recycle a minimum of 50 %
of batteries by average weight. Option 1: "Baseline scenario"
(no withdrawal of the exemption) The baseline scenario is also referred to
as a ‘Business as Usual’ (BaU) option which is used to explain how the current
situation would evolve without additional intervention or “no change in
policy”. The ‘business as usual’ option would
essentially mean that cadmium-containing batteries intended for use in CPTs
would continue to be supplied to consumers and professional users but these
would be progressive displaced by NiMH and Li-ion tools and battery packs. It
is already described in Section 2.6. Option 2: Immediate withdrawal of the
exemption (2013) This option would immediately (in 2013)
withdraw the exemption in force, restricting the use of cadmium content (by
weight of no more than 0.002%) in portable batteries for CPTs. As NiCd portable batteries for CPTs will
not be available anymore starting from 2013, they would be replaced by existing
NiMH (20% replacement of NiCd portable batteries) and Li-ion (80% replacement
of NiCd portable batteries) portable batteries. The time required for the
transposition of this policy option by the industry could be 18 months.[73] Under this option, the overall CPT battery
market (PRO and DIY) in EU would increase for NiMH portable batteries from 9
millions of units in 2013 to 21 millions of units in 2025 and for Li-ion
portable batteries from 34 millions of units in 2013 to 82 millions of units in
2025. More details are provided in Annex 7. The overall collected quantities of waste
CPT batteries would increase from 5,370 tonnes in 2010 to 23,140 tonnes in
2025. The overall quantity of waste CPT batteries collected during the period
2010-2025 would be 210,325 tonnes. More details are provided in Annex 8. Option 3: Delayed withdrawal of the
exemption (2016) This option would withdraw the exemption in
force in 2016[74]
thus restricting the use of cadmium content (by weight of no more than 0.002%)
in portable batteries for CPTs. This option would facilitate the battery
industry to further adapt the relevant technologies to the new requirements
related to a possible cadmium ban in CPT-batteries. From 2016 onwards, the NiCd portable
batteries would be replaced by existing NiMH (20% replacement of NiCd portable
batteries) and Li-ion (80% replacement of NiCd portable batteries) portable
batteries. Under this option, the overall CPT battery
market would increase for NiMH portable batteries from 10 millions of units in
2016 to 21 millions of units in 2025 and for Li-ion portable batteries from 42
millions of units in 2016 to 82 millions of units in 2025. More details are
provided in Annex 9. The overall collected quantities of waste
CPT batteries increase from 5,370 tonnes in 2010 to 23,140 tonnes in 2025. The
overall quantity of waste CPT batteries collected during the period 2010-2025
would be 213,300 tonnes. More details are provided in Annex 10. 4.2. Policy
options discarded at an early stage Increased collection rates Options related to increased collection
rates for cadmium batteries intended for use in cordless power tools have
been discarded at an early stage, as any proposals to increase collection rates
would be premature at this stage: The minimum collection rate of 25% for all
waste portable batteries established by the Directive (Article 10(2)) only
enters into force on 26 September 2012 (and 45% to be achieved by 26 September
2016). There are no specific collection rates for cadmium batteries, let alone
for cadmium batteries used in CPT; At this stage, Member States do not have
the obligation to report on the collection rates achieved. In addition, data
provided by the industry refer to a limited number of aplications. There is
therefore no sufficient data on the collection of portable batteries and in
particular portable cadmium batteries used in CPT. In addition, in order for this option to be
meaningful and provide a real alternative to the options related to a
withdrawal of the exemption, the collection rates would have to be increased
significantly, in order to crease a 'closed-loop' system where all waste
batteries would be collected and recycled. This casts doubts about the
political feasibility of this option and whether increased collection rates
would be feasible and realistic for Member States to comply with. Furthermore, the Commission is asked to
review the implementation of the Batteries Directive (Article 23), including
the appropriateness of the minimum collection targets for all waste portable
batteries and the possibility of introducing further targets for later years,
taking account of technical progress and practical experience ganied in Member
States once it has recived the second Member States' implementation reports in
the course of 2015. Delete the cadmium ban Option related to delete the cadmium ban
provided for portable batteries, including those incorporated into appliances,
has been discarded at an early stage. An extended Impact Assessment carried out
by the Commission services in 2003 to support the preparation of the current
Batteries Directive (2006/66/EC) demonstrated that batteries pose no particular
environmental concerns when they are in use or kept at home. However, sooner or
later those batteries will become waste and risk of contributing to the final
disposal of waste in the EU. The environmental concerns related to batteries
are linked to the hazardous substances they contain, in particular cadmium,
mercury and lead. Cadmium is classified as a toxic and carcinogenic substance
which could have irreversible effect on the environment and the human health. Currently no evidence is pointing in a
direction that a possible withdrawal of the current cadmium ban would be
justified from a cost-benefit perspective. No stakeholder has mentioned this
option as a vialable option during the various stakeholder consultations (both
multilateral and bilateral). Moreover, also from a political point of
view this is not a desirable option to be further asssessed, without solid
evidence available that this would be a viable one. This would question the
evaluation and decision taken already by co-legislators during the adoption of
the current Batteries Directive. It would also contradict the objectives set
out in the Waste Framework Directive, which placing waste prevention, including
qualitative prevention, on top of the waste hierarchy. It would also contradict
other policies aimed at limiting the hazardousness of products, such as REACH.[75] The Member States have
adopted a long-lasting strategy on limiting the use of cadmium, for instance in
the Council Resolution of 25 January 1988 on a Community action programme to
combat environmental pollution by cadmium[76],
namely the need of limiting the uses of cadmium to cases where suitable
alternatives do not exist in the interests of the protection of human health
and the environment, as far as such alternatives are already available today. Voluntary agreement Option related to a voluntary agreement
with the industry was suggested during the ISG meeting held on 19 September
2011. This option has afterwards been discarded for several reasons. Firstly,
it was not identified as a realistic option by any of the stakeholders during
the stakeholder consultation. Secondly, it is questionable whether the level of
ambition of such a voluntary agreement could go beyond the business as usual
scenario. Thirdly, both the cadmium ban and the exemption from it for the use
of cadmium in CPTs are established in a legal text and the co-legislator
required the Commission to review this exemption and present a legislative
proposal, not a voluntary agreement with a view to prohibit the use of cadmium
in batteries. Separate regulation of DIY and PRO
markets Option related to separate regulation of
DIY and PRO markets has been discarded at an early
stage. According to a confidential study financed by
the industry the withdrawal of the current exemption to portable NiCd batteries
use in CPTs can be more efficient should a distinction be made between the DIY
and PRO markets. This is so because the PRO market benefits from being less
sensitive to an increase in price of the CPT as compared to DIY market.
According to this study the resulting innovation in the PRO market will be
translated to the DIY market naturally once the alternative battery based CPT
technology becomes mature and hence more price competitive. These arguments could therefore be used to
justify the withdrawal of the exemption to NiCd batteries use in CPTs meant for
the PRO market and an extended phase-out of NiCd CPTs for the DIY market.
However, it must be noted that a separate regulation of DIY and PRO markets is
not practical because these markets are interrelated and therefore making it
almost impossible to monitor the implementation of such a regulation by the
Member State enforcement agencies. A separate regulation of PRO CPT market may
lead to its abuse by certain manufacturers (selling the CPT to PRO users which
was originally intended for DIY users) and PRO users (buying the NiCd based DIY
CPT instead) therefore putting other manufacturers (abiding by such a
regulation) at a disadvantage. Assess the other exemptions from the
cadmium ban, in view of their deletion The option to also assess the possible
deletion of the other exemptions for the use of cadmium in other applications
was also discarded at an early stage. These exemptions were granted because no
viable substitutes are available. No information to the contrary has been
provided during the extensive stakeholder consultations held. No stakeholder
indicated the need to extend the review to other applications. 5. Section
5: Analysis of impacts This section analyses the potential direct
and indirect environment, social, and economic impacts of the three policy
options retained in the previous section. It provides
the qualitative and quantitative assessment of the impacts of the options over
the short (2013), medium (2016) and long term (2025). Analysis of impacts includes information on
who is affected by these impacts, any risks and uncertainties in the policy
choices, and to the extent possible, assessment of the impacts is measured
quantitatively and in monetary terms. The environmental impacts of the three
options are assessed on the basis of two approaches. First, on the basis of the
amounts of cadmium introduced in the EU economy coming from the CPT batteries
and secondly, on the basis of aggregated environmental impacts which are based
on the conclusions of the comparative Life-Cycle Assessment of the three
battery types (NiCd, NiMH, Li-ion) used in CPT. In addition, a sensitivity
analisys was carried out to test the robustness of the expected impacts. Conclusions of the LCA The LCA has demonstrated that no clear
overall hierarchy between the three battery types
(NiCd, NiMH and Li-ion) used in CPTs can be defined. In this impact assessment the term ‘Li-ion’ is used to mean Lithium
Iron Phosphate technology (LiFePO4) which is the main Li-ion
technology in terms of current market shares. A clear
conclusion can only be given for a limited number of indicators: Li-ion has a
lower impact for Terrestrial Acidification Potential (TAP) and Particulate
Matter Formation Potential (PMFP) but has a higher impact for Freshwater
Eutrophication Potential (FEP). Regarding natural resources, comparative
results depend on the time perspective chosen for the policy analysis that is
based on this LCA[77]: –
For a mid-term perspective, Metal Depletion
Potential should be considered. In that case, NiCd technology appears to have a
lower potential impact on resource than NiMH and Li-ion; –
For a long-term perspective, Abiotic Resource
Depletion Potential should be considered. In that case, NiMH and Li-ion
technologies appear equal and have a lower environmental impact than NiCd
technology. Time horizon appears to be a key issue for
Human Toxicity Potential (HTP) and Freshwater Aquatic Ecotoxicity Potential
(FAEP): –
For a short/mid-term perspective, NiCd and NiMH
technologies appear to have a lower potential impact than Li-ion technology; –
For a long-term perspective, NiMH and Li-ion
technologies appear equal and have a lower environmental impact than NiCd
technology. The impact assessment analysis demonstrated
that the risks associated with cadmium in batteries would be higher compared to
other batery types. As mentioned in section 2.2., NiCd batteries are classified
as hazardous waste whereas the other two battery types (NiMH and Li-ion) are
non-hazardous waste. The possible environmental impacts of the materials[78] used in the three battery
types were also assessed. It was concluded that all three battery technologies
(NiCd, NiMH and Li-ion) contain hazardous substances. By far the most hazardous
and cancerogenic substance to health and environment, however, is the cadmium
contained only in NiCd batteries. More information on the environmental impacts
related to the three battery types is presented in Annex 20. Sensitivity analysis The influence of major input data or
assumptions on which a significant level of uncertainty exists was analysed. The main objective of sensitivity
analyses was to understand the extent to which the comparative trends among
batteries vary when key input data or assumptions are modified. The sensitivity of comparative LCA results
on a variation of the following parameters/assumptions was tested: (i) collection rate; (ii) assumption on the life-time of the batteries;
and (iii) quantity of heavy metals emitted in the environment during the
production of the cells. The results of the sensitivity analisys of these three
parameters are presented in Annex 16, Annex 17 and Annex 18. The impact on the global demand of raw
materials (cobalt, lithium, nickel and rare-earth oxides) resulting from the
withdrawal of the current exemption to NiCd battery use in CPT is almost
insignificant (less than 1% for all of them). It can therefore be assumed that
supply of these raw materials will not be limited due to the withdrawal of
current exemption to NiCd battery use in CPT in EU in 2016. [79] Therefore on this particular aspect a sensitivity analysis was
considered disproportionate. Environmental impact analysis In practice the CPTs are operated by two
portable battery packs for each battery chemistry (NiCd,
NiMH or Li-ion). The assessment of environmental impacts of
portable batteries used in CPTs under the three policy options considered here
only include the impacts of the battery packs (for all the three battery types:
NiCd, NiMH and Li-ion). The environmental impacts associated with the chargers
of these battery packs are therefore excluded from the assessment carried out in this section[80]. This is mainly due to the
reason that the charger does not fall in the scope of the Batteries Directive
but in WEEE[81]
and RoHS[82]
Directives and the objective of current assessment is only to review an
exemption under the Batteries Directive. The most relevant environmental impact
indicators were selected on the basis of a LCA and are listed in Annex 12.[83] 5.1. Assumptions
and methodology used for the quantitative assessment The quantitative analysis provided in this
Impact Assessment is based on the best available data and information collected
by the Commission from stakeholders, Member States and the literature. However,
data remains incomplete regarding some aspects and in particular for economic
costs for CPT manufacturers which are either not reported (especially under the
BaU scenario) or unverifiable as regards the costs indicated under Options 2
and 3. The methodology used to estimate the
environmental impacts is based on the amount of cadmium released in the
environment and the LCA study conducted by BIOIS. Further details about the
methodology are included in Annex 14. The social and economic impacts are based
on mainly unverified data submitted by CPT manufacturers. The impact on the WTO in case of withdrawal
of the current exemption would be negligible as the alternative battery
technoloqies for CPT, namely NiMH and Li-ion batteries are already in use not
only at EU level but also worldwide. 5.2. Policy
Option 1: Business as Usual 5.2.1. Economic
impacts No information is available on the impact
on raw material suppliers, battery pack assemblers or the CPT manufacturers. It should be noted that under this option,
cadmium batteries intended for use in cordless power tools are already
gradually being replaced by the existing substitutes: Li-ion and NiMH, as
illustrated by the following figure: Figure 4: Evolution of overall CPT battery market (number of units)
in EU until 2025 in BaU scenario based on annual sales (Option 1) The economic benefits of recycling
waste NiCd and NiMH batteries primarily come from the extraction of as much
Nickel as found in these batteries. On the other hand, the economic benefits of
recycling waste Li-ion batteries are primarily due to extraction of Cobalt. As NiCd and NiMH battery recycling is
taking place in EU for more than last 20 years, it can therefore be assumed
that these are mature technologies and have already reached saturation in terms
of their cost of operation (see section 2.3). According to SNAM[84], it is estimated that the
amount of cadmium-containing batteries received for treatment in 2010 will
gradually decrease by 2020, namely from 89% to 59% for NiCd batteries, whereas
the amount of waste battery alternatives will increase, namely from 7% to 30%
for NiMH batteries and from 4% to 20% for Li-ion batteries. The recycling
efficiency achieved since 2009 is more than 65% for Li-ion batteries and more
than 80% for NiMH and NiCd batteries. Umicore has recently invested in a
recycling plant that can recycle Li-ion and NiMH batteries. Currently, the
plant recycles Li-ion batteries at a net loss. However, as volumes will
increase, profitability will increase as well. At this moment in the EU, the recycling of
Li-ion batteries is still carried out at the net cost. However, technological
developments in the future may change this situation. BIO study estimates that the price of an
average NiCd CPT[85]
sold in the EU in 2010 is €60.80. No additional costs for consumers/retailers
was reported. 5.2.2. Environmental
impacts Amount of Cadmium introduced into the EU
economy Available information sources indicate that
the emissions related to NiCd batteries would be small compared to the
emissions from oil/coal combustion, iron and steel production or phosphate
fertilizers. Thus NiCd batteries would be responsible for only 1.35% of the
atmospheric cadmium emissions, 1.41% of the cadmium emissions into water and
0.65% of the total emissions. NiCd batteries used in the EU in CPTs are
responsible for 10.5% of total cadmium which is intentionally introduced in the
economy. In order to estimate the amount of cadmium
associated with the use of NiCd batteries in CPTs placed on the EU market over
the period 2010-2025, the following assumptions are made: –
The average mass of a NiCd cell used in CPTs is
51.4 g and the weight of a 18V power pack used in CPTs is 774 g; –
Cadmium proportion in the NiCd batteries used in
CPTs is 27% by weight. The environmental impacts resulting from
this introduction of Cadmium mainly occur during the end-of-life phase due to
the landfill of waste batteries and also due to the landfilling of the waste
battery incineration residue. The landfilling in a sanitary landfill generates
environmental impacts, notably through emissions of leachate to water bodies.
As per the end-of-life scenario considered in PO1, 30,550 tonnes of Cadmium
introduced through CPT batteries will lead to around 945 tonnes of Cadmium
emissions through leachate[86]
to water in ST + 5%LT[87].
The Cadmium released in water in turn impacts human health by increasing the
morbidity in the total human population. The 945 tonnes of Cadmium released in
water can cause cancer and non-cancer diseases in around 405 people.[88] Aggregated environmental impact at the
EU level The overall aggregated environmental impact
for Policy Option 1 is presented in Table 2. Table 2: Aggregated environmental impact for Policy Option 1 Environmental impact || Inhabitant-Eq || Weighted Inhabitant-Eq Global Warming Potential (GWP) || 177 804 || 84 616 Photochemical Oxidant Formation Potential (POFP) || 89 280 || 9 236 Terrestrial Acidification Potential (TAP) || 207 865 || 17 204 Abiotic Resource Depletion Potential (ARDP) || 693 906 || 100 504 Particulate Matter Formation Potential (PMFP) || 191 985 || 27 807 Freshwater Eutrophication Potential (FEP) || 6 647 225 || 320 464 Aggregated Environmental Impact || 559 831 The annual environmental impact (for 25%
and 45% collection rate) associated with the use of batteries in CPTs in EU in
PO1 is equivalent to environmental impact caused by 559 83[89] of 464 043 141 European
citizens (“EU25 +3”[90]).
This means that, the environmental impact
due to the use of batteries in CPTs in EU contributes 0.1206%[91] to the overall environmental
impact of EU. The aggregated environmental impact of
Policy Option 1 as presented in Table 2 above is based on the collection rates
as specified in the Batteries Directive as a mandatory legal requirement (25%
collection rate by 26 September 2012 and 45% collection rate by 26 September
2016). It is also considered a lower collection
rate than expected to assess the potential aggregated environmental impact of
PO1 to take into account the realistic collection values for CPTs in EU as
reported in the WEEE statistics.[92]
The aggregated environmental impact of Policy Option 1 is therefore also
calculated for a collection rate of 10%, considering it to be the worst likely
outcome over the period 2010 till 2025 as presented in Table 3 below.
Obviously, as the collection rate is lower than the one previously used, the
“aggregated environmental impact” is higher. Table 3: Aggregated environmental impact for Policy Option 1 (10%
collection rate) Environmental impact || Inhabitant-Eq || Weighted Inhabitant-Eq Global Warming Potential (GWP) || 179 042 || 85 205 Photochemical Oxidant Formation Potential (POFP) || 93 749 || 9 699 Terrestrial Acidification Potential (TAP) || 251 093 || 20 782 Abiotic Resource Depletion Potential (ARDP) || 806 481 || 116 809 Particulate Matter Formation Potential (PMFP) || 222 093 || 32 167 Freshwater Eutrophication Potential (FEP) || 6 912 102 || 333 234 Aggregated Environmental Impact || 597 896 The annual environmental impact (for 10%
collection rate) associated with the use of batteries in CPT in EU in PO1 is
equivalent to environmental impact caused by 597 89648 of 464
043 141 European citizens (“EU25 +3”49). This means that, the environmental impact
due to the use of batteries in CPT in EU contributes 0.1288%50
to the overall environmental impact of EU. With Policy Option 1 environmental and
health protection will remain at least at the same level, since this policy
option does not foresee removal of the exemption from the cadmium ban provided
for portable batteries used in CPT. This means that portable NiCd batteries
will continue to create a potential risk of releases of cadmium to the
environment during production and, more significantly, disposal of portable
NiCd batteries. 5.2.3. Social
impacts As there is no
additional impact than normal business functioning on the industry stakeholders
linked to CPT, there is no impact on job creation. 5.2.4. Administrative
burdens As there is no policy change, no additional
burdens for the competent Member States authorities are expected. Also, no
additional burdens for the economic operators are expected with regard to their
recycling and reporting obligations. 5.3. Policy
Option 2: Immediate deletion of the exemption (2013) Compared to Option 1, under option 2 as of
2013, the cadmium batteries intended to be used in cordless power tools will be
replaced by Li-ion and NiMH batteries. Over the period 2013-2025 and
compared to option 1: –
the total amount of Li-ion battery packs
intended for CPT use placed on the EU market will increase from 610.70 million
units (option 1) to 696.79 million units, which means an increase of 14%; –
the total amount of NiMH battery backs intended
for CPT use will increase from 157.45 million unites of battery packs (opion 1)
to 178.97 million units, which means an increase of 13.6%; –
107.61 million units of cadmium batteries will
be avoided to be placed on the market, a decrease of 100%. 5.3.1. Economic
impacts According to Floridienne Chimie[93], it is estimated that this
policy option will lead to 50 % reduction of the Cadmium oxide production at
its plant in Belgium. This would lead to a yearly loss of operational revenues
of € 15 to 20 million and to a Cadmium oxide processing plant shutdown.
However, it should be noted that that the demand for industrial NiCd batteries
is increasing (railways developments in BRIC countries -Brazil, Russia, India
and China) and solar panel applications inside and outside the EU. Therefore,
this scenario could be questioned because resulting volume gains from other
sources could mitigate these effects. On the other hand, it highlights that a
shrinking market of NiCd batteries will stimulate competition from other
Cadmium oxide producers in particular the low cost labour countries like China
and India will expand their Cadmium oxide producing activities. It is estimated that over the period of
2013-2025, it will impact on an average annual basis the overall worldwide
market of other metals as per following: –
Cobalt market: increase by 0.796%; –
Lithium market: increase by 0.374%; –
Nickel market: decrease by 0.012%; –
The rare-earths market: increase by 0.124%. It is clear from the analysis presented
above that the withdrawal of current exemption in 2013 to NiCd batteries for
use in CPTs will not have any significant impact on the overall worldwide
markets of metals. It can therefore be assumed that supply of these raw
materials would not be limited due to the withdrawal of current exemption to
NiCd battery use in CPT in EU in 2013. As said in section 2.3., all portable
batteries used in CPTs are imported to the EU, mainly from Asia and economic
impacts on the EU battery industry due to Policy Option 2 are note expected.
However, in case of a Policy Option 2, the major NiCd cells manufacturers will
see a reduction in the demand for these batteries by approximately 25 %.[94] Sanyo is the leading manufacturer of NiCd
batteries with a worldwide market share of around 75% (all applications). Sanyo
is investing in Li-Ion cells production for the CPT market, however it is still
in a development stage. A withdrawal of the current exemption to NiCd batteries
for use in CPTs would result in Sanyo losing its market dominance in the
batteries for CPT sector (remaining with a market share of only 20-25% of the
Li-Ion CPT market). Currently the Chinese company A123 is the dominant Li-Ion
battery manufacturer. Therefore, a withdrawal of the current exemption to NiCd
batteries for use in CPTs would shift the dominance of the sector for batteries
production for CPTs from Japan to China. Some stakeholders claimed that this policy
option would have a negative impact on the battery pack assemblers of cadmium
batteries. However, this may be compensated by the advancement of the EU
production of portable NiMH and Li-ion batteries for CPT. EPTA claims that this option will entail
one-off technical costs of the 7 EU CPT manufacturers that they represent,
namely: –
Rsearch and Development (R&D): one-time R&D costs for EPTA member companies would be €35.5
million; –
Upgradation of production lines: one-time costs for EPTA members companies would be €4.6 million;[95] –
Operating expenditures: not quantifiable. The total one-time technical cost for EPTA
members[96]
are in the range of €40 million, which represents 4% of their annual CPT
turnover. The total one-time technical costs for the overall CPT market in EU
are estimated to be €60 million.[97]
It is however doubtful whether these costs
should be attributed to the 14% increase of Li-ion batteries in CPT
applications compared to the amounts placed on the market under Policy Option 1
and the 13.6% increase of NiMH batteries in CPT applications of this policy
option, compared to the amounts placed on the market under Policy Option 1, or
whether these technical costs would also occur under the BaU scenario, as also
under the BaU scenario, the amounts of the NiCd batteries used in CPT
applications will decrease with 50 % between 2013 and 2025. It therefore seems
that the above costs could be exaggerated. The impact due to already existing stock
(in market) of the NiCd based CPTs in EU would be negligible. Because of the claimed increases in battery
costs and manufacturing costs of the CPT manufacturers, EPTA estimates a cost
increase of 50% for making a Li-ion technology based CPT and 20% for making a
NiMH based CPT when compared to the NiCd based CPT.[98] It estimates that only half of this
increase can be passed on and the other half needs to be absorbed in the
commercial margin. Therefore, EPTA recommends that it is unlikely that
manufacturers will benefit greatly or at all from the higher selling price on
CPT using either NiMH or Li-ion technologies. It is estimated that the increased cost for
the retailers associated with Li-ion CPTs will be absorbed by their higher
profit margins due to the higher selling price of the Li-ion CPT. The impact of this increased cost for
additional NiMH and Li-ion CPT units when translated on the overall NiMH and
Li-ion CPT market in EU (Option 2) results in the following increase in cost of
average tool for the consumer: –
Average NiMH battery based CPTs: 1.4% (average
over the period 2013-2025) higher cost to the consumer than average NiCd CPT.
The extra cost for average NiMH based CPT to consumer is 2.6% in 2013 falling
down to 0.6% in 2025 when compared to average NiCd CPT. –
Average Li-ion technology based CPTs: 3.5%
(average over the period 2013-2025) higher cost to the consumer than average
NiCd CPT. The extra cost for average Li-ion based CPT to consumer is 6.7% in
2013 falling down to 1.4% in 2025 when compared to average NiCd CPT. The impact on consumers would therefore be: –
To replace a NiCd CPT (including two battery
packs and a charger), which costs €60.80, by a NiMH CPT (including two battery
packs and a charger) will cost €66.90 in 2013;[99] –
To replace a NiCd CPT (including two battery
packs and a charger) which cost €60.80 by a Li-ion CPT (including two battery
packs and a charger) will cost €76 in 2013.[100] In case of the withdrawal of the current
exemption in 2013 to portable NiCd batteries for use in CPTs, consumers will
potentially be impacted due to the higher manufacturing cost of alternative
battery technology based CPTs. Over the period 2013-2025, an average NiMH
battery based CPT will cost €0.8 more, whereas an average Li-ion battery based
CPT will cost €2.1 more to the consumer than the average NiCd-battery based
CPT. No significant impact is expected for the
World Trade Organisation (WTO) as the alternative battery technologies for CPT
are already in use. Economic impacts on battery waste
management Under this policy option, the amounts of
collected portable cadmium batteries will decrease with 50% more than under
policy option 1 and the amounts of collected NiMH batteries and collected
Li-ion batteries will increase with about 15% compared to policy option 1. The costs/benefits of battery recycling
depends to a great extend on the market price for nickel and whether lithium is
recovered. Given that when looking at all batteries from the CPT sector in the
EU, the net recycling costs could be between 7% to 60% higher compared to the
base-line scenario. Some cadmium recyclers have claimed annual
turnover loss in the range of €10.5 million to €11.2 million. However, it
should be noted that (i) compared to the base-line scenario, the amount of
cadmium batteries in CPT will decrease with 50% but that (ii) these recyclers
also recycle other battery chemistries (such as NiMH) and also industrial NiCd
batteries and (iii) the industrial cadmium battery applications are expected to
increase. Compared to the base-line scenario, no
additional investment in waste Li-ion battery recycling plant
infrastructure would be required.[101]
The withdrawal of the current exemption to NiCd battery use in CPTs in 2013
would lead to replacement of NiCd battery by existing alternative battery
types, particularly by Li-ion based CPTs. This will in turn result in
additional waste generation of Li-ion batteries at the end of their life. Impacts on SMEs It is estimated that the withdrawal of
current exemption to NiCd batteries will lead to 50 % reduction of the cadmium
oxide production of an SME in Belgium.[102] In EU, there is still an activity of
Nickel-based battery pack assembly which qualifies as SMEs. The withdrawal of
the current exemption to NiCd batteries for use in CPT may theoretically affect
the operations of these EU Nickel-based pack assemblers. Due to lack of
information concerning the extent of these impacts, their quantification is not
possible. Of the seven[103] medium-sized CPT
manufacturers identified as operating in the EU market, only three[104] of them still produce and
sell NiCd based CPT in the EU market in 2011. All seven of these medium-sized
CPT manufacturers already produce alternatives to NiCd based CPT (primarily
Li-ion based CPT and some NiMH based CPT). It must be noted that these
medium-sized CPT manufacturers on the other hand also produce corded power
tools. It can therefore be concluded that the withdrawal of the current
exemption should not question the viability of any of the SME CPT
manufacturers. SNAM and Accurec are two main NiCd waste
battery recyclers in EU. Both these recycling companies qualify as SMEs and
expect a combined annual turnover loss in the range of €10.5 million to €11.2
million. However, as these recyclers, other than portable NiCd batteries also
recycle other battery chemistries (such as NiMH) and also industrial NiCd
batteries, therefore the withdrawal of the exemption should not question their
viability even though the economic impacts on them may not be negligible. At
the same time, increased recycling of waste Li-ion and NiMH is expected to create
some jobs and compensate for the turnover loss in the waste NiCd battery
recycling activity. Impacts on competitiveness The demand for industrial NiCd batteries is
increasing (railways developments in BRIC countries – Brazil, Russia, India and
China). The resulting volume gains could mitigate the effects of a ban on CPT
in EU. On the other hand, it highlights that a shrinking market of NiCd
batteries in EU will stimulate competition from other Cadmium oxide producers
in particular the low cost labour countries like China and India. The Li-ion battery pack assembly is
currently only done by Asian companies manufacturing these cells. On the
contrary, the battery pack assembly activity for Nickel-based batteries can be
performed in EU. A withdrawal of the current exemption to NiCd batteries use in
CPT may therefore put EU Ni-based battery pack assembly activity at some
disadvantage compared to battery pack assemblers elsewhere. European CPT manufacturers face significant
competitive pressure from cheaper producers in China and elsewhere in
particular for the low-price segment primarily comprised of DIY users and still
having a major share of the NiCd based CPT. The withdrawal of the current
exemption to NiCd batteries use in CPT may therefore add to the competitiveness
of the EU based CPT manufacturers in the EU market. Out of the six[105] waste CPT battery recyclers
identified operating in the EU market, only three[106] of them recycle portable
waste NiCd batteries in 2011. These three recycling companies however also
recycle other battery chemistries (such as NiMH and Li-ion) and also industrial
NiCd batteries. All six of them recycle either waste NiMH or Li-ion batteries.
The withdrawal of the current exemption to NiCd batteries used in CPT may
therefore enhance the overall competitiveness of internal waste battery
recycling market in the EU. 5.3.2. Environmental
impacts Amount of Cadmium introduced into the EU
economy The BIO study calculated that around 8,060
tonnes of Cadmium will be introduced in the EU economy over the period
2010-2025 via the use of portable NiCd batteries in CPTs for Policy Option 2.
The environmental impacts resulting from this introduction of Cadmium mainly
occur during the end-of-life phase due to the landfill of waste batteries and
also due to the landfilling of the waste battery incineration residue. The
landfilling in a sanitary landfill generates environmental impacts, notably
through emissions of leachate to water bodies. As per the end-of-life scenario
considered in Policy Option 2, 8,060 tonnes of Cadmium introduced
through CPT batteries will lead to around 300 tonnes of Cadmium emissions
through leachate[107]
to water in ST + 5% LT.[108]
The Cadmium released in water in turn impacts human health by increasing the
morbidity in the total human population. The 300 tonnes of Cadmium released in
water can cause cancer and non-cancer diseases in around 128 people46,
which is 68% less when compared to BaU scenario (Policy Option 1)
over the same period of time. Aggregated environmental impact at the EU
level The overall aggregated environmental impact
for Policy Option2 is presented in Table 4. Table 4: Aggregated environmental impact for Policy Option 2 Environmental impact || Inhabitant-Eq || Weighted Inhabitant-Eq Global Warming Potential (GWP) || 179 045 || 85 206 Photochemical Oxidant Formation Potential (POFP) || 88 526 || 9 158 Terrestrial Acidification Potential (TAP) || 196 510 || 16 264 Abiotic Resource Depletion Potential (ARDP) || 490 127 || 70 989 Particulate Matter Formation Potential (PMFP) || 184 972 || 26 791 Freshwater Eutrophication Potential (FEP) || 6 682 649 || 322 172 Aggregated Environmental Impact || 530 581 The annual environmental impact (for 25%
and 45% collection rate) associated with the use of batteries in CPTs in EU in
Policy Option 2 is equivalent to environmental impact caused by 530 58148
of 464 043 141 European citizens (“EU25 +3”49). This means that, the environmental impact
due to the use of batteries in CPTs in EU contributes 0.1143%50
to the overall environmental impact of EU. This means that the annual environmental
impact associated with the use of batteries in CPTs in Policy Option 2 is 5%
lower when compared to the use of CPTs in Policy Option 1. In other words,
the Policy Option 2 is environmentally beneficial by 5% when compared to Policy
Option 1. Like in case of Policy Option 1, as per
WEEE statistics reported for year 2008, the aggregated environmental impact of
Policy Option 2 is also calculated for a collection rate of 10% over the period
2010 till 2025 as presented in Table 5 below. Table 5: Aggregated environmental impact for Policy Option 2 (10%
collection rate) Environmental impact || Inhabitant-Eq || Weighted Inhabitant-Eq Global Warming Potential (GWP) || 180 139 || 85 727 Photochemical Oxidant Formation Potential (POFP) || 92 592 || 9 579 Terrestrial Acidification Potential (TAP) || 235 894 || 19 524 Abiotic Resource Depletion Potential (ARDP) || 507 314 || 73 478 Particulate Matter Formation Potential (PMFP) || 212 337 || 30 754 Freshwater Eutrophication Potential (FEP) || 6 922 154 || 333 719 Aggregated Environmental Impact || 552 781 The annual environmental impact (for 10%
collection rate) associated with the use of batteries in CPTs in EU in Policy
Option 2 is equivalent to environmental impact caused by 552 78148
of 464 043 141 European citizens (“EU25 +3”49). This means that, the environmental impact
due to the use of batteries in CPTs in EU contributes 0.1191%50
to the overall environmental impact of EU. This means that the annual environmental
impact associated with the use of batteries in CPTs in Policy Option 2 is 8%
lower when compared to the use of CPTs in Policy Option 1. In other words,
the Policy Option 2 is environmentally beneficial by 8% when compared to Policy
Option 1. Depending upon the choice of collection
rate and the indicators to calculate the aggregated environmental impact,
Policy Option 2 is environmentally beneficial by 5% to 8% when compared
to Policy Option 1. 5.3.3. Social
impacts Some stakeholders claimed job losses for
raw material suppliers to the cadmium battery industry (20-30 directly job
losses). In addition, the use of cadmium in industrial batteries is not
prohibited. Other stakeholders claimed that the
nickel-based pack assembly operations will lose the NiCd segment of their
business leading to a shift of the pack assembly activity outside of EU
because of the geographical distribution of the manufacturing sites of Li-ion
batteries. The quantification of resulting direct and indirect job losses in EU
is however not available. One CPT manufacturer reports a positive
impact on employment whereas two others expect a negative impact on
employment. The quantification of resulting direct and indirect job losses in
EU is however not available. Recycling industry estimates a job loss of 70
to 90 jobs, as there are 70 to 90 employees which work exclusively for the
recycling of NiCd batteries.[109]
However, also the majority of Li-ion-battery types contain valuable materials
worth for being recycled. Therefore, it is expected that jobs lost for
the recycling of NiCd portable batteries would be related to the creation of
jobs for the recycling of Li-ion batteries. Thus in balance no negative
impact for the jobs in the overall recycling industry is expected. 5.3.4. Administrative
burdens The withdrawal of current exemption to NiCd
batteries for use in CPTs will require the competent Member State authorities
to monitor and control their markets in order to ensure effective
implementation of the ban. The Batteries Directive applies equally to all the
27 Member States and it already requires each one of them to regularly monitor
the batteries for restricted substances. To accomplish this, each Member State
is expected to already have competent bodies, which can also handle the ban of
NiCd batteries use in CPTs. No additional administrative burden is expected. 5.4. Policy
Option 3: Delayed withdrawal of the exemption (2016) Compared to Policy Option 1, under option 3
as of 2016, the cadmium batteries intended to be used in cordless power tools
will be replaced by Li-ion and NiMH batteries. Over the period 2013-2025 and
compared to Policy Option 1: –
the total amount of Li-ion batteries intended
for CPT use placed on the EU market will increase from 610.70 million units
(Policy Option 1) to 670.85 million units, which means an increase of 9.8%; –
the total amount of NiMH batteries intended for
CPT use will increase from 157.45 million units (Policy Option 1) to 172.49
million units, which means an increase of 9%; –
the total amount of NiCd batteries intended for
CPT use will decrease from 107.61 million units (Policy Option 1) to 32.42
million units, which means a decrease of 70%. 5.4.1. Economic
impacts This option is not expected to not have any
significant impact on the overall worldwide markets of other metals (cobalt,
lithium, nickel, rare-earth metals). Currently there is no company having
production facilities in EU to manufacture NiCd cells for portable batteries
intended for the use in CPT. All portable NiCd batteries used in CPT are
imported to the EU, mainly from Asia. Some stakeholders claimed that this policy
option would have a negative impact on the battery pack assemblers of cadmium
batteries. However, this may be compensated by the advancement of the EU
production of portable NiMH and Li-ion batteries for CPT. It is expected that Policy Option 3 would
result in a potentially lower impact on CPT manufacturers as
compared to Policy Option 2.[110]
This would be due to the natural increase in market share of NiMH and Li-ion
battery based CPTs in 2016 as compared to 2013. Policy Option 3 would cost less to
re-design the CPTs than Policy Option 2.[111]
Policy Option 3 would lead to impact on CPT manufacturers of around 45%
lower when compared to that of Policy Option 2.[112] EPTA claims that this option will entail
one-off technical costs of the 7 EU CPT manufacturers that they present,
namely: –
Research and Development (R&D) costs: one-time R&D costs for EPTA member companies would be €19.5
million;[113] –
Upgradation of production lines: one-time costs for EPTA member companies would be €2.5 million; –
Operating expenditure: not quantifiable. The total one-time technical cost for EPTA
members[114]
are in the range of €22 million, which represents 2.2% of their annual CPT
turnover. The total one-time technical costs for the overall CPT market in EU
are estimated to be € 33 million. The impact due to already existing stock
(in market) of NiCd based CPTs in EU would be negligible. Policy Option 3 would lead to similar
economic impacts on retailers in EU as Policy Option 2. In the case of the withdrawal of the
current exemption in 2016 to NiCd batteries for use in CPT, consumers will
potentially be impacted due to the higher manufacturing cost of alternative
battery technology based CPT. EPTA suggests the following impact of the higher
manufacturing costs of additional units (compared to BaU) of NiMH and Li-ion
CPT on consumers: –
Each additional NiMH battery based CPT: 11%
higher manufacturing cost than NiCd CPTs, 5,5% will be abbsorbed by the
manufacturer; –
Each additional Li-ion technology based CPTs:
27.5% higher manufacturing cost than NiCd CPTs, 13,75% will be abbsorbed by the
manufacturer. The impact of this increased cost for
additional NiMH and Li-ion CPT units when translated on the overall NiMH and
Li-ion CPT market in EU (Policy Option 3) results in the following increase in
cost of average tool for the consumer: –
Average NiMH battery based CPTs: 0.6% (average
over the period 2016-2025) higher cost to the consumer than average NiCd CPT.
The extra cost for average NiMH based CPT to consumer is 1% in 2016 falling
down to 0.3% in 2025 when compared to average NiCd CPT. –
Average Li-ion technology based CPTs: 1.5%
(average over the period 2016-2025) higher cost to the consumer than average
NiCd CPT. The extra cost for average Li-ion based CPT to consumer is 2.5% in
2016 falling down to 0.8% in 2025 when compared to average NiCd CPT. The impact on consumers would therefore be: –
To replace a NiCd CPT (including two battery
packs and a charger), which costs €60.80, by a NiMH CPT (including two battery
packs and a charger) will cost €64.10 in 2016;[115] –
To replace a NiCd CPT (including two battery
packs and a charger) which cost €60.80 by a Li-ion CPT (including two battery
packs and a charger) will cost €69,20 in 2016.[116] Over the period 2016-2025, an average NiMH
battery based CPT would cost €0.4 more whereas an average Li-ion battery based
CPT would cost €0.9 more to the consumer than an average NiCd CPT (EPTA
estimations). No significant impact is expected for the
World Trade Organisation (WTO) as the alternative battery technologies for CPT
are already in use. Economic impacts on battery waste
management Under this policy option, the amounts of
collected portable cadmium batteries will decrease with 50% more than under
policy option 1 and the amounts of collected NiMH batteries and collected
Li-ion batteries will increase with about 15% compared to policy option 1. The costs/benefits of battery recycling
depends to a great extend on the market price for nickel. Depending on the
market price for nickel and whether lithium is recovered, when looking at all
batteries from the CPT sector in the EU, the net recycling costs could be
between 3% to 26% higher compared to the base-line scenario. Compared to the base-line scenario, no
additional investment in waste Li-ion battery recycling plant infrastructure
would be required.[117]
The withdrawal of the current exemption to NiCd battery use in CPTs in 2016
(similar to Policy Option 2) would lead to replacement of NiCd battery by
existing alternative battery types, particularly by Li-ion based CPTs. This will
in turn result in additional waste generation of Li-ion batteries at the end of
their life and may require investments in development of waste Li-ion battery
recycling plants hence supporting innovation in the waste battery recycling
technologies. Impacts on SMEs A similar or potentially lower impact (due
to the natural decrease in market share of NiCd batteries in 2016 as compared
to 2013) impact as in case of Policy Option 2 is expected on SMEs in EU (see
section 5.3.1.). Impacts on competitiveness A similar or potentially lower impact (due
to the natural decrease in market share of NiCd in 2016 as compared to 2013)
impact as in case of Policy Option 2 is expected on competitiveness of firms in
EU (see section 5.3.1.). 5.4.2. Environmental
impacts Amount of cadmium introduced into the EU
economy The environmental impacts resulting from
this introduction of Cadmium mainly occur during the end-of-life phase due to
the landfill of waste batteries and also due to the landfilling of the waste
battery incineration residue. The landfilling in a sanitary landfill generates
environmental impacts, notably through emissions of leachate to water bodies.
As per the end-of-life scenario considered in Policy Option 1, 14,830 tonnes
of Cadmium introduced through CPT batteries will lead to around 520
tonnes of Cadmium emissions through leachate[118] to water in ST + 5% LT.[119] The Cadmium released in water
in turn impacts human health by increasing the morbidity in the total human
population. The 520 tonnes of Cadmium released in water can cause cancer and
non-cancer diseases in around 222 people46, which is 45%
less when compared to BaU scenario (Policy Option 1) over the same period
of time. Aggregated environmental impact at the
EU level. The overall aggregated environmental impact
for PO3 is presented in Table 6. Table 6: Aggregated environmental impact for Policy Option 3 Environmental impact || Inhabitant-Eq || Weighted Inhabitant-Eq Global Warming Potential (GWP) || 178 681 || 85 033 Photochemical Oxidant Formation Potential (POFP) || 88 780 || 9 185 Terrestrial Acidification Potential (TAP) || 200 189 || 16 569 Abiotic Resource Depletion Potential (ARDP) || 557 936 || 80 810 Particulate Matter Formation Potential (PMFP) || 187 269 || 27 124 Freshwater Eutrophication Potential (FEP) || 6 673 681 || 321 740 Aggregated Environmental Impact || 540 460 The annual environmental impact (for 25%
and 45% collection rate) associated with the use of batteries in CPT in EU in
Policy Option 3 is equivalent to environmental impact caused by 540 46048
of 464 043 141 European citizens (“EU25 +3”49). This means that, the environmental impact
due to the use of batteries in CPT in EU contributes 0.1165%50
to the overall environmental impact of EU. This means that the annual environmental
impact associated with the use of batteries in CPT in Policy Option 3 is 3%
lower when compared to aggregated environmental impact of Policy Option 1.
In other words, the Policy Option 3 is environmentally beneficial by 3% when
compared to Policy Option 1. Like in case of Policy Option 1, as per
WEEE statistics reported for year 2008, the aggregated environmental impact of
Policy Option 3 is also calculated for a collection rate of 10% over the period
2010 till 2025 as presented in Table 7 below. Table 7: Aggregated environmental impact for Policy Option 3 (10%
collection rate) Environmental impact || Inhabitant-Eq || Weighted Inhabitant-Eq Global Warming Potential (GWP) || 179 808 || 85 570 Photochemical Oxidant Formation Potential (POFP) || 92 941 || 9 615 Terrestrial Acidification Potential (TAP) || 240 473 || 19 903 Abiotic Resource Depletion Potential (ARDP) || 597 452 || 86 533 Particulate Matter Formation Potential (PMFP) || 215 277 || 31 180 Freshwater Eutrophication Potential (FEP) || 6 919 125 || 333 573 Aggregated Environmental Impact || 566 374 The annual environmental impact (for 10%
collection rate) associated with the use of batteries in CPT in EU in Policy
Option 3 is equivalent to environmental impact caused by 566 37448
of 464 043 141 European citizens (“EU25 +3”49). This means that, the environmental impact
due to the use of batteries in CPT in EU contributes 0.1221%50
to the overall environmental impact of EU. This means that the annual environmental
impact associated with the use of batteries in CPTs in Policy Option 3 is 5%
lower when compared to aggregated environmental impact of Policy Option 1.
In other words, the Policy Option 3 is environmentally beneficial by 5% when
compared to Policy Option 1. Depending upon the choice of collection
rate and the indicators to calculate the aggregated environmental impact,
Policy Option 3 is environmentally beneficial by 3% to 5% lower when
compared to Policy Option 1. 5.4.3. Social
impacts The withdrawal of current exemption (in
2016) to NiCd batteries for use in CPT will have a similar impact on the
employment in EU as in case of Policy Option 2 for the following stakeholders: –
Raw material suppliers –
Battery cell manufacturers In case of battery pack assemblers, CPT
manufacturers, and recyclers however, it is expected that the negative impact
on employment will be lower when compared to Policy Option 2. This is so as
Policy Option 3 allows extra three years to these stakeholders to align to the
natural business cycle The quantification of resulting direct and indirect job
losses in EU is however not available. 5.4.4. Administrative
burdens The withdrawal of current exemption to NiCd
batteries for use in CPT will require the competent Member State authorities to
monitor and control their markets in order to ensure effective implementation
of the ban. The Batteries Directive applies equally to all the 27 Member States
and it already requires each one of them to regularly monitor the batteries for
restricted substances. To accomplish this, each Member State is expected to
already have competent bodies, which can also handle the ban of NiCd batteries
use in CPT. No additional administrative burden is expected. 5.5. Summary
of the economic impacts The summary of the economic impacts of the
three scenarios is shown in the table below. Stakeholder || Economic Impact / Option 1 2010 || Economic Impact / Option 2 2013 || Economic Impact / Option 3 2016 Mining companies || No additional impact as normal business functioning (no quantification of this expenditure available) || No impact || No impact Raw material suppliers || Small turnover loss (in the range of €15 to €20 million/year) to Cadmium salt producers || Small turnover loss (in the range of €15 to €20 million/year) to Cadmium salt producers Battery cell manufacturers || No impact || No impact Battery pack assemblers || Slight loss of turnover to Nickel-based battery pack assemblers in EU (no quantification) || Slight loss of turnover (lower than Policy Option 2) to Nickel-based battery pack assemblers in EU (no quantification) CPT manufacturers || One-time combined technical costs for all the CPT manufacturers in EU is estimated by EPTA to be € 60 million || One-time combined technical costs for all the CPT manufacturers in EU is estimated by EPTA to be € 33 million Retailers || Insignificant impact (marginal cost due to the additional requirements concerning safe transportation and storage of Li-ion based CPTs) || Insignificant impact (marginal cost due to the additional requirements concerning safe transportation and storage of Li-ion based CPTs) Consumers || Over the period 2013-2025, an average NiMH battery based CPT to cost €0.8 more whereas an average Li-ion battery based CPT to cost €2.1 more to the consumer than an average NiCd CPT (EPTA estimations) || Over the period 2016-2025, an average NiMH battery based CPT to cost €0.4 more whereas an average Li-ion battery based CPT to cost €0.9 more to the consumer than an average NiCd CPT (EPTA estimations) Recyclers || Currently the recycling of Li-ion batteries is carried out at a net cost, however this is expected to decrease in the future as technology matures and economies of scale arise. Some stakeholders estimated an increase in recycling cost of waste CPT battery arsing over the period 2011 till 2025 is in the range of €33 million to €179 million because it would be more expensive to recycle NiMH and Li-Ion batteries compared to NiCd batteries || Currently the recycling of Li-ion batteries is carried out at a net cost, however this is expected to decrease in the future as technology matures and economies of scale arise. Some stakeholders estimated an increase in recycling cost of waste CPT battery arsing over the period 2011 till 2025 is in the range of €53 million to €192 million because it would be more expensive to recycle NiMH and Li-Ion batteries compared to NiCd batteries. || Currently the recycling of Li-ion batteries is carried out at a net cost, however this is expected to decrease in the future as technology matures and economies of scale arise. Some stakeholders estimated an increase recycling cost of waste CPT battery arsing over the period 2011 till 2025 is in the range of €42 million to €140 million because it would be more expensive to recycle NiMH and Li-Ion batteries compared to NiCd batteries. Administrative costs (MS) || No impact || Insignificant impact (since Cadmium restriction in many portable batteries is already implemented under the Battery Directive) || Insignificant impact (since Cadmium restriction in many portable batteries is already implemented under the Battery Directive) 5.6. Compliance
aspects The administrative burden is limited for
all policy options and therefore it should not lead to compliance issues. 6. Section
6: Comparing the options The policy options will be assessed against
the following criteria: –
effectiveness –
the extent to which options achieve the objectives of the proposal; –
efficiency – the
extent to which objectives can be achieved at least cost; –
coherence – the
extent to which options are coherent with the overarching objectives of EU
policy, and the extent to which policy options are likely to limit trade-offs
across the economic, social, and environmental domain. In section 5 all relevant environmental,
economic, administrative and social impacts have been identified and as much as
possible quantified. In this section, the magnitude of the impacts in three
policy options is compared. The comparison highlights the advantages and
disadvantages of the three policy options, across the economic, social,
administrative and environmental dimensions and it identifies the potential
weaknesses and risks of these options. The three policy options are compared from
the point of view of effectiveness, efficiency and coherence, including
potential trade-offs between competing objectives. Particular attention has
been paid to cost-effectiveness of different policy options since some of them
have budgetary implications. To compare the three policy options, a
semi-quantitative score matrix approach was adopted (see Table 8). The level of
detail in the analysis depends on the amount of information gathered as well as
their quality. Table 8: Semi-quantitative
score matrix Legend || Likely effect +++ || Strongly positive impact ++ || Positive impact + || Slightly positive ≈ || Marginal/Neutral 0 || No effect (the baseline) - || Slightly negative impact -- || Negative impact --- || Strongly negative impact ? || Uncertain Table 9 summarises the possible
environmental, economic, social and administrative impact for implementation of
the three policy options at the Member States and industry level. In each cell
of the matrix a qualitative score is given, hence, forming the basis for
identifying the most workable approach in an efficient and effective manner. Table 9: Impact assessment matrix for
the comparison of the three policy options Policy Option Impact Indicator || Option 1 || Option 2 || Option 3 Economic impact indicators Mining companies || 0 No additional cost or turnover loss || 0 No additional cost or turnover loss || 0 No additional cost or turnover loss Raw material suppliers || 0 No additional cost or turnover loss || - Small turnover loss (€15-€20 million/year) to Cadmium salt producers || - Small turnover loss (€15-€20 million/year) to Cadmium salt producers Battery cell manufacturers || 0 No additional cost or turnover loss || 0 No CPT battery manufacturing in EU || 0 No CPT battery manufacturing in EU Battery pack assemblers || 0 No additional cost or turnover loss || - Slight loss of turnover to Nickel-based battery pack assemblers in EU || ≈ Marginal or no impact on Nickel-based battery pack assemblers due to availability of extra time for adapting to the natural business cycle of CPTs CPT manufacturers || 0 No additional cost or turnover loss || - Slight cost due to extra capital expenditure for R&D and adaptation of manufacturing facilities || ≈ Marginal or no impact on NiCd based CPT manufacturers due to availability of extra time for adapting to the natural business cycle of CPTs Retailers || 0 No additional cost or turnover loss || ≈ Marginal cost or neutral impact due to the additional requirements concerning safe transportation and storage of Li-ion based CPTs || ≈ Marginal cost or neutral impact due to the additional requirements concerning safe transportation and storage of Li-ion based CPTs Consumers || 0 No additional cost || - Slight cost due to higher purchase price of Li-ion and NiMH based CPTs as compared to NiCd based CPTs || ≈ Marginal cost or neutral impact of the higher purchase price due to the availability of extra time for natural evolution of Li-ion and NiMH based CPTs market Recyclers || 0 No additional cost or turnover loss || - Slight loss of turnover (to the waste NiCd battery recyclers) and slight increase in waste CPT battery recycling costs (due to higher recycling cost of waste Li-ion battery as compared to waste NiCd battery recycling) || ≈ Marginal cost due to the availability of extra time for natural evolution of lower cost for waste Li-ion battery recycling Administrative costs (MS) || 0 No implementation costs for MS authorities || ≈ Marginal or neutral cost since Cadmium restriction in many portable batteries is already implemented under the Battery Directive || ≈ Marginal or neutral cost since Cadmium restriction in many portable batteries is already implemented under the Battery Directive Environmental impact indicators Aggregated environmental impact || 0 Contribution of annual environmental impact associated with battery use in CPTs to overall annual EU environmental impact in the range of 0.1206% to 0.1288% || + Environmentally more beneficial by 5% to 8% each year when compared to “Policy Option 1” || + Environmentally more beneficial by 3% to 5% each year when compared to “Policy Option 1” Cadmium emissions to water[120], ST + 5% LT || 0 945 to 1360 tonnes of Cadmium emissions to water in the EU over the period 2010-2025 related to use of batteries in CPTs || ++ 68% less Cadmium emissions to water as compared to “Policy Option 1” in the EU over the period 2010-2025 related to use of batteries in CPTs || ++ 45% less Cadmium emissions to water as compared to “Policy Option 1” introduced in the EU over the period 2010-2025 related to use of batteries in CPTs Social impact indicators Employment generation (raw material suppliers) || 0 Does not increase jobs || - Could lead to some job losses (20 to 30) in Cadmium salt production activity in EU || - Could lead to some job losses (20 to 30) in Cadmium salt production activity in EU Employment generation (battery cell manufacturers) || 0 Does not increase jobs || 0 Unlikely to create additional jobs in EU || 0 Unlikely to create additional jobs in EU Employment generation (battery pack assemblers) || 0 Does not increase jobs || - Could lead to some job losses in Nickel-based battery pack assembly activity in EU || ≈ Unlikely to create additional jobs Employment generation (CPT manufacturers) || 0 Does not increase jobs || ≈ Unlikely to create additional jobs || ≈ Unlikely to create additional jobs Employment generation (retailers) || 0 Does not increase jobs || ≈ Unlikely to create additional jobs || ≈ Unlikely to create additional jobs Employment generation (recyclers) || 0 Does not increase jobs || - Could lead to some job losses in waste NiCd battery recycling activity in EU (about 100 losses). This should however partly be compensated by job gains in NiMH and Li-ion recycling activity || ≈ Unlikely to create additional jobs Employment generation (MS compliance authorities) || 0 Does not increase jobs || ≈ Unlikely to create additional jobs || ≈ Unlikely to create additional jobs Based on the results of the comparison of
impacts (environmental, social and economic) of the three policy options
presented in Table 9, the assessment of their effectiveness, efficiency and
coherence is described in the sub-sections below. 6.1. Effectiveness Policy Option 1: "Baseline
scenario" The magnitude of the environmental impacts
of the baseline scenario (as earlier presented in section 5.2.) is: –
945 tonnes of Cadmium emissions in water which
in turn can lead to cancer and non-cancer diseases in around 405 people; –
For collection rate as required by the Batteries
Directive: aggregated environmental impact of 559 831 weighted
inhabitant-eq corresponding to 0.1206% of overall “EU25 +3” impact in year
2000; –
For 10% collection rate (as reported in WEEE
Category 6 statistics for 2008): aggregated environmental impact of
597 896 weighted inhabitant-eq corresponding to 0.1288% of overall “EU25
+3” impact in year 2000. The magnitude of the environmental impacts
presented above was taken as a point of reference for comparison of the
effectiveness of other two policy options. Policy Option 2: Immediate withdrawal of
the exemption (2013) The overall magnitude of effectiveness of
the Policy Option 2 to achieve the environmental objectives is positive.
Depending upon the choice of collection rate and the indicators to calculate
the aggregated environmental impact, Policy Option 2 results in 5% to 8% lower
overall environmental impact when compared to Policy Option 1. Policy Option 2
also results in 68% less emissions of Cadmium in water. It is therefore
strongly positive concerning reduction of Cadmium emissions to water. Policy Option 3: Delayed withdrawal of
the exemption (2016) The overall magnitude of effectiveness of
the Policy Option 3 to achieve the environmental objectives is positive.
Depending upon the choice of collection rate and the indicators to calculate
the aggregated environmental impact, Policy Option 3 results in 3% to 5% lower
overall environmental impact when compared to Policy Option 1. Policy Option 3
also results in 45% less emissions of Cadmium in water. It is therefore
positive concerning reduction of Cadmium emissions to water. 6.2. Efficiency Policy Option 1: "Baseline
scenario" The magnitude of efficiency of the baseline
scenario is taken as the point of comparison for the other two policy options
and hence assigned a neutral value. Policy Option 2: Immediate withdrawal of
the exemption (2013) The magnitude of cost to achieve the
objectives of this Impact Assessment in case of Policy Option 2 is negative for
five of the most relevant stakeholders (raw material suppliers, battery pack
assemblers, CPT manufacturers, consumers and recyclers) whereas marginal or
neutral for retailers and Member State authorities. There are no cost impacts
on mining companies and battery cell manufacturing activities in EU. Policy Option 3: Delayed withdrawal of
the exemption (2016) The magnitude of cost to achieve the
objectives of this Impact Assessment in case of Policy Option 3 is slightly
negative for raw material suppliers whereas marginal or neutral for majority of
the stakeholders (battery pack assemblers, CPT manufacturers, retailers,
consumers, recyclers and Member State authorities). There are no cost impacts
on mining companies and battery cell manufacturing activities in EU. 6.3. Coherence Policy Option 1: "Baseline
scenario" The baseline scenario is the continuation
of Battery Directive in its current form which is already coherent with the
overarching objectives of EU policy. Policy Option 2:
Immediate withdrawal of the exemption (2013)
The Policy Option 2 is coherent with the
overarching objectives of EU policy. In addition to the Batteries Directive,
the withdrawal of current exemption to portable NiCd batteries use in CPTs is
in line with similar requirements on prohibition of Cadmium use in batteries
and accumulators in other Directives such as End-of-Life Vehicles (ELV)
Directive and Restriction of the Use of Certain Hazardous Substances in
Electrical and Electronic Equipment (RoHS) Directive, These are further
elaborated hereunder: –
ELV Directive[121]:
Both the ELV and the Batteries Directive contain substance restrictions. The
substance restrictions in Article 4 of the Batteries Directive (for the use of
mercury and Cadmium) indicate that these apply without prejudice to the ELV
Directive. An exemption for the use of Cadmium in batteries for electric
vehicles expired on 31 December 2008. –
RoHS Directive: The Batteries Directive and the
RoHS Directive have similar substance restrictions. The RoHS Directive restricts
the use of heavy metals, such as mercury and Cadmium in electrical and
electronic equipment, however according to Recital (29) of the Batteries
Directive, the RoHS Directive does not apply to batteries and accumulators used
in electrical and electronic equipment. Policy Option 3: Delayed withdrawal of
the exemption (2016) The Policy Option 3 is also coherent with
the overarching objectives of EU policy (due to same reasons as described for
Poicy Option 2). 6.4. Preferred
option The European CPT market is already in the
transitions towards Li-ion battery technology as the most important energy
source for CPTs. However, without withdrawal of the current exemption this
transition will likely be long lasting and incomplete. It is to be expected
that imported cheap NiCd battery driven CPTs would stay on the market for a
long time without such a withdrawal of the current exemption. Withdrawing the exemption would on the one
hand lead to positive environmental impacts, but at the same time also to some
costs for some economic operators. Policy Option 3 achieves almost the same
level of effectiveness at a higher efficiency and is therefore a good candidate
for the preferred option. It also needs to be highlighted that the
withdrawal of the current exemption to portable NiCd batteries used in CPTs
will foster innovation thus creating opportunities for European companies to
play a leading role in the global context. The withdrawal of the current exemption
could support the transition of the European CPT industry towards the Li-ion
technology and allow CPT producers to develop new, more powerful applications,
to develop new markets, to generate more revenue and to create new jobs.[122] It is recommended that Policy Option
3 be implemented for both PRO and DIY markets alike. The table below summarises the comparison
between the three policy options in terms of effectiveness, efficiency and
coherence. Table 10: Comparison of the policy
options vs. effectiveness, efficiency and coherence Option || Policy Option 1 || Policy Option 2 || Policy Option 3 Effectiveness SO 1[123] || Negative || Positive || Positive SO 2 || Negative || Positive || Very positive OO 1[124] || Negative || Very positive || Very positive OO 2 || Negative || Very positive || Very positive OO 3 || Negative || Positive || Positive Efficiency || Negative || Positive || Very positive Coherence || Yes || Yes || Yes Conclusion || Recommended option 7. Section
7: Monitoring and evaluation In this section, a set of measurable
indicators are identified that cover both the quality of the outputs of the
policy options their implementation process. The plans for evaluation are also
defined. In this way it is ensured that adequate data will be available and
that future evaluations focus on the most relevant questions and core progress
indicators. 7.1. Core
indicators of progress towards meeting the objectives The core indicators for progress towards
meeting the objectives set for this policy initiative are the following: –
The amounts of NiCd batteries and substitute
technologies for NiCd batteries used in CPTs placed on the market; –
Recycling and treatment of NiCd batteries and
substitute technologies. 7.2. Broad
outline for possible monitoring and evaluation arrangements Monitoring of the possible implementation
of a ban on the use of NiCd batteries for CPT should be relatively straightforward,
given that under the Batteries Directive, Member States
have to report to the Commission on the amounts of batteries and accumulators
placed on the market on a yearly basis. There are separate reporting
requirements which differentiate per battery chemistry, namely batteries
containing mercury, cadmium and lead as regards the recycling of those
batteries (recycling efficiency data to be provided annually as well). Based
on this data, market trends of substitue technonomogies of NiCd batteries used
in CPTs could be distilled. Addition reporting obligations for Member States
do not seem necessary at this stage. In addition, Member States must submit a
national implementation report to the Commission every three years as set out
in Article 22 of the Batteries Directive. The first
report shall cover the period until 26 September 2012. These national
implementation reports shall be drawn up on the basis of a questionnaire
established in accordance with the procedure referred to in Article 24(2) of
the Batteries Directive.In this report, Member States can submit information on
main difficulties encountered when implementing the Directive. Such informaton
could include compliance costs for industry of the cadmium ban and subsequent
costss for consumers if appropriate. A ban on NiCd batteries for use in CPTs
will therefore only be a marginal addition to existing monitoring obligations.
These include the requirement for Member States to monitor collection rates
including reliable and comparable data on the quantities of batteries and
accumulators placed on the market and the quantities collected and recycled
(see Article 10 and Article 1(22) of the Batteries Directive). On the basis of the national implementation
reports, the Commission will publish its own report on the implementation of
the Batteries Directive and its impact on the environment and the functioning
of the internal market. A review of the Batteries Directive will be
carried out after the second round of national implementation reports from
Member States. During the evaluation of the reports, the Commission will
examine the appropriateness of further risk management measures, minimum
collection targets and minimum recycling obligations, and if necessary propose
amendments to the Directive.[125]
However, this review will not affect the current withdrawal of the exemption
for the use of cadmium in portable batteries and accumualtors intended to be
used in cordless power tools, but may look into the use of mercury in batteries
and accumulators, in light of recent international developments in this area. 8. Glossary ARDP || Abiotic esource Depletion Potential BaU || Business as Usual BIOIS || BIO Intelligence Service BRIC || Brazil, Russia, India and China CLP || Classification, Labelling and Packaging CMR (substance) || Carcinogenic, mutagenic or toxic for reproduction CPT || Cordless Power Tools DEFRA || Department for Environment, Food and Rural Affairs DYI (consumers) || Do-It-Yourself (consumers) ELV || End-of-Life Vehicles EPTA || European Power Tool Association ERM || Environmental Resources Management ESWI || Expert Team to Support Waste Implementation EU25 +3 || EU25+ Iceland +Norway+ Switzerland FAEP || Freshwater Aquatic Ecotoxicity Potential FEP || Freshwater Eutrophication Potential GWP || Global Warming Potential HTP || Human Toxicity Potential IASG || Impact Assessment Steering Group IED || Industrial Emissions Directive LaNi5 || Lanthanum Nickel LCA || Life-Cycle Analysis LiFePo4 || Lithium iron phosphate Li-Ion || Lithium-ion LT || Long-term MS || Member State NiCd || Nickel-Cadmium NiMh || Nickel-Metal Hydride NPV || Net Product Value OEM || Operation Equipment Manufacturer PAF || Potentially Affected Fraction PMFP || Particulate Matter Formation Potential POFP || Photochemical Oxidant Formation Potential PRO (consumers) || Professional (consumers) REACH || Registration, Evaluation, Authorisation and Restriction of Chemicals (Directive) RECHARGE || European Rechargeable Battery Association ROHS || Restriction of Hazardous Substances (Directive) ST || Short-term TAP || Terrestrial Acidification Potential WEEE || Waste Electrical and Electronic Equipment WTO || World Trade Organization 9. References European Community legislation and
documents Report from the Commission to the European
Parliament and to the Council on the exemption from the ban on cadmium granted
for portable batteries and accumulators intended for use in cordless power
tools {COM/2010/0698 final} –
Results of the stakeholders' consultation on the
exemption of cadmium ban provided for portable batteries intended for use in
cordless power tools CPT) (March - May 2010),
http://circa.europa.eu/Public/irc/env/exempt_cadmium_ban/library –
Results of the stakeholders' workshop organised
on the 18 July 2011, http://ec.europa.eu/environment/waste/batteries/index.htm –
Directive 2006/66/EC of the European Parliament
and of the Council of 6 September 2006 on batteries and accumulators and waste
batteries and accumulators and repealing Directive 91/157/EEC –
Directive 2000/53/EC of the European Parliament
and of the Council of 18 September 2000 on end-of life vehicles (ELV) –
Directive 2002/96/EC of the European Parliament
and of the Council of 27 January 2003 on waste electrical and electronic
equipment (WEEE) –
Directive 2002/95/EC of the European Parliament
and of the Council of 27 January 2003 on the restriction of the use of certain
hazardous substances in electrical and electronic equipment (RoHS) –
Directive 2008/98/EC of the European Parliament
and of the Council of 19 November 2008 on waste and repealing certain
Directives –
Regulation (EC) No 1907/2006 concerning the Registration, Evaluation, Authorisation and Restriction
of Chemicals (REACH) –
Regulation (EC) No 1272/2008 of the European
Parliament and of the Council of 16 December 2008 on classification, labelling
and packaging of substances and mixtures, amending and repealing Directives
67/548/EEC and 1999/45/EC, and amending Regulation (EC) No 1907/2006 –
European Commission, Commission Staff Working
Paper, Directive of the European Parliament and of the Council on Batteries and
Accumulators and Spent Batteries and Accumulators, Extended Impact Assessment,
{COM(2003)723 final}
http://ec.europa.eu/environment/waste/batteries/pdf/eia_batteries_final.pdf –
European Risk Assessment Report (RAR) on cadmium
(Cd) and cadmium oxide (CdO), published at:
http://ecb.jrc.ec.europa.eu/DOCUMENTS/Existing-Chemicals/RISK_ASSESSMENT/REPORT/cdmetalreport303.pdf Commission's studies and research
projects –
ESWI study for DG Environment: "Exemption
for the use of cadmium in portable batteries and accumulators intended for the
use in cordless power tools in the context of the Batteries Directive
2006/66/EC" ("ESWI study"), Final report of January 2009,
published on the Commission website at http://ec.europa.eu/environment/waste/ships/pdf/final_report080310.pdf
–
BIO Intelligence Service study for DG
Environment: "Comparative Life-Cycle Assessment of nickel-cadmium (NiCd)
batteries used in Cordless Power Tools (CPTs) vs. their alternatives
nickel-metal hydride (NiMH) and lithium-ion (Li-ion) batteries" ("BIO
study"), Final report of October 2011, published on the Commission website
at http://ec.europa.eu/environment/waste/batteries/index.htm
–
BIPRO, Umweltbundesamt, Enviroplan study for DG
Environment: "Study on the calculation of recycling efficiencies and
implementation of export article (Art. 15) of the Batteries Directive
2006/66/EC", Final report of May 2009, published on the Commission website
at http://ec.europa.eu/environment/waste/batteries/pdf/batteries090528_fin.pdf
–
Bio Intelligence Services, Impact Assessment on
selected Policy Options for Revision of the Battery Directive. Final Report of
July 2003, published on the Commission website at http://ec.europa.eu/environment/waste/batteries/pdf/eia_batteries_final.pdf
Other studies, publications and
information sources –
Council of the European Union. Draft impact
assessment of key Council amendments to the Commission proposal for a Batteries
Directive. Interinstitutional File 2003/0282 (COD), Brussels, 9 November 2004 –
Council Resolution of 25 January 1988 on a
Community action programme to combat environmental pollution by cadmium (88/C
30/01) –
Swedish Environmental Protection Agency Report
"Cadmium in power tool batteries - The possibility and consequences of a
ban", Stockholm, January 2009, published at –
http://www.naturvardsverket.se/Documents/publikationer/978-91-620-5901-9.pdf
–
Ängerheim P., Cadmium in batteries intended for
power tools, Swedish EPA, presented at the Batteries Technical Adaptation
Committee (TAC) meeting which took place on 6th November 2009 in
Brussels –
Arcadis study, "The use of Portable
Rechargeable Batteries in Cordless Power Tools: Socio-Economic and
Environmental Impact Analysis", 2010 –
Avicenne, 2009, presentation on “Present and
future market situation for batteries”, presented at Advanced Battery
Technologies in Frankfurt (30th June to 2nd July 2009) by Christophe Pillot –
SNAM, presentation at the European Battery
Collection Day, 4-5 October 2011, European Parliament, Brussels –
Umicore, presentation at the European Battery
Collection Day, 4-5 October 2011, European Parliament, Brussels [1] OJ
L 266, 26.9.2006, p. 1. Directive as last amended by Directive 2008/103/EC (OJ L 327, 5.12.2008, pp. 7–8). [2] Extended
Impact Assessment prepared by the Commission services in preparation of the
Batteries Directive (2006/66/EC), [COM(2003)723 final], see p. 27 and Annex V. [3] Consolidated version of the Batteries Directive
(2006/66/EC) is available at http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=CONSLEG:2006L0066:20081205:EN:PDF
[4] A
Stakeholder Workshop was organised on 18 July 2011 in the framework of BIOIS
study on LCA. [5] See
http://www.naturvardsverket.se/Documents/publikationer/978-91-620-5901-9.pdf
[6] ESWI study (2010) is available at: http://ec.europa.eu/environment/waste/batteries/pdf/cadmium_report.pdf. [7] BIO study (2011) was conducted prior to the full
completion of all relevant Handbook documents, it is available at: http://ec.europa.eu/environment/waste/batteries/index.htm
[8] The
consultation remained open from 10 March until 10 May 2010, respecting the
minimum standard of eight weeks. 14 contributions were received and
individually acknowledged. Among the respondents were 2 Member States, 8
producers, producer responsibility organisations and industrial associations, 2
raw material suppliers and 2 recyclers. [9] Contributions
and summary of stakeholder comments are available at: http://ec.europa.eu/environment/consultations/batteries_en.htm,
see under "Results of consultation and next steps". [10] Examples
of CPT include tools used by consumers and professionals for turning, milling,
sanding, grinding, sawing, cutting, shearing, drilling, making holes, punching,
hammering, riveting, screwing, polishing or similar processing of wood, metal
and other materials or for mowing, cutting and other gardening activities. [11] OJ
C 30, 4.2.1988, p. 1. [12] OJ
L 269, 21.10.2000, p. 34 [13] OJ
L 37, 13.2.2003, p. 24 [14] OJ L 365, 31.12.1994, p. 10 [15] Draft impact assessment of key
Council amendments to the Commission proposal for a Batteries Directive (November,
2004), available at: http://register.consilium.eu.int/pdf/en/04/st14/st14372.en04.pdf
[16] Ban
on leaded batteries: Analysis of an amendment to Article 4 in the Council common
position for adopting a Directive on batteries and accumulators and waste
batteries and accumulators and repealing 91157/EEC (November, 2005), available
at: http://www.europarl.europa.eu/comparl/envi/pdf/externalexpertise/ieep_6leg/batteries.pdf
[17] The
Commission Report is available at: http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=CELEX:52010DC0698:EN:NOT
[18] OJ
L 226, 6.9.2000 [19] Regulation
(EC) No 1272/2008 of the European Parliament and of the Council of
16 December 2008 on classification, labelling and packaging of substances
and mixtures, amending and repealing Directives 67/548/EEC and 1999/45/EC, and
amending Regulation (EC) No 1907/2006 (OJ L353, 31.12.2008, p. 1.) [20] Extended
Impact Assessment of 24.11.2003, COM(2003)723 final [21] Risk Assessment, Cadmium oxide/Cadmium metal, Final
Draft, July 2003, available at: http://esis.jrc.ec.europa.eu/doc/existing-chemicals/risk_assessment/DRAFT/R303_0307_env_hh.pdf
[22] European Union Risk Assessment Report (RAR): Cadmium
Metal, EC, 2008, available at: http://esis.jrc.ec.europa.eu/doc/existing-chemicals/risk_assessment/REPORT/cdmetalreport303.pdf
[23] Extended
Impact Assessment of 24.11.2003, COM(2003)723 final [24] Directive 2000/76/EC on the incineration of waste, OJ L 332,
28.12.2000, p. 91; limit for new plants as from 12/2002 and for existing plants
as from 12/2005. Directive to be repealed by Directive 2010/75/EU on industrial
emissions (integrated pollution and prevention control) with effect by 7
January 2014 (OJ L334 of 17.12.2010, p. 17) [25] “Impact
Assessment on Selected Policy Options for the Revision of the Battery
Directive”, Bio Intelligence 2003. [26] Leachate is generated as a result of the expulsion of liquid from
the waste due to its own weight or compaction loading (‘primary leachate’) and
the percolation of water through a landfill (‘secondary leachate’). The source
of percolating water could be precipitation, irrigation, groundwater or
leachate recalculated through the landfill. [27] Targeted Risk Assessment Report (TRAR), draft final report of May
2003, carried out by Belgium within the framework of Regulation 793/93 (OJ L
224 of 3.9.1993, 9.p 34). TRAR has been taken into account in the EU RAR on
cadmium issued in 2007 (see: http://esis.jrc.ec.europa.eu/doc/existing-chemicals/risk_assessment/REPORT/cdmetalreport303.pdf
under "Introduction") [28] See
TRAR, draft final report of May 2003, page 133. The following assumptions are
made: portable NiCd batteries account for 10-50% of the total MSW cadmium
content, the total cadmium content of MSW on dry weight basis equal 10 g/tonne,
and 24.4% of the spent portable nickel-cadmium batteries are sent to
incineration activities and 75.6% to landfill activities. [29] Annual
sales in 2002 were estimated at 158720 tonnes and an estimated 72155 tonnes of
portable batteries were set to landfill or incineration. “Impact Assessment on
Selected Policy Options for Revision of the Battery Directive”, Bio
Intelligence 2003. [30] “Impact
Assessment on Selected Policy Options for the Revision of the Battery
Directive”, Bio Intelligence 2003. [31] “Impact
Assessment on Selected Policy Options for the Revision of the Battery
Directive”, Bio Intelligence 2003. [32] The
industry claims that 65-95% of portable NiCd batteries sold over the last 10
years are still being hoarded, source: CollectNiCad. [33] TRAR,
Final Draft May 2003, page 7. Furthermore, the TRAR itself also indicates the
following lack of methodologies to assess certain impacts: “neither the
delayed cadmium emissions of the re-use of incineration residues not the impact
of future expected increase in cadmium content of bottom ash and fly ash on the
re-usability of these incineration residues have been quantified” (page 6)
and “the contamination of the groundwater compartment due to fugitive
emissions of landfills have not been quantified in this TRAR since no guidance
is available to perform these calculations” (page 7). [34] “Impact
Assessment on Selected Policy Options for the Revision of the Battery
Directive”, Bio Intelligence 2003. [35] Draft impact assessment of key
Council amendments to the Commission proposal for a Batteries Directive
(November, 2004), available at: http://register.consilium.eu.int/pdf/en/04/st14/st14372.en04.pdf
[36] European Union Risk Assessment Report (RAR): Cadmium
Metal, EC, 2008 RAR available
at: http://esis.jrc.ec.europa.eu/doc/existing-chemicals/risk_assessment/REPORT/cdmetalreport303.pdf
; Addendum
available at: http://esis.jrc.ec.europa.eu/doc/existing-chemicals/risk_assessment/ADDENDUM/cdmetal_cdoxide_add_303.pdf ; Commission
Communication on the results of the risk evaluation and the risk reduction
strategies for the substances cadmium metal and cadmium oxide available at: http://esis.jrc.ec.europa.eu/doc/existing-chemicals/risk_assessment/OJ_RECOMMENDATION/ojrec7440439.pdf
. [37]
OJ L 84, 5.04.1993, p.1. [38] OJ
L 156/22, 14.6.2008. Documents available at: http://esis.jrc.ec.europa.eu/doc/existing-chemicals/risk_assessment/OJ_RECOMMENDATION/ojrec7440439.pdf [39] (i) for NiCd batteries - 4 companies in Japan, 1
company in Korea and 1 company in China; (ii) for NiMH batteries - 3 companies
in Japan, 1 company in China and 1 company in North America; (iii) for Li-ion
batteries - 5 companies in Japan, 3 companies in China, 2 companies in Korea
and 1 company in Taiwan. [40] CPTs
producers with a significant market share in EU and an annual turnover from 338
million € to 47 260 million € in 2010. [41] The
annual overall turnover is 12 million €. The annual turnover directly related
to the recycling of portable NiCd batteries is approximately 8.4 million €. [42] The
annual overall global (EU and non-EU) turnover is 591 million €. [43] The
annual overall turnover is 3 to 4 million €. This company recycles also other
products (e.g. power tools, photovoltaic panels). The annual turnover directly
related to the recycling of portable NiCd batteries is 2.1 to 2.8 million €. [44] The
annual overall global (EU and non-EU) turnover is 2619 million €. This company
recycles also other products and batteries. [45] The
annual overall global (EU and non-EU) turnover is 1155 million €. This company
recycles also other products and batteries. [46] More
information on battery sales and separate collection of NiCd batteries in
Germany is presented in Annex 19. [47] ESWI
study (2010). The current situation is an annual waste arising of ~ 16 000
tonnes/ year. [48] Regulation
(EC) No 1907/2006 concerning the Registration, Evaluation,
Authorisation and Restriction of Chemicals (REACH), (OJ L
396, 30.12.2006, p. 1) [49] Based
on data provided in the European Stakeholder Consultation document regarding a review of the exemption of Cadmium ban provided
for portable batteries and accumulators intended for use in cordless power
tools (CPT), March-May 2010, available at: http://ec.europa.eu/environment/consultations/batteries_en.htm
[50] Please
note: A same charger can be used for NiCd and NiMH based CPTs [51] Based
on worldwide market data published by Hideo Takeshita in 2008, Vice President
of the Japanese Institute of Information Technology [52] Arcadis,
2010, The use of Portable Rechargeable Batteries in
Cordless Power Tools: Socio-Economic and Environmental Impact Analysis [53] Avicenne,
2009, presentation on “Present and future market situation for batteries”,
presented at Advanced Battery Technologies in Frankfurt (30th June
to 2nd July 2009) by Christophe Pillot [54] ESWI
study, 2010 [55] Source :
EPTA and RECHARGE [56] ESWI
study (2010) [57] Existing
CPT means CPT manufactured and placed on the market prior to a possible ban of
NiCd batteries for CPT, ESWI study (2010) [58] Please
note: A same charger can be used for NiCd and NiMH based CPT. [59] New
CPT means CPT manufactured and placed on the market after a possible ban of
NiCd batteries for CPT, ESWI study (2010). [60] See
ESWI study (2010), [Bosch 2009a] [61] See
ESWI study (2010), [Bosch 2009b,c] [62] ESWI
study (2010): As reported by EPTA, for NiCd batteries an operation temperature
range of -20°C to 60°C, for NiMH a range of 0°C to 50°C and for Li-ion an
operation temperature range of 0°C to 60°C. [63] "Cadmium in power tool batteries-The possibility
and consequences of a ban", The Swedish Environmental Protection Agency,
2009, report available at: http://www.naturvardsverket.se/Documents/publikationer/978-91-620-5901-9.pdf [64] See
ESWI study (2010), [Bosch 2009a] [65] "Cadmium in power tool batteries-The possibility
and consequences of a ban", The Swedish Environmental Protection Agency,
2009, report available at: http://www.naturvardsverket.se/Documents/publikationer/978-91-620-5901-9.pdf [66] ESWI
study (2010), see Figure 4-7. [67] The
life time of Li-ion batteries needs to be confirmed, but seems to be between 4
and 7 years. The life time of NiCd batteries is 7 years. The life time of NiMH
batteries is approximately 4 years. [68] See
ESWI study (2010), [EPTA 2009b] [69] See
ESWI study (2010), [Bosch 2009a] [70] This
principle only applies to areas which do not fall within the Communities’
exclusive competence. [71] See
Article 5 of the EC Treaty. [72] Regulation
(EC) No 1907/2006 concerning the Registration, Evaluation,
Authorisation and Restriction of Chemicals (REACH), (OJ L
396, 30.12.2006, p. 1) [73] Source:
The estimate on time requirements reflects the opinion of EPTA and RECHARGE. [74] Year
2016 is chosen as a reference year in which the minimum collection target of
45% for portable batteries should be achieved. [75] Under REACH, since it is proved that the risk is
controlled, some hazardous substances can still be used. [76] OJ C 30, 4.2.1988, p. 1. [77] The
comparative results from the LCA for each indicator are presented in Annex 11. [78] The
materials assessed are: (i) the electrode materials: cadmium (anode of NiCd),
cobalt (cathode of Li-ion), lithium (electrodes of Li-ion), manganese (cathode
of Li-ion), nickel (cathode of NiCd and NiMH), rare-earth-metals (lanthanides)
(as representative material for the NiMH anode), carbon/graphite (anode of
Li-ion); (ii) and the electrolyte materials: alkali (in NiCd and NiMH) aprotic
salts and solvents. [79] BIO
Study (2011). The main raw materials used in the alternative batteries (to NiCd
batteries) are presented in Annex 21. [80] For
informational purpose, environmental impacts of the three battery types
(including the environmental impacts of their chargers) are provided in Annex 12
[81] Directive
2002/96/EC of the European Parliament and of the Council of 27 January 2003 on
waste electrical and electronic equipment (WEEE) (OJ L
37, 13.2.2003, p. 24). [82] Directive 2002/95/EC of the European Parliament and
of the Council of 27 January 2003 on the restriction of the use of certain
hazardous substances in electrical and electronic equipment
(OJ L 37, 13.2.2003, p. 19) [83] BIO
Study (2011) [84] SNAM
is the European leading recycler of rechargeable batteries. It employs around
100 people in its plant located in France. It process around 5 000 tonnes of
NiCd batteries per year, from which 2 000 tonnes of portable tools and
represent about 50% of the European recycling capacity. It also recycles NiMH
and Li-ion batteries. Data presented at the European Battery Collection Day,
4-5 October 2011, European Parliament, Brussels. [85] It
includes two battery packs and a charger [86] Through
leachate, Cadmium (and other metals) contained in batteries are slowly released
in the environment over thousands of years. In a short-term perspective, e.g.
less than 100 years in the case of a landfill, the battery mostly behaves like
inert waste, meaning that metals contained in the cells remain ‘locked’ inside
their housing. However, from a long-term (LT) perspective, a fraction of metals
contained in the battery will eventually end-up in the environment [87] Please
note: “ST” stands for Short Term and signifies the duration of operation of a
landfill (usually less than 100 years) in the waste batteries are landfilled,
whereas “LT” stands for Long Term and 5%LT signifies the period over which 5%
of the overall emissions related to the landfilled battery waste take place
(this duration can be anything between the time of closure of a landfill to
1000’s of years). The
ST emissions only represent the emission occurring during the operation of the
landfill which are almost insignificant when compared with the LT emissions
(which assumes all the landfilled battery waste is emitted to environment),
however the probability of its happening is very low. Therefore a most
reasonable approach is “ST + 5% LT” which has been proposed in the study
conducted by ERM for DEFRA and has received wide acceptance (ERM study on
“Battery Waste Management Life Cycle Assessment”, October 2008, DEFRA). [88] This
value is calculated based on the data reported by USEtox™ database for cadmium
emissions to water (1 Kg of cadmium emissions to water leads 4.28E-04 cancer
and non cancer cases in humans). [89] To
allow for a meaningful comparison between the different environmental impacts,
each impact indicator was normalised to its ‘inhabitant equivalent’. The
normalisation process produced a value which is equal to the contribution of
that many average Europeans’ contribution to given impact indicator. The
aggregated environmental impact for PO1 was then calculated using the scaled
weighting factors. [90] EU25+
Iceland +Norway+ Switzerland [91] Assuming
that the overall environmental impact of EU 27 is similar to the overall
environmental impact of “EU 25+ Iceland +Norway+ Switzerland” in 2000 and that
this overall environmental impact remains constant during the period 2000 till
2025 (which covers the duration of the scenario assessed in Policy Option1). [92] WEEE collection statistics for Category 6 (Electrical & electronic tools) in 2008 were much lower, around
10%. [93] Floridienne
Chimie, a company based in Belgium is the world leader in Cadmium salts
production with a yearly turnover in excess of € 90 million. It employs around
170 people in its plant located in Belgium and processes 4,000 to 6,000 tonnes
of Cadmium per year, out of which 2,500 to 3,500 tonnes are used in NiCd
batteries produced in Asia specifically for CPTs and the rest is used in
industrial NiCd batteries, solar PV panels, electronic components, etc. [94] Arcadis
study (commissioned by industry) on "The ues of portable rechargeable
batteries in cordless power tools", 2010. [95] Adaptation
of production lines to new alternative technologies to replace the NiCd based
CPTs requires one time capital expenditure. The cost of adapting production
lines concern both the battery pack and CPT assembly lines. Capital expenditure for the battery pack assembly lines of CPT
manufacturers will be around €1.1 million spread over two years and mainly
concerns investment in higher-grade welding equipment and test equipments for
Li-ion batteries. Capital expenditure for the CPT assembly lines of the manufacturers
will be around €3.5 million. This expenditure will be spread over one to three
years and mainly concerns investment in redesign of the tools according to the
battery technology (Li-Ion); it includes the redesign of the interface of
existing battery tools and associated investment in new casings, testing, etc. [96] For
7 companies representing 70 % of the CPT market share in EU. [97] Based on the analysis concerning the overall one-time
technical costs Bio Intelligence made following observations: Average
technical cost per CPT manufacturer amounts to almost €5.7 million and the
median value to about € 1 million. High absolute
technical costs: two companies estimate the total technical costs at more than
16 and more than € 20 million or respectively 6% and 7.5% of their yearly CPT
sales turnover. High end of
the cost impact: a medium-size company (representing less than 0.5% of EU CPT
market by value) active only in the EU market and producing only NiCd based
CPTs estimates the total technical costs at more than 3 times the yearly
turnover. Low end of
the cost impact: a medium-sized company (representing less than 5% of the EU
CPT market by value) estimates the total technical costs at around 0.17% of its
turnover. [98] This
increase in cost takes in to account increase in battery cost to the CPT
manufacturer and increase in CPT manufacturing cost. [99] As
the charger and tool used for both NiCd and NiMH CPTs are the same, therefore
it is reasonable to estimate that the above increase in cost of NiMH CPT as compared
to a NiCd CPT is solely due to the higher cost of NiMH batteries as compared to
NiCd batteries. [100] A
Li-ion CPT when compared to a NiCd CPT, only the tool is same however different
types of chargers are used for Li-ion and NiCd battery packs. This is so due to
the presence of an additional electronic circuit in case of a charger for
Li-ion battery packs. [101] According
to Umicore, one of the main suppliers of raw materials to rechargeable battery
industry and a major recycler of waste Li-ion batteries in EU, their recycling
facilities are equipped to handle the resulting additional flow of waste Li-ion
batteries. Umicore also provided an estimate for the investment required to
develop waste Li-ion based battery-recycling facilities as €25 million for a 7,000
tonne/year waste Li-ion battery recycling capacity. [102] Floridienne
Chimie, Belgium [103] (1)
Andreas STIHL AG & Co. KG; (2) C. & E. FEIN GmbH; (3)
Flex-Elektrowerkzeuge GmbH; (4) Kress-elektrik GmbH & Co.KG; (5) SPARKY
Power Tools GmbH; (6) TTS Tooltechnic Systems AG & Co. KG ; (7) Rupes
S.p.A. [104] (1)
C. & E. FEIN GmbH; (2) SPARKY Power Tools GmbH; (3) Rupes S.p.A. [105] (1)
SNAM, (2) Accurec, (3) SAFT AB, (4) Redux GmbH, (5) Umicore, (6) Recupyl. [106] (1)
SNAM, (2) Accurec, (3) SAFT AB, [107] Through
leachate, Cadmium (and other metals) contained in batteries are slowly released
in the environment over thousands of years. In a short-term perspective, e.g.
less than 100 years in the case of a landfill, the battery mostly behaves like
inert waste, meaning that metals contained in the cells remain ‘locked’ inside
their housing. However, from a long-term (LT) perspective, a fraction of metals
contained in the battery will eventually end-up in the environment [108] Please
note: “ST” stands for Short Term and signifies the duration of operation of a
landfill (usually less than 100 years) in the waste batteries are landfilled,
whereas “LT” stands for Long Term and 5%LT signifies the period over which 5%
of the overall emissions related to the landfilled battery waste take place (this
duration can be anything between the time of closure of a landfill to 1000’s of
years).. The
ST emissions only represent the emission occurring during the operation of the
landfill which are almost insignificant when compared with the LT emissions (which
assumes all the landfilled battery waste is emitted to environment), however
the probability of its happening is very low. Therefore a most reasonable
approach is “ST + 5% LT” which has been proposed in the study conducted by ERM
for DEFRA and has received wide acceptance (ERM study on “Battery Waste
Management Life Cycle Assessment”, October 2008, DEFRA). [109] Wiaux, Jean-Pol. Brief Overview
of the Enviro- and Socio-Economic Analyses on the use of NiCd batteries in
Cordless Power Tools; personal e-mail communication on 8.12.2009 (see ESWI
study, 2010) [110] Based
on consultation with EPTA. [111] EPTA
suggests that it would cost more to re-design products in a short period of
time rather than over the natural business cycle. Similarly, it would cost more
to scrap or rework products that cannot be put on the market due to withdrawal
of exemption in 2013 instead of at a later stage through stock management. [112] EPTA
estimates that the reduction in cost to CPT manufacturers would be in the order
of 15% for each year of postponing the withdrawal of exemption after 2013
(assuming a product design life of 5-7 years). [113] It
should be noted that these R&D cost estimate are solely based on the data
reported by EPTA and in the absence of other sources of information to verify this
cost, the credibility of this cost estimate reported here can be questioned. According
to BIO study, part of these R&D costs can be attributed to the natural
evolution of the CPT battery market as per the BaU scenario, however, the
quantification of this share is not possible due to lack of information. [114] For
7 companies representing 70% of the CPT market share in EU. [115] As
the charger and tool used for both NiCd and NiMH CPTs are the same, therefore
it is reasonable to estimate that the above increase in cost of NiMH CPT as
compared to a NiCd CPT is solely due to the higher cost of NiMH batteries as
compared to NiCd batteries. [116] A
Li-ion CPT when compared to a NiCd CPT, only the tool is same however different
types of chargers are used for Li-ion and NiCd battery packs. This is so due to
the presence of an additional electronic circuit in case of a charger for
Li-ion battery packs. [117] According
to Umicore, one of the main suppliers of raw materials to rechargeable battery
industry and a major recycler of waste Li-ion batteries in EU, their recycling
facilities are equipped to handle the resulting additional flow of waste Li-ion
batteries. Umicore also provided an estimate for the investment required to
develop waste Li-ion based battery-recycling facilities as €25 million for a
7,000 tonne/year waste Li-ion battery recycling capacity. [118] Through
leachate, Cadmium (and other metals) contained in batteries are slowly released
in the environment over thousands of years. In a short-term perspective, e.g.
less than 100 years in the case of a landfill, the battery mostly behaves like
inert waste, meaning that metals contained in the cells remain ‘locked’ inside
their housing. However, from a long-term (LT) perspective, a fraction of metals
contained in the battery will eventually end-up in the environment [119] Please
note: “ST” stands for Short Term and signifies the duration of operation of a
landfill (usually less than 100 years) in the waste batteries are landfilled,
whereas “LT” stands for Long Term and 5%LT signifies the period over which 5%
of the overall emissions related to the landfilled battery waste take place
(this duration can be anything between the time of closure of a landfill to
1000’s of years). The
ST emissions only represent the emission occurring during the operation of the
landfill which are almost insignificant when compared with the LT emissions
(which assumes all the landfilled battery waste is emitted to environment),
however the probability of its happening is very low. Therefore a most reasonable
approach is “ST + 5% LT” which has been proposed in the study conducted by ERM
for DEFRA and has received wide acceptance (ERM study on “Battery Waste
Management Life Cycle Assessment”, October 2008, DEFRA). [120] Although the environmental impacts associated with
Cadmium emissions to water are already taken into account in the "aggregated
environmental impact", however, it is important to present this indicator
separately as it directly relates to one of the main operational objectives of
the policy intervention [121] Directive 2000/53/EC of the
European Parliament and of the Council of 18 September 2000 on end-of life
vehicles (OJ L 269, 21.10.2000, p. 34) [122] ESWI
Study, 2010 [123] “SO”
refers to Specific Objective [124] “OO”
refers to Operational Objective [125] http://europa.eu/legislation_summaries/environment/waste_management/l21202_en.htm COMMISSION STAFF WORKING DOCUMENT IMPACT ASSESSMENT Accompanying the document Proposal for a
DIRECTIVE OF THE EUROPEAN PARLIAMENT AND OF THE COUNCIL amending Directive 2006/66/EC on
batteries and accumulators and waste batteries and accumulators as regards the
placing on the market of portable batteries and accumulators containing cadmium
intended for use in cordless power tools Disclaimer This report commits only the Commission's
services involved in its preparation and does not prejudge the final form of
any decision to be taken by the Commission. ANNEX ............. Annex 1: Summary of Stakeholder
Consultation (March-May 2010)............................... 3 ............. Annex 2: Minutes of Stakeholder
Workshop (18 July 2011)............................................ 7 ............. Annex 3: Causal relations in
the supply, recycling and disposal chain of batteries used in CPT and of CPT 3 ............. Annex 4: Conclusions from a
technical assessment of commercially available technical substitutes for
cadmium batteries in cordless power tools..................................................................................... 3 ............. Annex 5: Evolution of the
overall CPT battery market (PRO and DIY) in EU over the period 2010-2025
(Option 1)................................................................................................................................... 3 ............. Annex 6: Evolution of waste CPT
battery collection (in tonnes) in EU, 2010-2025 in BaU scenario (Option 1) 3 ............. Annex 7: Evolution of the
overall CPT battery market (PRO and DIY) in EU over the period 2010-2025
(Option 2)................................................................................................................................... 3 ............. Annex 8: Evolution of waste CPT
battery collection (in tonnes) in EU, 2010-2025 in BaU scenario (Option 2) 3 ............. Annex 9: Evolution of the
overall CPT battery market (PRO and DIY) in EU over the period 2010-2025
(Option 3)................................................................................................................................... 3 ............. Annex 10: Evolution of waste
CPT battery collection (in tonnes) in EU, 2010-2025 in BaU scenario (Option 3)...................................................................................................................................... 3 ............. Annex 11: Life-cycle assessment
– Comparative Analysis................................................ 3 ............. Annex 12: List of environmental
indicators....................................................................... 3 ............. Annex 13: Environmental impacts
of battery packs (including chargers) based on LCA results 3 ............. Annex 14: Methodology used for
estimation of economic, social and environmental impacts.... 3
1.
Summary of Stakeholder Consultation (March-May
2010)
Summary
of the stakeholder consultation on the review of Article
4(3)(c) of Directive 2006/66/ec on (waste)
batteries and accumulators March
– May 2010 Available to public at: http://circa.europa.eu/Public/irc/env/exempt_cadmium_ban/library The European Commission held an on-line
public stakeholder consultation from 10 March 2010 until 10 May 2010 on the exemption from the cadmium ban for portable
batteries and accumulators intended for use in cordless power tools (CPTs) in
accordance with Article 4(3)(c) of the Batteries Directive 2006/66/EC[1]. The Directive prohibits the placing on
the market of batteries containing more than 0.002 % of cadmium by weight. The
Commission received 14 contributions in response to the consultation (including
from national authorities, industry and battery associations). The consultation was based on a synthesis
study published earlier[2]. The available data indicated that extending the ban to cover
cadmium-containing batteries and accumulators (NiCd[3]
technologies) in CPTs was possible and would not entail substantial technical
problems and inacceptable economic or social impacts, as alternatives already
exist (such as Li-ion[4] and NiMH[5] technologies). Stakeholders were consulted on the
following topics:[6] –
Impacts of a future cadmium ban for portable
batteries and accumulators intended for use in CPTs: –
environmental –
social –
economic –
Time needed to introduce such a cadmium ban in
EU legislation –
Consequences of such a cadmium ban, based on
available technical and scientific evidence: –
environmental –
social –
economic While some stakeholders commented on each
specific option of the consultation document, several restricted themselves to
the issues directly affecting their respective areas of activities. Respondents’
profile The
stakeholders responding to the consultation can be grouped into four
categories: producers, producer responsibility organisations and industrial
associations (8 respondents); recyclers (2
respondents); raw material suppliers (2 respondents); and Member States (2
respondents). Highlights from
the contributions of the largest stakeholder groups are given below. Contributions
of producers, producer responsibility organisations and industrial associations
–
Among the industrial actors there was general
agreement on the technical feasibility of replacing NiCd batteries with
existing cadmium-free technologies (e.g. Li-ion or NiMH batteries). These
actors confirmed that the use of NiCd batteries was decreasing while sales of
Li-ion batteries were on the increase, with NiMH
technology a less popular option for CPTs. –
Some respondents highlighted that it could be
disadvantageous in the short term to introduce a cadmium ban for CPTs, given
the price, safety issues and life-time of the substitutes as well the number of
waste batteries that would result. –
Other industrial actors mentioned the higher
cost of Li-ion technology compared to NiCd technology as an important element. –
Many industrial actors opposed withdrawal of the
exemption and underlined that the data available on economic, environmental and
social impacts do not justify withdrawal. This stakeholder group highlighted
the importance of compliance with waste battery collection and recycling
requirements within the EU. –
One industry actor favoured
withdrawal of the exemption for NiCd batteries in CPTs since mature and viable
battery alternatives already exist (e.g. Nickel-Zinc batteries). This
stakeholder argued that cadmium-containing batteries could be replaced without
significantly affecting the performance and economics of power tools and other
portable devices. –
The majority of respondents confirmed the need for a comparative life-cycle assessment of
the main battery alternatives in order to provide sound scientific and
technical information on the costs and benefits of the use of cadmium and its
alternatives in portable batteries and accumulators intended for use in CPTs. –
There was some support among the industry
representatives for the introduction of a cadmium ban for portable batteries
used in CPTs after 2020 so as to allow any performance, economic or
environmental issues to be resolved. Contributions
by Member States –
Some Member States clearly supported the withdrawal of the exemption for the use of NiCd batteries in CPTs since
they viewed the economic costs as minimal and the environmental and health
benefits as substantial in the long term. –
Some Member States argued that withdrawal of the exemption is technically possible today, since
some NiCd batteries have already been replaced by existing Li-ion and NiMH
battery technologies, with reservations for applications where temperatures are
below 0 °C. –
Member States generally seemed to favour a cadmium ban for CPTs since the economic and social impacts are
not expected to be disproportionate. Furthermore, Europe currently has no
producers of NiCd batteries intended for use in CPTs. –
Member States supported the shift from cadmium
to Li-ion batteries. Suppliers of
raw materials for battery manufacturers –
Most raw material suppliers confirmed that
cadmium is a by-product of zinc production and is contained in all zinc raw
materials. However, they generally took the view that cadmium emissions from
ore processing would not change substantially if cadmium production were to be
stopped. –
Some raw material suppliers expressed concerns that
a ban on NiCd batteries for CPTs could mean that cadmium extraction, as a
by-product of zinc-mining, would no longer be economic. Some argued that the
disappearance of the cadmium market would cause a revenue loss (e.g. > € 1 m)
for a medium-sized zinc producer. –
Several stakeholders expressed preference for a
ban after 2020-2025, as the changeover from NiCd batteries to alternatives
would occur naturally and the market would have sufficient time to prepare. Contributions
by the waste management sector –
Several battery recyclers were generally
concerned by the still high level of toxicity of the materials used in
cadmium-free technologies (Li-ion, NiMH) for CPTs compared to
cadmium-containing batteries (NiCd). Some stakeholders underlined that a
cadmium ban would lead to even more toxic materials entering the market than is
currently the case with NiCd batteries. –
Some battery recyclers stressed the importance
of the average life-time of different battery technologies. As a consequence,
the switch from NiCd to Li-ion power tools would double the waste stream
generated by discarded power tool batteries. –
One stakeholder proposed introducing a payment
for battery collectors and/or consumers for returning their scrap power tool
battery. –
Some recyclers were generally concerned that,
while NiCd batteries could be recycled at maximum efficiency (> 80 %)
and the cadmium could be used directly in new applications, Li-ion batteries
could not be recycled fully (recycling efficiency < 50 %) and at a
reasonable cost. –
Some highlighted that a cadmium ban would affect
small-scale recyclers unable to invest in innovative recycling processes for
Li-ion batteries.
2.
Minutes of Stakeholder Workshop (18 July 2011)
Comparative Life-Cycle Assessment of nickel-Cadmium (NiCd) batteries
used in Cordless Power Tools (CPTs) vs. their alternatives nickel-metal hydride
(NiMH) and lithium-ion (Li-ion) batteries Minutes
of Stakeholder Workshop Brussels, 18 July 2011 Project: || Comparative Life-Cycle Assessment of nickel-Cadmium (NiCd) batteries used in Cordless Power Tools (CPTs) vs. their alternatives nickel-metal hydride (NiMH) and lithium-ion (Li-ion) batteries (Contract N° 07.0307/2010/573669/ETU/C2) Client: || European Commission, DG ENV Contact: Ruska Kelevska Contact BIO: || Shailendra Mudgal / Benoît Tinetti / Augustin Chanoine / Sandeep Pahal Tel.: +33 (0)1 53 90 11 80 Email: shailendra.mudgal@biois.com; benoit.tinetti@biois.com; augustin.chanoine@biois.com; sandeep.pahal@biois.com Venue: Avenue de Beaulieu 5, B-1160 Brussels,
Meeting Room BU-5, 00/C Agenda: 10:00 - 10:15 || Arrival, registration and coffee || ALL 10:15 - 10:30 || Welcome and introduction || DG ENV 10:30 - 11:45 || Comparative Life-Cycle Assessment of NiCd batteries used in CPTs vs. their alternatives NiMH and Li-ion batteries || BIO 11:45 - 12:15 || Discussion || ALL 12.15 - 13.30 || Lunch Break || ALL 13:30 - 14:00 || Presentation on findings of 2009 ESWI study || DG ENV 14:00 - 14:30 || Policy Analysis || BIO 14:30 - 15:00 || Coffee break || ALL 15.00 - 15.30 || Impacts of portable batteries in CPTs || EPTA 15.30 - 16.00 || End-of-life management of portable NiCd batteries || RECHARGE 16.00 - 16.30 || Life-Cycle Assessments involving Umicore's battery recycling process || UMICORE 16:30 - 17:15 || Discussion || ALL 17:15 - 17:30 || Conclusion and wrap up || DG ENV Participants: COUNTRY || NAME || FIRST NAME || COMPANY || EMAIL CH || BARBISCH || Benno || Robert Bosch Power Tools || Benno.Barbisch@ch.bosch.com BE || CRAEN || Hans || EPBA || epba@kelleneurope.com FR || DAVID || Jacques || SCRELEC || jacques.david@screlec.fr FR || de METZ || Patrick || SAFT Batteries || patrick.de_metz@saftbatteries.com DE || DAVIS || Tony || Vale Europe || Tony.Davis@Vale.com DK || HOFFENBERG || Jacques || Waste Denmark Belgium || jh@wastedenmark.dk DE || JUNG || Matthias || German Federal Environment Agency || matthias.jung@uba.de BE || LEEMANS || Marc || OVAM || marc.leemans@ovam.be FR || NOTTEZ || Eric || SNAM || eric.nottez@snam.com FR || OLIVARD || Sylvie || SNAM || sylvie.olivard@snam.com DE || WEYHE || Reyner || Accurec || accurec@t-online.de DE || SCHILLING || Stephanie || Oekopol GmbH || Schilling@oekopol.de BE || SMITS || Laurent || Floridienne Chimie || laurent.smits@floridiennechimie.com UK || SPENCER || Liz || EPTA || lizspencer@publicaffairs.ac UK || THIRLAWAY || Colin || StanleyBlack&Decker || Colin.Thirlaway@blackdecker.com UK || TOLLIT || Charles || European Power tools Association || charles.tollit@epta.eu BE || VAN REENEN || Gertjan || GP Batteries || gvanreenen@gpbatteries-europe.com BE || WIAUX || Jean-Pol || RECHARGE aisbl || jpwiaux@rechargebatteries.org BE || YAZICIOGLU || Begum || Umicore Battery Recycling || begum.yazicioglu@eu.umicore.com || PAHAL || Sandeep || bio Intelligence Service || sandeep.pahal@biois.com || MUDGAL || Shailendra || bio Intelligence Service || sm@biois.com || CHANOINE || Augustin || bio Intelligence Service || augustin.chanoine@biois.com || KELEVSKA || Ruska || DG ENV || Ruska.kelevska@ec.europa.eu || VAN DER VLIES || Rosalinde || DG ENV || Rosalinde.van-der-vlies@ec.europa.eu Total number of participants: 23 Presentations made by BIO, DG ENV, EPTA,
RECHARGE and Umicore are available on the DG ENV website: http://ec.europa.eu/environment/waste/batteries/index.htm ·
Introduction by DG ENV The workshop was chaired by Rosalinde van
der Vlies (RVDV) from DG ENV (Waste Management Unit), who welcomed the
participants and introduced the subject of the workshop, i.e. the review of the
current exemption to NiCd batteries for use in Cordless Power Tools (CPTs). The main objective of the workshop was to
present and discuss with stakeholders the initial findings of the study
conducted by BIO Intelligence Service on the Comparative Life-Cycle Assessment
of Nickel-Cadmium (NiCd) batteries used in Cordless Power Tools (CPTs) vs.
their alternatives Nickel-metal hydride (NiMH) and Lithium-ion (Li-ion)
batteries. The workshop also included presentations by DG ENV, European Power
Tool Association (EPTA), RECHARGE[7] and
Umicore. DG ENV made it clear to stakeholders that
their input is of great importance and value for this study. ·
Structure of BIO’s presentation The presentation of BIO’s study started
with an overview of the study’s objectives and methodology, followed by the
main data sources and assumptions behind the Life Cycle Assessment (LCA) of the
the three battery types. A comparative analysis of the LCA results was then
presented. The preliminary results of the policy analysis were presented
separately in detail for each key policy action area (baseline scenario (no
withdrawal of the exemption); immediate withdrawal of the exemption
(2012/2013); and delayed withdrawal of the exemption (2016)). BIO’s presentation
on LCA and policy analysis was followed by a discussion session with
stakeholders. ·
LCA Presentation Augustin Chanoine (AC), BIO, presented the methodology used for the LCA. Patrick de Metz
(PdM), SAFT Batteries, questioned the choice of LiFePO4 chemistry out of
the other Li-ion battery chemistries for the LCA. AC replied that this
was due to the higher market share of LiFePO4 chemistry in the CPT
market as compared to other Li-ion battery chemistries. Jacques Hoffenberg
(JH), Waste Denmark Belgium, questioned the choice of Power Drill as the
CPT for the LCA. AC commented that a similar Power Drill is available
for all the three chemistry types and also was the CPT used in the PE study. Charles
Tollit (CT), EPTA, confirmed that this product represents the largest share
of CPTs in EU. AC then
presented the various primary data sources and the key assumptions made for
conducting the LCA. AC further presented the preliminary LCA results for each
of the three battery types (NiCd, NiMH and Li-ion) followed by a comparative
analysis of these preliminary results. JH asked if alternative function
units than 1 kWh were considered. AC informed that “Ah” was considered
as a potential functional unit however, kWh is more appropriate candidate for
functional unit since the primary function of the battery is to deliver
electrical energy. AC further commented that different lifespan for each
of the three batteries is assessed in the sensitivity analysis. Eric Nottez (EN), SNAM, asked if the benefit of recycling materials as compared to
virgin raw materials was taken into account in LCA. AC confirmed that it
was taken into account. JH enquired
about the source of primary data for LCA. AC responded that primary LCA
data was gathered from RECHARGE and EPTA. JH asked if the lifespan of
batteries for Do It Yourself (DIY) users was taken into account and if the
charger used for both NiCd and NiMH batteries based CPTs was same. AC
answered that only the lifespan of batteries in case of Professional (PRO)
users was used for the LCA. JH further enquired if same charger was used
for both NiCd and NiMH batteries based CPTs. AC confirmed that this was
the case. Stephanie Schilling (SS), Oekopol GmbH, asked if the hoarding effect is observed in case of
PRO users. AC answered that it is mostly true for DIY users. EN
further added that no reliable statistics on the hoarding effect exist at the
EU level. RVDV asked if there the hoarding effect is influenced by the
chemistry of the batteries. EN answered that it is the same for all
three battery chemistries considered here. PdM
questioned the choice of collection rate value of 25%. He suggested that it is
better to take into account the actual situation of waste battery collection
which varies from 5% to 50% across Member States. AC answered that the
chosen value for the collection rate is as per collection rate targets already
specified in the Battery Directive (2006/66/EC). RVDV further clarified
that the objective of this study is to assess the withdrawal of current
exemption to to NiCd batteries use in CPTs and review of collection targets is
beyond its scope. PdM enquired
about the lifespan of the Li-ion batteries. Colin Thirlaway (CTh),
Stanley Black & Decker, clarified that it is assumed for the Li-ion
batteries that they last as long as the tool. EN remarked
that nowadays the recycling efficiency of Cadmium in the waste NiCd batteries
is more than 99% instead of 90% (as reported in the presentation). AC
requested for the updated numbers on recycling efficiency from the stakeholders
and proposed to revise these numbers in the report. PdM pointed
out the value of 24-35% recycling efficiency for waste Li-ion batteries
reported in the presentation does not correspond to the recycling target for
these batteries set in the Battery Directive. AC agreed to revise these
numbers. JH commented
that Cadmium is produced as a by-product of Zinc refining and therefore
questioned its consideration as being scarce. PdM agreed with JH
and added that Cadmium is available in surplus in the world and hence cannot
result in high abiotic resource depletion. AC agreed to consider this
aspect in the LCA model. PdM asked
for a description of the term Long Term Ecotoxicity indicator. AC
replied it concerns the amount of metals released in environment over long term. PdM commented
that in case the exemption is withdrawn then the unused Cadmium recovered as a
by-product of Zinc smelting will have to be landfilled resulting in similar
impacts as the landfilling of waste NiCd Batteries. Jean-Pol Wiaux (JPW), RECHARGE, asked if different collection rates for the three
battery types were accounted in the LCA. PdM supported JPW question
adding that due to large environmental issues, waste NiCd batteries go to
recycling plants more often than the other two battery types and hence
different collection rates for the three battery types should be used. AC
replied that this was not the case as same collection rates were considered for
the three battery types. JH asked why
different inputs were used for NiCd and NiMH chargers. He also asked if the
impacts of only batteries (without chargers) could be considered. AC
answered that the difference in inputs is due to the influence of scaling to
100%. AC further clarified that only batteries can be considered only if
all three battery types can use a same charger, which is not the case and hence
the impacts of charger have to be incorporated as well. JPW added that
Li-ion battery chargers require an additional electronic circuit for battery
management as compared to the chargers for other two battery types. PdM
suggested revisiting the calculation for the higher energy capacity of the
Li-ion battery. JPW enquired
about the types of resources included in the abiotic resource depletion
indicator. AC replied that it includes non-renewable resources (coal,
etc.) consumed over the whole life cycle of the battery-charger system. EC
remarked that the emission data from recycling plants is monitored 24 hrs a day
and 7 days a week. JH asked if
the battery manufacturers are covered by Industrial Emissions Directive (IED). CTh
commented that the waste battery recyclers are covered by the IED, however as
the battery manufacturers are based outside EU (in Asia), they most likely may
not be covered by it. Tony Davis (TD), Vale, confirmed that the raw materials
manufactured in EU used for the battery production in Asia are covered by IED. ·
Presentation on findings of 2009 ESWI study Ruska Kelevska (RK), DG ENV, presented the main outcomes of the ESWI study. TD
highlighted that the analysis of impacts on EU raw materials suppliers industry
(due to the withdrawal of current exemption to NiCd batteries use in CPTs) is
not correct as it underestimates the resulting economic and social impacts on
them. TD’s view was supported by Laurent Smits (LS), Floridienne
Chimie. JPW remarked
that the analysis performed in the ESWI study has already been subject to
criticism by industry and hence these results do not have any significance. RK
agreed with JPW and further clarified that the objective of presenting
the ESWI study was to support the context of current study. ·
Policy analysis presentation Sandeep Pahal (SP), BIO, presented the preliminary outcomes of the policy
analysis carried out in current study. JH enquired about the market
share of overall CPT market in EU represented by DIY and PRO users. CT
responded that in terms of market value, PRO users represented 65% and DIY 35%
of the market in 2008. JPW suggested using the term “recycling treatment
fees” instead of “cost/benefits of recycling” for assessing the economic
impacts on waste CPT battery recyclers. SP agreed to it. EN
commented that the recycling gate fees reported for the waste NiMH and Li-ion
batteries was not correct. SP requested for correct values of recycling
gate fees for these batteries and assured to incorporate them in the report. ·
EPTA presentation CT, presented
statistics on past trends and future forecast of the EU portable power tool
market. CT also shared EPTA’s opinion on economic impacts on consumer
resulting from the withdrawal of current exemption to NiCd batteries use in
CPTs. CT concluded with EPTA’s position on the issue of NiCd battery use
in CPTs and recommended that the best environmental solution remains increased
focus on collection and recycling across all Member States in EU. ·
RECHARGE presentation JPW presented
the end-of-life waste management practices for portable NiCd batteries in EU.
He provided the statistics on past trends in NiCd waste battery collection in
EU and across Member States. JPW talked about the high Cadmium recycling
efficiency of various recycling processes used by waste NiCd battery recyclers
in EU. JPW also commented on the overall cadmium emissions associated
NiCd batteries in EU and stresses that NiCd batteries represent a minor
fraction of all sources of exposure of humans to cadmium via the environment. Shailendra
Mudgal (SM), BIO, asked what share of the overall waste batteries recycled
by SNAM and Accurec is represented by waste NiCd batteries arising from CPTs. EN
answered that approximately 85% of the waste batteries recycled by SNAM are of
NiCd chemistry and almost half of them waste NiCd CPT batteries whereas the
other half are waste industrial NiCd batteries. EN further commented
that SNAM’s exposure to the withdrawal of current exemption to NiCd batteries
use in CPTs is around 65% of their annual turnover. Reyner Weyhe (RW),
Accurec, added that for Accurec almost 80% of the waste batteries recycled by
them arise from NiCd batteries used in CPTs. ·
Umicore presentation Begum Yazicioglu (BY), Umicore battery recycling, presented the results of Life Cycle
Assessment of Umicore’s recycling processes and stressed on recycling being the
most environmental friendly way of production of new battery materials and
batteries. ·
Concluding remarks and next steps Stakeholders showed a genuine interest in
the study and results. Their comments will be very useful for the finalisation
of the study. In addition to verbal comments made during the workshop,
stakeholders were invited to submit written comments to BIO by 5th August
2011. The report will be finalised by beginning
of October 2011, taking into account the comments received from stakeholders.
This report will be used as a basis by the Commission for its review of current
exemption to NiCd batteries use in CPTs which is planned to be completed by the
end of 2011.
3.
Causal relations in the supply, recycling and
disposal chain of batteries used in CPT and of CPT
Figure 5
illustrates the causal relations in the supply, recycling and disposal chain of
all batteries used in CPT and of CPT themselves. The dotted lines shall
illustrate that relevant shares of waste batteries and waste CPTs are directly
disposed instead of being collected and recycled.[8] Figure 4: Causal relations in the supply, recycling and disposal
chain of batteries used in CPT and of CPT Along the chain
of raw material supply, manufacturing, collection, recycling and disposal all
relevant actors and all relevant impacts can be systematically identified.
Battery manufacturers are manufacturers of NiCd, NiMH, Li-ion batteries and
manufacturers of all possible technical substitutes. In addition to the actors illustrated in
Figure 4 the environment and the society as a whole and public authorities have
to be considered. The state of the environment may change due to altered
releases of pollutants to air, water and soil. Also, altered loss of scarce
resources and the society may be concerned due to impacts on life quality and
external costs. Public authorities may be concerned due to different
administrative burden.
4.
Conclusions from a technical assessment of
commercially available technical substitutes for cadmium batteries in cordless
powertools
Criterion || Technology || Advantages || Disadvantages || Ranking (1 to 5) || Conclusion and justification (1) Power density and energy density || NiCd || High lifetime energy density || - || 4 || 3 technologies are more or less equal NiMH || High per cycle energy density || Low lifetime energy density || 4 Li-ion || High per cycle energy density || Low volumetric lifetime energy density || 4 (2) Temperature range || NiCd || Can be operated below 0 °C || Reduced performance below 0 °C || 4 || Limits below °C for all, more so for NiMH and Li-ion NiMH || - || Much reduced performance below 0 °C || 3 Li-ion || - || Much reduced performance below 0 °C || 3 (3) Charging cycles and lifetime || NiCd || Life time 7 years || - || 5 || NiCd seem to have the longest lifetime, NiMH the shortest, the lifetime of Li-ion needs to be confirmed, but seems to be between NiMH and NiCd NiMH || - || Life time approx. 4 years || 3 Li-ion || Life time maybe 7 years || Life time maybe 4 years || 4 (4) Overcharge and over-discharge || NiCd || Equipment for avoiding overcharge/overdischarge included || May be destroyed by overcharge or overdischarge || 4 || No differentiation because charging equipment ensures safe operation NiMH || Equipment for avoiding overcharge/overdischarge included || May be destroyed by overcharge or overdischarge || 4 Li-ion || Equipment for avoiding overcharge/overdischarge included || May be destroyed by overcharge or overdischarge || 4 (5) Energy efficiency of discharge/charge || NiCd || - || 67 to 91 % effieciency || 3 || Li-ion is most efficient with respect to energy utilisation NiMH || - || 91 to 95 % effieciency || 4 Li-ion || Almost 100 % efficiency || - || 5 (6) Fast charge || NiCd || Fast charge possible || Better performance when charged at lower rate || 4 || All 3 more or less equal NiMH || Fast charge possible || Better performance when charged at lower rate || 4 Li-ion || Fast charge possible || Better performance when charged at lower rate || 4 (7) Low self discharge || NiCd || - || 15 to 20% self discharge/month || 3 || Li-ion can keep the stored energy over the longest time and needs to be recharged less frequently during “shelf live” NiMH || - || 15 to 20% self discharge/month || 3 Li-ion || <5% self discharge/month || Loses energy storage capacity when stored fully charged || 4 (8) Reliability || NiCd || Very reliable || - || 5 || Only small differentiation because charging equipment ensures safe operation NiMH || Reliable || - || 4 Li-ion || Reliable || - || 4 (9) Maturity and development potential || NiCd || Highest degree of maturity || (Nearly) no further development potential || 5 || Longer experience for NiCd is outweighed by future potential of Li technologies NiMH || - || - || 4 Li-ion || Highest development potential || Maturity may be further improved || 5 Average of ranking points || NiCd || || || 4.1 || NiMH || || || 3.7 (Source: EWSI study, 2010) Result
of an EPTA technical assessment of NiCd, NiMH and Li-ion batteries intended for
the use in cordless power tools [source: ESWI study, EPTA 2009a]
5.
Evolution of the overall CPT battery market (PRO
and DIY) in EU over the period 2010-2025 (Option 1)
The evolution of the overall CPT battery
market (PRO and DIY) in the BaU scenario over the period 2010-2025 is presented
in Figure 6 to Figure 8 below. Figure 6 shows that the
overall CPT market grows from around 35.4 million batteries sold in 2010 to 103
million batteries (battery packs units) sold in 2025. Figure 7 shows that the
PRO CPT market would grow from around 13.2 million batteries sold in 2010 to
38.7 million batteries in 2025. Figure 8 shows that the DIY CPT market would
grow from around 22 million batteries sold in 2010 to 64 million in 2025. Figure 6: Evolution of overall CPT battery market (number of battery pack
units) in EU until 2025 in BaU scenario based on annual sales (Option 1) Figure 7: Evolution of PRO CPT battery market (number of battery pack
units) in EU until 2025 in BaU scenario (Option 1) Figure 8: Evolution of DIY CPT battery market (number of battery pack
units) in EU until 2025 in BaU scenario (Option 1) Policy Option 1: EU market by number of units (batteries for
CPTs) Battery type || 2008 || 2009 || 2010 || 2013 || 2016 Million units || % || Million units || % || Million units || % || Million units || % || Million units || % NiCd || 15.27 || 49% || 14.41 || 43% || 13.60 || 38% || 11.44 || 27% || 9.62 || 18% NiMH || 3.35 || 11% || 4.11 || 12% || 4.70 || 13% || 6.63 || 15% || 8.83 || 17% Li-ion || 12.48 || 40% || 14.67 || 44% || 17.13 || 48% || 25.03 || 58% || 33.98 || 65% Total || 31.09 || 100% || 33.19 || 100% || 35.43 || 100% || 43.10 || 100% || 52.43 || 100% EU market by value of the sold CPT Battery type || 2008 || 2009 || 2010 || 2013 || 2016 Million euros || % || Million euros || % || Million euros || % || Million euros || % || Million euros || % NiCd || 464.07 || 44% || 438.02 || 39% || 413.44 || 34% || 347.66 || 23% || 292.35 || 17% NiMH || 111.96 || 11% || 137.27 || 12% || 157.18 || 13% || 221.71 || 15% || 283.27 || 16% Li-ion || 474.00 || 45% || 557.53 || 49% || 650.77 || 53% || 951.08 || 63% || 1174.84 || 67% Total || 1050.03 || 100% || 1132.83 || 100% || 1221.38 || 100% || 1520.44 || 100% || 1750.45 || 100%
6.
Evolution of waste CPT battery collection (in
tonnes) in EU, 2010-2025 in BaU scenario (Option 1)
CPTs are classified under the Category 6 of
WEEE (Electrical & electronic tools)[9]. CPTs represented 38% of the overall power tool market in EU in
2007. As the batteries are discarded together with the CPT when it reaches its
end of life, it necessitates taking into consideration the WEEE statistics
(only official source of information on actual waste collection in EU) while
analysing the collection rate of the waste CPT batteries. The WEEE statistics
for Category 6 in 2008 reported a collection rate of around 10%. It is
therefore deemed necessary to also consider a lower collection rate (than
expected under the Batteries Directive) to assess the potential impacts of various
policy options by taking into account the WEEE statistics reported for 2008.
Potentially, it would be a worst case scenario as the collection rate is lower
than what is required by the Batteries Directive. The average mass[10] of batteries used in CPTs placed
on the EU market, are as per following: –
The average mass of a NiCd cell used in CPTs is
51.4 g and the weight of a 18V power pack used in CPTs is 774 g –
The average mass of a NiMH cell used in CPTs is
58 g and the weight of a 18V power pack used in CPTs is 870 g –
The average mass of a Li-ion cell used in CPTs
is 38.3 g and the weight of a 19.8V power pack used in CPTs is 459.6 g Following two scenarios for CPT waste
battery collection are developed: ·
Waste CPT battery collection rate scenario 1 Collection rate as specified in the
Batteries Directive: 25% in September 2012 and 45% in September 2016[11]. Following collection rate
values are used to develop the scenarios: –
2010 till 2012: 25% –
2013 till 2016: linear increase from 25% to 45% –
2016 onwards: 45% ·
Waste CPT battery collection rate scenario 2 10% collection rate, as reported by the
WEEE statistic for Category 6 in 2008. In this scenario a constant collection
rate of 10% over the period 2010 till 2015 is assumed. The calculation of the collected quantities
of waste CPT batteries is performed as per the guidance provided in the Battery
Directive[12]
for both the scenarios described above. Figure 9 shows that the overall collected
quantities of waste CPT batteries increase from 5,370 tonnes in 2010 to 23,800
tonnes in 2025. The overall quantity of waste CPT batteries collected during
the period 2010-2025 would be 220,535 tonnes. Figure 9: Evolution of waste CPT battery collection (in tonnes) in EU,
2010-2025 in BaU scenario (Option 1)
7.
Evolution of the overall CPT battery market (PRO
and DIY) in EU over the period 2010-2025 (Option 2)
The assumptions concerning overall CPT
market forecast, replacement rate of NiCd batteries in CPTs by Li-ion and NiMH
batteries and number of batteries sold per CPT which are used for the
projections made here are same as the BaU scenario (Option 1). The evolution of the overall, PRO and DIY
CPT market in current scenario over the period 2010-2025 is presented in
figures below. Figure 10: Evolution of overall CPT battery market (number of battery pack
units) in EU until 2025 (Option 2) Figure 11: Evolution of PRO CPT battery market (number of battery
pack units) in EU until 2025 (Option 2) Figure 12: Evolution of DIY CPT battery market (number of battery
pack units) in EU until 2025 (Option 2) Policy Option 2: EU market by number of units (batteries for
CPTs) Battery type || 2008 || 2009 || 2010 || 2013 || 2016 Million units || % || Million units || % || Million units || % || Million units || % || Million units || % NiCd || 15.27 || 49% || 14.41 || 43% || 13.60 || 38% || 0.00 || 0% || 0.00 || 0% NiMH || 3.35 || 11% || 4.11 || 12% || 4.70 || 13% || 8.92 || 21% || 10.76 || 21% Li-ion || 12.48 || 40% || 14.67 || 44% || 17.13 || 48% || 34.18 || 79% || 41.67 || 79% Total || 31.09 || 100% || 33.19 || 100% || 35.43 || 100% || 43.10 || 100% || 52.43 || 100% EU market by value of the sold CPT Battery type || 2008 || 2009 || 2010 || 2013 || 2016 Million euros || % || Million euros || % || Million euros || % || Million euros || % || Million euros || % NiCd || 464.07 || 44% || 438.02 || 39% || 413.44 || 34% || 0.00 || 0% || 0.00 || 0% NiMH || 111.96 || 11% || 137.27 || 12% || 157.18 || 13% || 298.19 || 19% || 344.96 || 19% Li-ion || 474.00 || 45% || 557.53 || 49% || 650.77 || 53% || 1298.74 || 81% || 1440.87 || 81% Total || 1050.03 || 100% || 1132.83 || 100% || 1221.38 || 100% || 1596.93 || 100% || 1785.83 || 100%
8.
Evolution of waste CPT battery collection (in
tonnes) in EU, 2010-2025 in BaU scenario (Option 2)
The calculation methodology and the
assumptions behind the projections of waste CPT battery waste collected in EU
in this scenario over the period 2010-2025 are the same as the BaU scenario
(Option 1). Figure 13 shows that the overall collected
quantities of waste CPT batteries will increase from 5,370 tonnes in 2010 to
23,140 tonnes in 2025. The overall quantity of waste CPT batteries collected
during the period 2010-2025 would be 210,325 tonnes. Figure 13: Evolution of waste CPT battery collection (in tonnes) in EU,
2010-2025 (Option 2)
9.
Evolution of the overall CPT battery market (PRO
and DIY) in EU over the period 2010-2025 (Option 3)
The assumptions concerning overall CPT
market forecast, replacement rate of NiCd batteries in CPTs by Li-ion and NiMH
batteries and number of batteries sold per CPT which are used for the
projections made here are same as the BaU scenario (Option 1). The evolution of the overall, PRO and DIY
CPT market in current scenario over the period 2010-2025 is presented in
figures below. Figure 14: Evolution of overall CPT battery market (number of battery pack
units) in EU until 2025 (Option 3) Figure 15: Evolution of PRO CPT battery market (number of battery
pack units) in EU until 2025 (Option 3) Figure 16: Evolution of DIY CPT battery market (number of battery
pack units) in EU until 2025 (Option 3) Policy Option 3: EU market by number of units (batteries for
CPTs) Battery type || 2008 || 2009 || 2010 || 2013 || 2016 Million units || % || Million units || % || Million units || % || Million units || % || Million units || % NiCd || 15.27 || 49% || 14.41 || 43% || 13.60 || 38% || 11.44 || 27% || 0.00 || 0% NiMH || 3.35 || 11% || 4.11 || 12% || 4.70 || 13% || 6.63 || 15% || 10.76 || 21% Li-ion || 12.48 || 40% || 14.67 || 44% || 17.13 || 48% || 25.03 || 58% || 41.67 || 79% Total || 31.09 || 100% || 33.19 || 100% || 35.43 || 100% || 43.10 || 100% || 52.43 || 100% EU market by value of the sold CPT Battery type || 2008 || 2009 || 2010 || 2013 || 2016 Million euros || % || Million euros || % || Million euros || % || Million euros || % || Million euros || % NiCd || 464.07 || 44% || 438.02 || 39% || 413.44 || 34% || 347.66 || 23% || 0.00 || 0% NiMH || 111.96 || 11% || 137.27 || 12% || 157.18 || 13% || 221.71 || 15% || 344.96 || 19% Li-ion || 474.00 || 45% || 557.53 || 49% || 650.77 || 53% || 951.08 || 63% || 1440.87 || 81% Total || 1050.03 || 100% || 1132.83 || 100% || 1221.38 || 100% || 1520.44 || 100% || 1785.83 || 100%
10.
Evolution of waste CPT battery collection (in
tonnes) in EU, 2010-2025 in BaU scenario (Option 3)
The calculation methodology and the
assumptions behind the projections of CPT battery waste collected in EU in this
scenario over the period 2010-2025 are the same as the BaU scenario (Option 1). Figure 17 shows that the overall collected
quantities of waste CPT batteries increase from 5,370 tonnes in 2010 to 23,140
tonnes in 2025. The overall quantity of waste CPT batteries collected during
the period 2010-2025 is 213,300 tonnes. Figure 17: Evolution of waste CPT battery collection (in tonnes) in EU,
2010-2025 (Option 3)
11.
Life-cycle assessment – Comparative Analysis
Comparison for indicators other than
toxicity Figure 18 presents the comparison for all considered indicators
except toxicity indicators, treated in a further section. In order to improve
the readability of the results, it shows the relative ranking of the batteries
for each indicator, the NiCd being the reference (100%). This normalisation
allows presenting all indicators on the same graph. However, this does not make
several indicators of the same graph comparable. Figure 18: Comparative results for each indicator (except toxicity indicators)
- Reference:NiCd
The following interpretations can be made: ·
Global Warming Potential and Cumulative Energy
Demand Even though on can see a higher impact of
NiMH compared to the two other batteries, this difference cannot be considered
as significant, considering the inherent uncertainty of the LCA model. Thus, it
should be considered that there is no significant difference between the three
batteries for these indicators. These impacts are mainly generated by the use
phase for the three battery types. Since the energy consumption is similar for
the three technologies, total impacts on Global Warming Potential and
Cumulative Energy Demand lay in the same range for the three battery types. ·
Resource Depletion –
Metal Depletion Potential The LiFePO4 battery shows a
higher impact than the two other batteries due to the inclusion of more
electronic components both in the pack and the charger, and consequently due to
a higher use of tin. The NiMH battery shows a higher impact on metal depletion
than the NiCd battery due to its higher nickel content. –
Abiotic Resource Depletion Potential The NiCd battery has a significantly higher
potential impact on this indicator than the two other battery types. This is
mainly because NiCd contains cadmium that contributes highly to abiotic
resource depletion. ·
Photochemical Oxidant Formation Potential NiMH battery shows a higher photochemical
oxidant formation potential than the two other battery types, due to a higher
contribution of NiMH cells to this impact (emissions of nitrogen oxides to air
related to the production of LaNi5) ·
Terrestrial Acidification Potential The NiMH battery shows a higher impact on
acidification due to a higher contribution of the cells to this impact. This
impact is mainly due to the emissions of SO2 to air related to the
production of nickel and LaNi5. NiMH cells have a higher nickel
content, hence the impact difference with NiCd. The LiFePO4 battery shows a
lower acidification potential than the other battery types. The main reason is
that the production of the LiFePO4 compound emits less acidifying
substances than the production of nickel. ·
Particulate Matter Formation Potential NiMH battery shows a higher impact for this
indicator due to a higher contribution of the cells to this impact. This is
mainly due to emissions of SO2 to air during the production of
nickel and LaNi5 (for cells). NiMH cells have a higher nickel
content, hence the impact difference with NiCd. ·
Freshwater Eutrophication Potential The LiFePO4 battery shows
slightly higher impact than the two other batteries due to a higher
contribution to cells and charger to this impact. The main reasons are the
higher copper content and the higher electronics content which both generate
emissions of phosphate (respectively during the production of copper and during
the production of silver for the charger’s inductor). Comparison for toxicity indicators Figure 19 and Figure 20 present the
comparison on toxicity impacts. Results are presented in absolute figures. For
a better readability, each environmental impact is split between the
contributions of short-term emissions (in brown), 5% long-term emissions (in
red) and the rest of long-term emissions (95%, in pink). Figure 19: Comparative results for human toxicity Figure 20: Comparative results for freshwater ecotoxicity The following interpretations can be made: ·
Long-term (LT) perspective –
Human Toxicity Potential with long-term
emissions The NiCd battery has a higher potential
impact than the two other battery types, mainly because of the presence of
cadmium in the cells and consequently its potential emissions to water for the
fraction of batteries that go into landfills. –
Freshwater Aquatic Ecotoxicity Potential with LT
emissions The differences between batteries are low.
The NiMH battery shows a slightly higher potential impact than the two other
battery types, mainly because of the potential emissions of nickel to water in
landfills. ·
Intermediate situation –
Human Toxicity Potential with 5% LT emissions The NiCd battery has a higher potential impact
than the two other battery types, mainly because of the presence of cadmium in
the cells and consequently potential emissions to water of 5% of the metallic
content of landfilled batteries. –
Freshwater Aquatic Ecotoxicity Potential with 5%
long-term emissions Impacts of the three batteries do not
significantly differ for this indicator (differences are lower than with 100%
of LT emissions). ·
Short-term (ST) perspective –
Human Toxicity Potential - without LT emissions For this indicator, LiFePO4 has
a higher potential impact than the two other battery types. The difference is
due to a higher impact of: –
the cells (mainly due to the emissions of lead,
arsenic, cadmium and zinc to air during the production of copper) –
the charger (mainly due to the emissions of
lead, arsenic, cadmium and zinc to air during the production of electronic
components). The charger of LiFePO4 batteries contains more electronic
components than the charger of other battery technologies. –
Freshwater Aquatic Ecotoxicity Potential -
without LT emissions For this indicator, LiFePO4 has
a higher potential impact than the two other battery types. The difference is
due to the higher impact of: –
the pack (emission of zinc to water and copper
to air related to the manufacturing of electronic components) –
the charger (mainly due to the emission of zinc
to water related to the production of electronic components).
12.
List of environmental indicators
Table
10: List of environmental impact indicators used for the policy analysis Impact category || Indicator || Unit Environmental || Global Warming Potential (GWP) || kg CO2 eq[13] Photochemical Oxidant Formation Potential (POFP) || kg NMVOC Terrestrial Acidification Potential (TAP) || kg SO2 eq. Abiotic Resource Depletion Potential (ARDP) || kg Sb eq. Human Toxicity Potential (HTP) || Cases[14] Freshwater Aquatic Ecotoxicity Potential (FAEP) || PAF[15]. m3.day Particulate Matter Formation Potential (PMFP) || kg PM10 eq Freshwater Eutrophication Potential (FEP) || kg P eq To allow for a coherent analysis based on
the available data, these indicators were scaled to represent their
contribution to the sum of the eight impacts indicators under consideration
(see Table 10).[16]
The results of this scaling are presented in Table 11. Table 11: Scaled weighting factors[17] Environmental impact indicator || % GWP || 33.2% POFP || 7.2% TAP || 5.8% ARDP || 10.1% HTP || 14.4% FAEP || 15.9% PMFP || 10.1% FEP || 3.4%
13.
Environmental impacts of battery packs
(including chargers) based on LCA results
Table 12 to Table 14 present the
environmental impacts for 2 battery packs (including the impact of their
chargers) for each of the three battery types based on the outcomes of LCA for
different waste battery collection rates (25%, 30%, 35%, 40%, 45% and 10%) in
EU. Table 12: Environmental impacts for two packs of NiCd batteries for
different collection rate values Environmental indicator || Units || Collection rate (in %) 25% || 30% || 35% || 40% || 45% || 10% Global Warming Potential || kg CO2 eq || 70.60 || 70.49 || 70.38 || 70.27 || 70.16 || 70.90 Photochemical Oxidant Formation Potential || kg NMVOC || 0.219 || 0.217 || 0.215 || 0.212 || 0.210 || 0.226 Terrestrial acidification Potential || kg SO2 eq || 0.632 || 0.611 || 0.591 || 0.570 || 0.549 || 0.695 Metal depletion || kg Fe eq || 18.82 || 18.47 || 18.13 || 17.78 || 17.43 || 19.86 Abiotic Resource Depletion Potential || kg Sb eq || 3.29 || 3.13 || 2.97 || 2.81 || 2.64 || 3.78 Cumulative Energy Demand || MJ || 1498 || 1498 || 1498 || 1498 || 1498 || 1498 Human Toxicity Potential without LT || Cases || 6.79E-06 || 6.70E-06 || 6.61E-06 || 6.52E-06 || 6.43E-06 || 7.07E-06 Freshwater Aquatic Ecotoxicity Potential without LT || PAF.m3.day || 23.60 || 23.14 || 22.68 || 22.21 || 21.75 || 25.00 Human Toxicity Potential, 5% LT || Cases || 1.60E-05 || 1.53E-05 || 1.47E-05 || 1.41E-05 || 1.35E-05 || 1.79E-05 Freshwater Aquatic Ecotoxicity Potential, 5% LT || PAF.m3.day || 256 || 243 || 230 || 217 || 204 || 295 Human Toxicity Potential with LT || Cases || 1.90E-04 || 1.80E-04 || 1.69E-04 || 1.58E-04 || 1.47E-04 || 2.23E-04 Freshwater Aquatic Ecotoxicity Potential with LT || PAF.m3.day || 4 666 || 4 414 || 4 162 || 3 909 || 3 657 || 5 423 Cadmium emissions to water, ST + LT || kg || 0.309 || 0.289 || 0.268 || 0.248 || 0.227 || 0.37 Cadmium emissions to water, ST + 5%LT || kg || 0.016 || 0.014 || 0.013 || 0.012 || 0.011 || 0.02 Particulate Matter Formation Potential || kg PM10 eq || 0.172 || 0.168 || 0.163 || 0.158 || 0.153 || 0.19 Freshwater Eutrophication Potential || kg P eq || 0.194 || 0.191 || 0.189 || 0.186 || 0.183 || 0.20 Table
13: Environmental impacts for two packs of NiMH batteries for different
collection rate values Environmental indicator || Units || Collection rate (in %) 25% || 30% || 35% || 40% || 45% || 10% Global Warming Potential || kg CO2 eq || 82.92 || 82.59 || 82.25 || 81.92 || 81.58 || 83.90 Photochemical Oxidant Formation Potential || kg NMVOC || 0.265 || 0.258 || 0.252 || 0.245 || 0.239 || 0.285 Terrestrial acidification Potential || kg SO2 eq || 0.772 || 0.718 || 0.664 || 0.610 || 0.557 || 0.933 Metal depletion || kg Fe eq || 24.63 || 23.92 || 23.21 || 22.50 || 21.79 || 26.77 Abiotic Resource Depletion Potential || kg Sb eq || 0.56 || 0.56 || 0.56 || 0.56 || 0.56 || 0.57 Cumulative Energy Demand || MJ || 1535 || 1529 || 1524 || 1518 || 1512 || 1552 Human Toxicity Potential without LT[18] || Cases || 7.82E-06 || 7.67E-06 || 7.51E-06 || 7.35E-06 || 7.19E-06 || 8.30E-06 Freshwater Aquatic Ecotoxicity Potential without LT || PAF.m3.day || 26.18 || 25.23 || 24.29 || 23.34 || 22.40 || 29.01 Human Toxicity Potential, 5% LT || Cases || 1.08E-05 || 1.05E-05 || 1.01E-05 || 9.72E-06 || 9.35E-06 || 1.19E-05 Freshwater Aquatic Ecotoxicity Potential, 5% LT || PAF.m3.day || 306 || 288 || 270 || 252 || 234 || 359 Human Toxicity Potential with LT || Cases || 6.77E-05 || 6.33E-05 || 5.90E-05 || 5.47E-05 || 5.04E-05 || 8.06E-05 Freshwater Aquatic Ecotoxicity Potential with LT || PAF.m3.day || 5 618 || 5 280 || 4 941 || 4 602 || 4 264 || 6 634 Cadmium emissions to water, ST + LT || kg || 0 || 0 || 0 || 0 || 0 || 0 Cadmium emissions to water, ST + 5%LT || kg || 0 || 0 || 0 || 0 || 0 || 0 Particulate Matter Formation Potential || kg PM10 eq || 0.218 || 0.206 || 0.193 || 0.181 || 0.169 || 0.255 Freshwater Eutrophication Potential || kg P eq || 0.184 || 0.179 || 0.174 || 0.168 || 0.163 || 0.200 Table
14: Environmental impacts for two packs of
Li-ion (LiFePO4) batteries for different collection rate values Environmental indicator || Units || Collection rate (in %) 25% || 30% || 35% || 40% || 45% || 10% Global Warming Potential || kg CO2 eq || 76.52 || 76.57 || 76.62 || 76.67 || 76.73 || 76.43 Photochemical Oxidant Formation Potential || kg NMVOC || 0.218 || 0.219 || 0.219 || 0.219 || 0.219 || 0.218 Terrestrial acidification Potential || kg SO2 eq || 0.361 || 0.361 || 0.361 || 0.360 || 0.360 || 0.364 Metal depletion || kg Fe eq || 37.10 || 37.04 || 36.97 || 36.91 || 36.84 || 37.43 Abiotic Resource Depletion Potential || kg Sb eq || 0.60 || 0.60 || 0.60 || 0.60 || 0.60 || 0.60 Cumulative Energy Demand || MJ || 1596 || 1597 || 1597 || 1597 || 1598 || 1595 Human Toxicity Potential without LT || Cases || 1.13E-05 || 1.12E-05 || 1.11E-05 || 1.11E-05 || 1.10E-05 || 1.15E-05 Freshwater Aquatic Ecotoxicity Potential without LT || PAF.m3.day || 66.97 || 66.92 || 66.86 || 66.80 || 66.74 || 67.25 Human Toxicity Potential, 5% LT || Cases || 1.45E-05 || 1.45E-05 || 1.44E-05 || 1.43E-05 || 1.42E-05 || 1.48E-05 Freshwater Aquatic Ecotoxicity Potential, 5% LT || PAF.m3.day || 295 || 287 || 280 || 272 || 264 || 319 Human Toxicity Potential with LT || Cases || 7.68E-05 || 7.64E-05 || 7.60E-05 || 7.57E-05 || 7.53E-05 || 7.83E-05 Freshwater Aquatic Ecotoxicity Potential with LT || PAF.m3.day || 4 633 || 4 477 || 4 320 || 4 163 || 4 006 || 5 108 Cadmium emissions to water, ST + LT || kg || 0 || 0 || 0 || 0 || 0 || 0 Cadmium emissions to water, ST + 5%LT || kg || 0 || 0 || 0 || 0 || 0 || 0 Particulate Matter Formation Potential || kg PM10 eq || 0.117 || 0.117 || 0.117 || 0.117 || 0.117 || 0.118 Freshwater Eutrophication Potential || kg P eq || 0.262 || 0.261 || 0.261 || 0.260 || 0.260 || 0.264
14.
Methodology used for estimation of economic,
social and environmental impacts
Selection of impact categories and
indicators Table 15 presents a selection of indicators
that are used to guide the analysis of economic, social and environmental
impacts of the proposed policy options. These indicators are mostly measured
quantitatively and when data was not available (either through literature
review or stakeholder consultation), a qualitative
assessment was made. Table15: List of impact categories and the corresponding methods of
evaluation Impact category || Indicator || Unit (if applicable) || Method for evaluation Economic || Implementation cost (industry costs and MS administrative costs) || Euros || Expert consultation (Portable battery industry representatives and industry associations) and literature review Impact on consumers || Euros || Expert consultation and literature review Control and monitoring cost (MS) || Euros || Expert consultation (Portable battery industry representatives and industry associations) and literature review Waste management costs || Euros || Expert consultation and literature review Social || Employment generation || Semi-quantitative || Expert consultation and literature review Environmental || Cadmium introduction in the economy || Tonnes || Expert consultation and literature review Global Warming Potential (GWP) || kg CO2 eq[19] || Based on the results of LCA carried out in this study Cadmium emissions || Tonnes || Based on the results of LCA carried out in this study Cumulated Energy Demand (CED) || MJ || Based on the results of LCA carried out in this study Photochemical Oxidant Formation Potential (POFP) || kg NMVOC || Based on the results of LCA carried out in this study Terrestrial Acidification Potential (TAP) || kg SO2 eq. || Based on the results of LCA carried out in this study Metal Depletion (MD) || kg Fe eq. || Based on the results of LCA carried out in this study Abiotic Resource Depletion Potential (ARDP) || kg Sb eq. || Based on the results of LCA carried out in this study Human Toxicity Potential (HTP) || Cases[20] || Based on the results of LCA carried out in this study Freshwater Aquatic Ecotoxicity Potential (FAEP) || PAF[21]. m3.day || Based on the results of LCA carried out in this study Particulate Matter Formation Potential (PMFP) || kg PM10 eq || Based on the results of LCA carried out in this study Freshwater Eutrophication Potential (FEP) || kg P eq || Based on the results of LCA carried out in this study In addition to the impact categories and
indicators listed in the Table 15, depending on availability of information and
relevance, other criteria or impacts to examine include: –
Degree of uncertainty/risk –
Interaction with other Community interventions –
Efficiency & effectiveness (value for money) ·
Methodology to assess the environmental impacts The assessment of environmental impacts of
the batteries used in CPTs under the three policy options considered here only
include the impacts of the battery packs (for all the three battery types:
NiCd, NiMH and Li-ion). The environmental impacts associated with the chargers of
these battery packs are therefore excluded from the assessment carried out in this section[22]. This is mainly due to the
reason that the charger is not covered by the Batteries Directive but by WEEE
and RoHS Directives and the objective of current impact assessment is only to
review an exemption under the Batteries Directive. The most relevant environmental impact
indicators selection (Table 15) was done based on the LCA performed in "BIO" study. The environmental impacts reported as per
functional unit[23]
in the LCA were then characterised to impacts corresponding to 2 battery packs
units (for each of the three battery types: NiCd, NiMH and Li-ion) for
different waste battery collection rates (10%, 25%, 30%, 35%, 40% and 45%)[24] in EU. The overall environmental impacts in EU for
each of the three policy options was then calculated by summing up the
environmental impacts corresponding to sales of all the three battery types in
EU market over the period 2010-2025. This calculation was performed based on
the following data and assumptions: –
The market forecast provided in Annexes 5, 7 and
9 –
The environmental impacts corresponding to sales
of all the three battery types (2 battery packs) presented in Annex 9 of
"BIO" study –
Assuming all the environmental impacts associated
with the sales of batteries happen during the year of sales (even those
occurring during at the end-of-life of the battery) –
Using the collection rate values defined (10%,
25%, 30%, 35%, 40% and 45%) To allow for a meaningful comparison
between the different environmental impacts, each policy option’s value for
each impact indicator was normalised to its ‘inhabitant equivalent’. The values used for normalisation factors
are presented in Table 16. Table 16: Normalisation factors used to calculate ‘inhabitant-equivalent’[25] Environmental impact indicator || Normalisation factor (per inhabitant) GWP || 11 232 kg CO2 eq POFP || 57.0 kg NMVOC TAP || 53.7 kg SO2 eq ARDP || 36.4 kg Sb eq HTP || 0.000 85 Cancer and non-cancer cases FAEP || 23.9 PAF.m3.day PMFP || 17.5 kg PM10 eq FEP || 0.75 kg P eq The normalised
values for Metal Depletion (MD) and Cumulative Energy Demand (CED) were not
available from these sources and hence these environmental impact indicators
have not been considered in the normalisation step. Having normalised values for impact
indicators presented in Table 16, it is possible to apply an aggregation scheme
to calculate a value for total environmental impact for each policy option. The normalisation process produces a value which is equal to the
contribution of that many average Europeans’ contribution to given impact
indicator. Thus, saying “Policy Option X has a contribution of Yinhabitant-eq
to impact indicator Z” would mean that Policy Option X’s contribution to impact
indicator Z is equivalent to that of Y average European citizens. An
example of such results is presented in Table 17.
Table 17: Example of environmental impacts in
‘inhabitant-equivalent’ (Policy Option X) Environmental impact indicator || Inhabitant-Eq GWP || 210 986 POFP || 120 654 TAP || 249 064 ARDP || 788 517 HTP || 355 255 FAEP || 68 052 504 PMFP || 236 698 FEP || 9 638 276 The example shown inTable 17 could be thus
explained as follows: Policy Option X’s contribution to Freshwater Aquatic
Ecotoxicity Potential (FAEP) is equivalent to that of approximately 68 million
Europeans. The weighting factors for various
environmental impact categories used in study are summarised in Table 18. Table18: Average weighting factors[26] Environmental impact indicator || % GWP || 23.0% POFP || 5.0% TAP || 4.0% ARDP || 7.0% HTP || 10.0% FAEP || 11.0% PMFP || 7.0% FEP || 2.3% As the chosen environmental impact
indicators in this study do not include all impact indicators specified by
Lauran van Oers26, the values in Table 18 only represent 69.3% (=23 + 5 + 4 + 7 + 10
+ 11 + 7 + 2.3) of the total environmental impact as calculated in this
weighting scheme[27]. To allow for a coherent analysis based on the available data,
these factors were scaled[28] to represent their contribution to the sum of the eight impacts
indicators under consideration (see Table 18). The results of this scaling are
presented in Table 19. Table
19: Scaled weighting factors Environmental impact indicator || % GWP || 33.2% POFP || 7.2% TAP || 5.8% ARDP || 10.1% HTP || 14.4% FAEP || 15.9% PMFP || 10.1% FEP || 3.4% The aggregated environmental impact for
each policy option was then calculated, using the following formula: An example of the weighted results, using
the scaled weighting factors provided in Table 19, as well as the sum of the
results (i.e. the aggregated impact) are presented in Table 20. Table
20: Example of weighted impact values and
aggregate impact, using scaled weighting factors (Policy Option X) Environmental impact indicator || Inhabitant-Eq GWP || 58 986 POFP || 6 439 TAP || 11 993 ARDP || 70 061 HTP || 34 935 FAEP || 29 023 244 PMFP || 19 384 FEP || 223 396 Aggregate || 29 448 438 [1] OJ L 266, 26.9.2006, p. 1. Directive as last amended
by Directive 2008/103/EC (OJ L 327,
5.12.2008, p. 7-8). [2] See ESWI Final report at: http://ec.europa.eu/environment/consultations/pdf/batteries_study.pdf. [3] NiCd = nickel-cadmium. [4] Li-ion = lithium-ion. [5] NiMH = nickel-metal hydride. [6] A more detailed description of the subject of the
consultation can be found in the original stakeholder consultation document: http://circa.europa.eu/Public/irc/env/exempt_cadmium_ban/library. [7] The international association for the promotion and
management of portable rechargeable batteries through their life cycle.
www.rechargebatteries.org. [8] Source: ESWI study (2010) [9] The Category 6 of WEEE, named “Electrical & electronic tools”,
includes, but is not limited to “drills”, “saws”, “sewing
machines”, “equipment for turning, milling, sanding, grinding, sawing, cutting,
shearing, drilling, making holes, punching, folding, bending or similar
processing of wood, metal and other materials”, “tools for riveting, nailing or
screwing or removing rivets, nails, screws or similar uses”, “tools for
welding, soldering or similar use”, “equipment for spraying, spreading,
dispersing or other treatment of liquid or gaseous substances by other means”,
“tools for mowing or other gardening activities”. Note
that large-scale stationary industrial tools are specifically exempt under this
category. This category therefore includes a wider range of tools as CPTs. [10] Source :
the mass of individual cells is based upon the primary LCA data reported by
stakeholder [11] Though
increased collection rates have been reported by the industry, the policy
options considered in this analysis don’t use change in collection rates as a
mechanism and assumes that all battery types have same collection rates. This
of course will be an important aspect in the review of the Batteries Directive which
will be carried out after the second round of implementation reports from the
Member States in 2016. [12] The Batteries Directive defines collection rate for a
given Member State in a given calendar year, as the percentage obtained by
dividing the weight of waste portable batteries and accumulators collected in
accordance with Article 8(1) of this Directive or with Directive 2002/96/EC in
that calendar year by the average weight of portable batteries and accumulators
that producers either sell directly to end-users or deliver to third parties in
order to sell them to end-users in that Member State during that calendar year
and the preceding two calendar years. [13] Please
note: “eq” is used as an abbreviation for “equivalent” [14] Human
toxicity potential assesses the impact of toxic substances released in the
environment on the human health by providing an estimation of the increase in
morbidity in the total human population (cases). Both cancer and non-cancer
cases are taken into account. [15] Please
note: Potentially Affected Fraction (PAF) of species integrated over time and
volume, PAF m3.day, is the unit used to assesses the impact of toxic substances
released in the environment on the ecosystem [16] Source: “Environmental effects in eco-efficiency: how
to evaluate them?” Lauran van Oers; CML-IE, Leiden
University, June 2010 (www.eco-efficiency-conf.org/content/Lauran%20van%20Oers%20-%20Environmental%20effects%20in%20eco-efficiency.pdf). [17] The
factors were scaled by dividing by the sum of the weighting factors of the
eight impact categories under consideration (69.3%). [18] Please note: Human toxicity and Freshwater Ecotoxicity
are assessed both excluding and including long-term emissions: the so-called
“short-term perspective” means that only short-term emissions are considered
(long-term emissions are excluded), and the so-called “long-term perspective”
means that both Short-Term (ST) and Long-Term (LT) emissions are included. This
allows assessing impacts when all metals are leached (with LT) and when few
metals are leached (without LT). An intermediate situation has also been
considered, where 5% of the metals are eventually leached to the environment
(i.e. in the long-term). [19] Please
note: “eq” is used as an abbreviation for “equivalent” [20] Human
toxicity potential assesses the impact of toxic substances released in the
environment on the human health by providing an estimation of the increase in
morbidity in the total human population (cases). Both cancer and non-cancer
cases are taken into account. [21] Please note: Potentially Affected Fraction (PAF) of
species integrated over time and volume, PAF m3.day, is the unit used to assesses
the impact of toxic substances released in the environment on the ecosystem [22] For
informational purpose, environmental impacts of the three battery types
(including the environmental impacts of their chargers) are provided in Annex
13. [23] In
practice, the functional unit is used to scale the inputs and outputs
(materials, energy, etc.) of each system studied. Consequently, the
environmental impacts computed from these flows are automatically scaled to the
functional unit. [24] The
10% collection rate corresponds to the WEEE collection rate reported for
Category 6 in 2008 whereas the 25%, and 45% collection rates correspond to the
evolution of waste battery collection in EU as required by the Battery
Directive whereas the 30%, 35% and 40% collection rates to correspond for years
2013, 2014 and 2015 respectively based on the assumption that under the Battery
Directive requirement on collection rate, there will be natural linear
evolution of collection rate from 25% in 2012 to 45% in 2016. [25] These values were developed taking into account EU 25
+3 (EU25+ Iceland +Norway+ Switzerland) level in 2000 based on the values
presented in: 1: “Normalisation
in product LCA: an LCA of the global and european economic systems in the year
2000, Wegener Sleeswijk (2008)” for GWP, POFP, TAP, PMFP and FEP; 2: “Instititute
of Environmental Sciences (CML) database (2008)” for ARDP; 3: “Laurent
et al. Normalization references for Europe and North America for application
with USEtox™ characterization factors (2011)” for HTP and FAEP. [26] Source : “Environmental effects in eco-efficiency:
how to evaluate them?” Lauran van Oers; CML-IE, Leiden
University. June 2010 (www.eco-efficiency-conf.org/content/Lauran%20van%20Oers%20-%20Environmental%20effects%20in%20eco-efficiency.pdf) [27] Examples
of such impact indicators (and their weighting) include ‘Ozone Depletion’ (4%),
‘Marine Eutrophication’ (2.3%), etc. [28] The
factors were scaled by dividing by the sum of the weighting factors of the
eight impact categories under consideration (69.3%). COMMISSION STAFF WORKING DOCUMENT IMPACT ASSESSMENT Accompanying the document Proposal for a
DIRECTIVE OF THE EUROPEAN PARLIAMENT AND OF THE COUNCIL amending Directive 2006/66/EC on
batteries and accumulators and waste batteries and accumulators as regards the
placing on the market of portable batteries and accumulators containing cadmium
intended for use in cordless power tools Disclaimer This report commits only the Commission's
services involved in its preparation and does not prejudge the final form of
any decision to be taken by the Commission. ANNEX ............. Annex 16: Sensitivity analysis
on collection rate............................................................... 2 ............. Annex 17: Sensitivity analysis
on batteries lifespan......................................................... 16 ............. Annex 18: Sensitivity analysis
on emissions of metals...................................................... 17 ............. Annex 19: Battery sales and
separate collection of NiCd batteries in Germany............... 17 ............. Annex 20: Environmental impacts
related to the relevant battery technologies................. 17 ............. Annex 21: Main raw materials
used in alternative batteries for CPT................................ 17 Sensitivity
analisys on collection rate 1. Scenario definition The four
scenarios studied in this sensitivity analysis are defined as follows: –
The reference scenario corresponds to the
collection rate based on cat.6 WEEE collection; –
Scenario A1 corresponds to the collection rate target
defined by the batteries directive for 2012; –
Scenario A2 corresponds to the collection rate target
defined by the batteries directive for 2016; –
Scenario A3 corresponds to the collection rate
derived from Targeted Risk Assessment Report (TRAR)[1]. Corresponding
values are presented in the table below. Table
21: Scenario definition for the sensitivity analysis on collection rate || Reference scenario || Scenario A1 || Scenario A2 || Scenario A3 Collection rate || 10% || 25% || 45% || 53% 1.1. Scenarios A1 and A2 As described
in the Battery Directive, the targets for waste battery collection by 2012 and
2016 are 25% and 45% respectively. The
collection rate of the battery directive corresponds to a waste-to-sales
approach: more precisely, it is defined as the ratio of the collected quantities
at a given calendar year by the average sales during that calendar year and the
two preceding calendar years. The two
target values are selected for scenarios A1 and A2. The use of these collection
rates for the LCA has some limitations: the Batteries Directive is not specific
to batteries used in CPTs, and it concerns secondary as well as primary
batteries. However, it gives a complementary perspective on the definition of
the collection rate. 1.2. Calculation of the collection rate
for scenario A3 As
previously presented, the waste-to-waste approach is an alternative approach
for calculating the collection rate. The TRAR provides quantities of cadmium
incorporated in NiCd portable batteries (not only in CPTs, that is) in
different waste flows at EU16+Switzerland level in 2002, as shown in Figure 21. Then, the
collection rate of NiCd portable batteries, based on the cadmium content only,
can be calculated with a waste-to-waste approach as follows: Finally, we have to assume that this
collection rate, valid for NiCd portable batteries, also applies for CPTs
specifically. Figure 21: Portable
Ni-Cd batteries mass balance (EU16 + Switzerland, 2002) (Cadmium content)[2] 2. Results The
following figures present the relative impacts for each scenario. For each
indicator, the reference (100%) corresponds to the total impact of NiCd
battery for the reference scenario. A first set of indicators is presented,
which are not significantly sensitive to a variation of the collection rate, in
the sense that the ranking of the batteries is not modified by an increase or
decrease in the collection rate. Figure 22: Sensitivity analysis on collection rate – results for
Global Warming Potential Figure 23: Sensitivity analysis on collection rate – results for
Cumulative Energy Demand Figure 24: Sensitivity analysis on collection rate – results for
Metal Depletion Potential Figure 25: Sensitivity analysis on collection rate – results for
Freshwater Eutrophication Potential Figure 26: Sensitivity analysis on collection rate – results for
toxicity indicators without LT emissions These indicators show low sensitivity to a
variation of the collection rate: –
Global Warming Potential and Cumulative Energy
Demand: for the three battery technologies, the main contributor for those
impacts is the use phase, which is independent of the collection rate. –
Metal Depletion Potential: higher collection
rates do lead to some impact reductions (due to a higher quantity of recovered
metal from the recycling of the cells). However, as electronic components in
the charger (and in the pack, for LiFePO4) are the main contributor to this
impact, and not the cells, the benefits of the cells’ recycling are partly
hidden. –
Freshwater Eutrophication: the increase of the
collection rate does not influence the impact of LiFePO4 battery, while it
generates limited reductions for NiCd and NiMH batteries. The ranking of the
batteries does not change if the collection rate increases. However, a lower
collection rate tends to even the impacts of the three batteries. –
Human toxicity and freshwater aquatic
ecotoxicity potentials without long-term emissions: these indicators show low
sensitivity to the variation of the collection rate. Indeed, long-term
emissions essentially occur in landfills, while short-term emissions are
essentially generated during production stages and during the use phase
(electricity consumption). The impacts of these life-cycle stages are
independent of the collection rate. Figure 27: Sensitivity analysis on collection rate – results for
Abiotic Resource Depletion Potential The impact of NiCd battery on Abiotic
Resource Depletion reduces significantly with an increase in the collection
rate, because an increased collection rate leads to higher quantities of
recovered cadmium, which is the main contributor to this impact. For LiFePO4 and NiMH, this
indicator shows low sensitivity to the variation of the collection rate,
because most of the impact for these two batteries comes from the use phase,
the impact of which is independent of the collection rate. However, the ranking
of the batteries does not change when the collection goes from 10% to 53%. Figure 28: Sensitivity analysis on collection rate – results for
Photochemical Oxidant Formation Potential Photochemical Oxidant Formation Potential
indicator shows low sensitivity to the collection rate parameter. For the NiCd
and LiFePO4, the main contributor for this impact is the use phase,
which is independent of the collection rate. For NiMH, the impact comes mainly
from LaNi5 production, which is also independent of the collection
rate. However, while NiMH is the most impacting
battery in the reference scenario, it shows similar impacts as the two others
for higher collection rate (scenarios A2 and A3). Figure 29: Sensitivity analysis on collection rate – results for
Particulate Matter Formation Potential Regarding Particulate Matter Formation
Potential, an increase of collection rate generates impact reductions for NiMH,
and to a lesser extent for NiCd, due to the avoided nickel production and
consequently the avoided emissions of SO2 to air. LiFePO4
battery shows no sensitivity on this indicator, because for this technology: –
Impacts are mainly generated during the use
phase; –
The production of substances that are recovered
here do not have a significant impact (and thus benefit when recycled instead
of produced) on this indicator. While NiMH is the most impact battery in
the reference scenario, it shows similar impacts as NiCd for higher collection
rates (scenarios A2 and A3). Figure 30: Sensitivity analysis on collection rate – results for
Terrestrial Acidification Potential Impacts of NiCd and NiMH batteries on
terrestrial acidification reduce significantly when the collection rate
increases: this is mainly due to the increased quantity of recovered nickel and
thus to an increase in avoided emissions of acid substances. The sensitivity is
even higher for NiMH than for NiCd, because of its higher nickel content. The
increased collection rate from 25% to 45% and 53% evens the impacts between
NiCd and NiMH. However, LiFePO4 impact on
terrestrial acidification shows low sensitivity to the variation of the
collection rate, because for this technology: –
Impacts are mainly generated during the use
phase ; –
Recovered substances during recycling do not
have a significant impact (and thus benefit) on this indicator. While NiMH is the most impacting battery in
the reference scenario, it shows similar impacts as NiCd for higher collection
rates (scenarios A2 and A3). Figure 31: Sensitivity analysis on collection rate – results for
toxicity indicators with long-term emissions Human Toxicity Potential – with long-term
emissions For these indicators, NiCd and NiMH
batteries have lower impacts for higher collection rates. This is due to the
fact that an increased collection rate reduces the amount of batteries put in
landfill, and thus the emissions of metals to groundwater. For Scenario A3 (53%
collection rate), NiCd battery is still the most impacting battery type, but
the differences with the two other types are significantly reduced. LiFePO4
battery is not sensitive to the variation of the collection rate, because for
this technology, the impact is generated at production stages (cells and
charger), on which the collection rate has no influence. The ranking of the batteries does not
change with a variation of the collection rate. Freshwater Aquatic Ecotoxicity Potential
- with long-term emissions An increase in the collection rate tends to
reduce the differences between batteries. This is due to the fact that an
increased collection rate reduces the amount of batteries put in landfill, and
thus the potential emissions of metals to groundwater. The reduction is higher
for NiMH, for which the nickel content is higher and thus the avoided emissions
more important. While NiMH is the most impacting technology
in the reference scenario, it shows similar impacts as the two other battery
types for higher collection rates (scenarios A2 and A3). We now consider the intermediate situation
where only 5% of the metallic content of the batteries are eventually released
in the environment: Figure 32: Sensitivity analysis on collection rate – results for
toxicity indicators with 5% long-term emissions Human Toxicity Potential – with 5%
long-term emissions For NiCd and NiMH, the variation of the
collection rate has a significant effect on this indicator. However, the potential impact of LiFePO4
on human toxicity with 5% LT emissions has a low sensitivity to a variation of
the collection rate because this impact is mainly generated during production
stages and thus mainly due to short-term emissions. For this indicator, LiFePO4
shows similar impacts as NiCd for high collection rates (scenarios A2 and A3). Freshwater Aquatic Ecotoxicity Potential
– with 5% long-term emissions In terms of sensitivity to the collection
rate, similar trends can be observed for freshwater aquatic ecotoxicity
potential with 5% LT emissions: for this indicator, the impact of LiFePO4
battery has lower sensitivity to the variation of the collection rate (compared
to the two other battery types). Consequently, with a 45% collection rate,
LiFePO4 has the highest potential impact on freshwater aquatic
ecotoxicity potential with 5% LT emissions. While NiMH is the most impacting battery in
the reference scenario, it shows a similar impact as the two others for higher
collection rates (scenarios A2 and A3). 3. Conclusions on the sensitivity
analysis on collection rate Depending on the indicator, the increase of
the collection rate has a different effect on the impacts: For the following indicators, the variation
of the collection rate has only a limited influence on the results. The ranking
between batteries is not impacted by a variation of the collection rate: –
Global Warming Potential; –
Cumulative Energy Demand; –
Metal Depletion Potential; –
Abiotic Resource Depletion Potential; –
Photochemical Oxidant Formation Potential; –
Particulate Matter Formation Potential; –
Freshwater Eutrophication Potential; –
Human Toxicity Potential, without long-term
emissions; –
Freshwater aquatic ecotoxicity potential without
long-term emissions. Terrestrial Acidification: while NiMH is
the most impacting battery in the reference scenario, it shows similar impacts
as NiCd for higher collection rates (scenarios A2 and A3). Human Toxicity Potential with 100%
long-term emissions: NiCd is the most impacting battery whatever the collection
rate is. While NiMH shows higher impacts than LiFePO4 in the reference
scenario, this ranking is reversed for higher collection rates (scenarios A2
and A3). Human Toxicity Potential with 5% long-term
emissions: While NiCd shows higher impacts in the reference scenario, NiCd and
LiFePO4 batteries have similar impacts for higher collection rates (scenarios
A2 and A3). Freshwater Aquatic Ecotoxicity Potentials
with 100% and 5% long-term emissions: while NiMH is the most impacting
technology in the reference scenario, it shows similar impacts as the two other
battery types for higher collection rates (scenarios A1 and A2). Sensitivity
analisys on batteries lifespain 1. Scenario definition As previously described, it was supposed in
the reference scenario that the batteries were discarded when the CPT reached
its end-of-life (after 165 hours of use). In some practical cases, users keep
the batteries when the CPT has reached its end-of-life, and continue using them
with a new CPT. Another case could be that the CPT has a longer lifetime than
the battery. In this case also, the battery would be used until the end of its
theoretical lifespan (800 cycles) (as suggested in the figure below). Do these alternative cases favour one
particular battery technology? This sensitivity analysis aims at analysing
in which extent comparative results vary when all three batteries are used
until their theoretical lifespan. Table
22: Scenario definition for sensitivity analysis on lifespan Parameter || Reference scenario || Scenario B Lifespan || Batteries and charger stop being used after 165 hours of use || Batteries and charger stop being used after 800 cycles || Figure 33: Illustration of the lifespan of the batteries and of the
CPT 2. Results Figure 34: Sensitivity analysis on lifespan – results for Global
Warming Potential Figure 35: Sensitivity analysis on lifespan – results for Cumulative
Energy Demand Concerning Global Warming Potential and Cumulative
Energy Demand, no technology emerges as more contributing than the two other
technologies, for the scenario B as for the reference scenario. Figure 36: Sensitivity analysis on lifespan – results for Metal
Depletion Potential Concerning metal depletion, the extension
of the lifespan generates a significant impact reduction for the three
batteries. While LiFePO4 shows higher impacts in both scenarios, the
gap between the three technologies is significantly reduced when switching from
the reference scenario to scenario B. Moreover, while NiMH shows higher impacts
than NiCd battery in the reference scenario, both technologies show similar
impacts with an extended lifespan (scenario B). Impacts on metal depletion are mostly
related to the production phase, which contribution is independent of the
lifespan in absolute value. However, a given battery provides more
Functional Units (i.e. more kWh) to the CPT when its lifespan is extended.
Consequently, when assessing the impacts for one Functional Unit, the impacts
of production will be reduced when increasing the lifespan. This effect is
intensified for NiMH, and in a lesser extent for LiFePO4, as the
relative increase of the lifespan (in terms of number of FUs) is higher for
NiMH and then LiFePO4, as shown in the following table. Table 23: total number of FUs provided by each battery during its whole
lifespan for both scenarios Scenario || NiCd || NiMH || LiFePO4 Reference scenario (82.5 hours of use) || 29.7 FU || 29.7 FU || 32.7 FU Scenario B (800 cycles) || 34.6 FU || 46.1 FU || 47.1 FU Relative increase || 16% || 55% || 44% Figure 37: Sensitivity analysis on lifespan – results for Abiotic
Resource Depletion Potential The increase of the lifespan to 800 cycles
generates a reduction of the Terrestrial Acidification Potential for NiCd
batteries whereas the two other chemistries are quite insensitive to a change
of the lifespan for this indicator. Since for this technology and for this
indicator, production impacts are higher than use phase impacts (due to the
higher contribution of cells), the relative decrease of the production phase
impacts is higher than for the other technologies. Figure 38: Sensitivity analysis on lifespan – results for
Photochemical Oxidant Formation Potential Figure 39: Sensitivity analysis on lifespan – results for
Terrestrial Acidification Potential Figure 40: Sensitivity analysis on lifespan – results for
Particulate Matter Formation Potential Concerning photochemical oxidant formation
potential, terrestrial acidification potential and particulate matter formation
potential, limited impact reductions for the three batteries can be observed
when extending the lifespan. The reduction is however significant for
NiMH only, because: –
the production phase has a higher relative
contribution for NiMH (due to a higher contribution of the cells); –
the relative increase of the lifespan (in terms
of number of FUs) is higher for NiMH, as shown in Table 23. While in the reference scenario NiMH is the
most impacting chemistry, the difference with the other batteries is lowered in
Scenario B: in this scenario, NiMH and NiCd have comparable impacts for these
indicators. Figure 41: Sensitivity analysis on lifespan – results for Freshwater
Eutrophication Potential Concerning Freshwater Eutrophication
Potential, limited impact reductions can be observed for the three
technologies. The relative reduction is slightly higher for the LiFePO4
battery, as for this indicator its production phase has a relative contribution
that is higher than for the other battery types. While in the reference scenario, LiFePO4
is the most impacting battery, the difference with the other batteries is
lowered in Scenario B (LiFePO4 and NiCd have a similar impact in
scenario B). Figure 42: Sensitivity analysis on lifespan – results for toxicity
indicators (with long-term emissions) For both indicators, impact reductions can
be observed for the three technologies, with more significant reductions for
LiFePO4 and NiMH. This is because the relative increase of the
lifespan (in terms of number of FUs) is higher for NiMH and LiFePO4,
as shown in Table. For Human toxicity potential: the ranking
does not change between scenarios (NiCd is still the battery showing higher
impacts). For Freshwater aquatic ecotoxicity
potential: In the reference scenario, NiMH shows the highest impact, the two
others having similar impacts. In scenario B, LiFePO4 has lower
impacts than the NiCd battery. Figure 43: Sensitivity analysis on lifespan – results for toxicity
indicators (with 5% long-term emissions) For both indicators, impact reductions can
be observed for the three technologies, with more significant reductions for
LiFePO4 and NiMH. This is because the relative increase of the
lifespan (in terms of number of FUs) is higher for NiMH and LiFePO4,
as shown in Table. For Human toxicity potential: The relative
ranking of batteries does not change. For Freshwater aquatic ecotoxicity
potential: While NiMH was the most impacting battery in the reference scenario,
the three batteries show similar impacts in the scenario B. Figure 44: Sensitivity analysis on lifespan – results for toxicity
indicators (without long-term emissions) For both indicators, impact reductions can
be observed for the three technologies, with more significant reductions for
LiFePO4 and NiMH, because the relative increase of the lifespan (in
terms of number of FUs) is higher for NiMH and LiFePO4, as shown in
Table. For both indicators, LiFePO4
still shows higher impacts than the two other technologies in both scenarios. 3. Conclusion on the sensitivity
analysis on lifespan Depending on the indicator, the increase of
the lifespan to 800 cycles has different effects on the impacts: –
Global Warming Potential, Cumulative Energy
Demand show a low sensitivity to the increase of the lifespan. –
Abiotic Resource Depletion Potential shows
impact reduction for NiCd, but this technology is still the most impacting in
scenario B. –
Concerning Metal Depletion Potential, while
impact reductions are observed for the three battery types, LiFePO4 is still
the most impacting battery in scenario B. –
Concerning photochemical oxidant formation
potential, terrestrial acidification potential and particulate matter formation
potential, impact reductions are mainly observed for NiMH. While NiMH is the
most impacting battery, the difference with the other batteries is lowered in
Scenario B. –
Concerning Freshwater eutrophication potential,
limited impact reductions are observed for the three batteries. While in the
reference scenario, LiFePO4 is the most impacting battery, the difference with
the other batteries is lowered in Scenario B. –
Concerning Human toxicity potential with
long-term: only a limited decrease is observed, that generates no change in the
ranking (NiCd is still the most impacting technology). –
Concerning Freshwater aquatic ecotoxicity
potential with long-term (LT) emissions: the decrease in impacts is higher for
NiMH. Thus, its impact in scenario B is similar to the impact of NiCd, while it
was the most impacting battery in the reference scenario. –
For Human toxicity potential with 5% LT
emission: The relative ranking of batteries does not change. –
For Freshwater aquatic ecotoxicity potential
with 5% LT emissions: While NiMH was the most impacting battery in the
reference scenario, the three batteries show similar impacts in the scenario B. –
For Human toxicity and freshwater aquatic
ecotoxicity potentials without LT emissions: for both indicators, LiFePO4
remains the most impacting battery, while the two other technologies show
similar impacts. Sensitivity
analisys on emissions of metals 1. Scenario definition Table
24: Scenario definition for the sensitivity analysis on metal emissions Parameter || Reference scenario || Scenario “ 0.01% emissions of metals” || Scenario “2% of emissions of metals” % of metal emitted to air || No direct emissions are considered during the cell production step. || 0.01% are emitted during the cell production step || 2% are emitted during the cell production step || % of the metal emitted to water || No direct emissions are considered during the cell production step. || 0.01% are emitted during the cell production step || 2% are emitted during the cell production step || Direct emissions of heavy metals in air and
water during cell production are not taken into account in the reference
scenario, because of a lack of robust data. However, this could be an important
data gap and a major limitation of the study. Therefore, it is relevant to assess the
sensitivity of the results to emissions of heavy metals in air during cell
production. Alternative scenario are considered, where emissions to air and
water occur for each battery type. The following emissions of metal are
considered: - For NiCd: Nickel, Cadmium and Cobalt, - For NiMH: Nickel and Cobalt, - For LiFePO4: Copper and Aluminium. In order to determine a conservative order
of magnitude of the quantity of emitted metals, literature data on emissions
during batteries production Rantik's data were used.[3] Rantik's data presents quantified emissions
occurring during the production of NiCd and NiMH batteries intended for use in
electric vehicles (no literature source could be found for the specific
application of CPTs). Based on the emitted quantities per kilogram of battery
and the mass breakdown of each battery, the ratio of metal emitted has been
calculated, for each type of metal. Emissions of metals reported in Rantik's
report vary significantly from one manufacturing site to another and from
application to another. Therefore, 2 alternative scenarios are set, the first
one being an “intermediate” scenario and the second one being the most
“conservative” scenario. 1.1. Calculation of emissions for the 1st
alternative scenario Emissions to air and water during the
production of NiCd batteries used in electric vehicles, derived from 0, are
reported in the following table. Table
25: Emissions to air and water during the production of NiCd batteries for EV[4] – emissions in kg of metal / kg of metal contained in the
battery[5] Type of emission || Specific emission || Value || Unit Emission to air || Cadmium || 0.007% || kg / kg Cd contained in the cell Emission to air || Cobalt || 0.008% || kg / kg Co contained in the cell Emission to air || Nickel || 0,008% || kg / kg Ni contained in the cell Emission to water || Cadmium || 0.010% || kg / kg Cd contained in the cell Emission to water || Cobalt || 0.011% || kg / kg Co contained in the cell Emission to water || Nickel || 0.011% || kg / kg Ni contained in the cell Since the representativeness of these
values to our specific case (production of cells for batteries intended for use
in CPTs) may be quite poor, it was chosen to retain 0.01% as the reference
value for the first alternative scenario. This value is applied to each metal
listed above and for each compartment considered (air and water). Furthermore, the equivalent quantity of
emitted metal has been accounted as additional raw material input. 1.2. Calculation of emissions for the 2nd
alternative scenario Emissions during the production of NiMH
batteries, derived from M. Rantik, are reported in the following table. Table
26: Emissions to air/water/ground during the production of NiMH batteries for
EV136 - emissions in kg of metal / kg of metal contained in the
battery[6] Type of emission || Specific emission || Value || Unit Emission to air/water/ground || Nickel || 2.7% || kg / kg Ni contained in the cell Emission to air/water/ground || Cobalt || 6.0% || kg / kg Co contained in the cell If we assume equal emissions into the three
compartments, the following emissions in air and water are calculated. Table
27: Emissions to air and water during the production of NiMH batteries for EV
recalculated from[7] Type of emission || Specific emission || Value || Unit Emission to air || Nickel || 0.9% || kg / kg Ni contained in the cell Emission to air || Cobalt || 2.0% || kg / kg Co contained in the cell Emission to water || Nickel || 0.9% || kg / kg Ni contained in the cell Emission to water || Cobalt || 2.0% || kg / kg Co contained in the cell The maximum value for a single metal in a
given compartment, i.e. 2%, is used as the reference value for the second
alternative scenario. This is the most conservative choice. This value is
applied to each metal listed above and for each compartment considered (air and
water). Furthermore, the equivalent quantity of
emitted metal has been accounted as additional raw material input. 2. Results In the following analysis of the results,
we only focus on toxicity impacts, since all other impacts do not significantly
vary when emissions of metals to air and water during the production of the
cells are increased. Figure 44: Sensitivity analysis on metal emissions during production
– results for human toxicity potential with long-term emissions Human Toxicity Potential with long-term
emissions shows no sensitivity for NiMH and LifePO4 batteries. For NiCd
battery, the emission of 2% of the metal content triples the impact for this
indicator. Figure 45: Sensitivity analysis on metal emissions during production
– results for Freshwater Aquatic Ecotoxicity Potential with long-term emissions Freshwater Aquatic Ecotoxicity potential
with long-term emissions shows no significant sensitivity to an increase of the
emissions of metals in air and water during the production of the cells. Figure 46: Sensitivity analysis on metal emissions during production
– results for Human Toxicity Potential with 5% LT emissions Human Toxicity Potential with 5% LT
emissions shows no significant sensitivity for NiMH and LifePO4
batteries. Concerning NiCd battery, the emission of 0.01% of the metal content
generates no significant increase in the impact while the emission of 2% of the
metal content increases drastically the impact (multiplied by about 22). Figure 47: Sensitivity analysis on metal emissions during production
– results for Freshwater Aquatic Ecotoxicity Potential with 5% LT emissions Freshwater Aquatic Ecotoxicity with 5%
long-term emissions, no differences can be seen for the “0.01% scenario”. For
the 2% scenario however, the overall impact of each battery increases
significantly (the impact is nearly doubled for the three battery types),
without any major differences in the ranking of the batteries (given the
uncertainty on the model). Figure 48: Sensitivity analysis on metal emissions during production
– results for Human Toxicity Potential (without long-term emissions) Human Toxicity Potential without long-term
emissions shows no sensitivity for NiMH and LifePO4 batteries.
Concerning NiCd battery, the emission of 0.01% of the metallic content
generates a 30% increase in the impact while the emission of 2% of the metallic
content increases drastically the impact (multiplied by about 55). Figure 49: Sensitivity analysis on metal emissions during production
– results for Freshwater Aquatic Ecotoxicity Potential (without long-term
emissions) Concerning Freshwater Aquatic Ecotoxicity
potential without long-term emissions, no difference can be seen for the “0.01%
scenario”. For the 2% scenario however, the overall impact of each battery
increases drastically. Besides, for this scenario, the ranking of
batteries is modified compared to the reference scenario: whereas in the
reference scenario, LiFePO4 is the most contributing battery and the
two other batteries are equivalent, for the “conservative” scenario (emissions
of 2% of the metallic content) NiMH is the most contributing battery and LiFePO4
the less contributing one. 3. Conclusion on the sensitivity
analysis on emissions of metals Toxicity indicators, especially human
toxicity indicators, are highly sensitive to the emissions of metal to the
environment during the cell production, with the exception of Freshwater
Aquatic Ecotoxicity potential with long-term emissions. It is reminded that all
other considered indicators show no sensitivity to the emissions of metals to
air and water during the production of cells. In conclusion of the analysis, the need for
accurate and representative figures on the emissions during the production of
the cells is of major importance to have robust results in terms of toxicity
impacts. Battery
sales and separate collection of NiCd batteries in Germany The Batteries Directive (2006/66/EC)
requires EU Member States to introduce schemes for the separate collection of waste
batteries. In Germany such schemes have been implemented since 1998.[8], [9] Figure 50 shows the tonnes of batteries
which were sold in each year in Germany by NiCd- NiMH- and Li-ion battery type
for the period from 2001 to 2008. While in recent years in Europe the
NiCd batteries are almost exclusively used in CPT, the sold NiMH and Li-ion
batteries are used in many different applications. Figure 50 : Battery sales in Germany in tonnes/year Figure 51 shows the tonnes of NiCd
batteries collected each year in the German separate battery collection
systems. When comparing Figure 51 with Figure 50 it is necessary to take into
account the residence time of NiCd batteries in the use phase. In Japan the
average age of NiCd batteries returned to recycling plants is 7.3 years. This
very well corresponds to the 7 years of average life-time of NiCd cells
estimated by EPTA.[10] Thus, when comparing the NiCd collection masses of 2007 and 2008
with sales masses of 2001 and 2002 recycling rates of 38 to 44 % are get. Figure 51 :
Separate collection of NiCd batteries in Germany in tonnes/year In 2002 the European Commission[11] reported that 45.5% of the
portable batteries sold in the EU-15 that year went to final disposal
(incineration or landfill), instead of being collected and recycled. It has to be concluded that, in spite of
very well established and montiored separate collection systems in some Member
States, such as in Germany for example, the majority of NiCd batteries and thus
of the contained cadmium is collected with residual household waste and
possibly other waste streams, and either incinerated in municipally solid waste
incineration plants, mechanical-biological treatment plants, in plants of
treating non-ferrous metals separated from residual waste or directly
landfilled. Thus there is some likelihood that cadmium can dissipate
uncontrolled into the environment during the waste-phase of NiCd batteries. Environmental
impacts related to the relevant battery technologies 1. NiCd batteries As shown in Table 28 it is estimated that
240 million NiCd cells were sold in Europe for cordless power tool applications
in the year 2008. With a mass of 55 g/cell[12]
this gives a total mass of 13,200 tonnes of NiCd cells sold in 2008 for
application in CPT in Europe. Table 28 shows an estimation of the
substance-flows caused by the total of all NiCd-cells sold for CPT in 2008 in
Europe and the effect on production and reserve depletion for the contained
metals. It can be seen, that 10.6 % of the world 2008 cadmium production can be
refered to the NiCd batteries for CPT in Europe. About 0.45 % of the world
cadmium reserves were used for that end. Smaller shares of 0.11 % and 0.16% of the
world cobalt and the world nickel production respectively were also required.
The effect of the NiCd batteries on world iron, manganese and zinc production
and reserves is really small. Table
28: Materials contained in rechargeable NiCd batteries sold in Europe for CPTs
in 2008 and effect on world metal production (Sources: composition = average
from [EC 2003] and [ERM 2006]; production and reserves [USGS 2009])[13] || Assumed share in cell in % || Mass for all 2008 NiCd cells in t || % of year 2008 worldwide metal production || % of worldwide reserves Cadmium (Cd) || 16.7 || 2,200 || 10.6 || 0.45 Cobalt (Co) || 0.6 || 79 || 0.11 || 0.0011 Iron (Fe) and steel || 34.7 || 4,576 || 0.0004 || 0.00002 Manganese (Mn) || 0.1 || 11 || 0.0001 || 0.000002 Nickel (Ni) || 19.0 || 2,508 || 0.16 || 0.0036 Zinc (Zn) || 0.1 || 8 || 0.0001 || 0.000004 Alkali (KOH) || 2.0 || 264 || || Plastics || 10.0 || 1,320 Water || 5.0 || 660 Other non metals || 11.9 || 1,574 Total || 100 || 13,200 Health Effects
and Environmental Effects From the materials contained in NiCd
batteries the highest health and environmental risk emanates from cadmium
as this metal –
is carcinogenic, –
mutagenic, –
carries a possible risk of impaired fertility
and possible risk of harm to the unborn child –
is very toxic by inhalation –
carries danger of serious damage to health by
prolonged exposure through inhalation and if swallowed –
is very toxic to aquatic organisms, may cause
long-term adverse effects in the aquatic environment.[14] Due to its relatively low melting and
boiling point, respectively, it can be easily released into the environment and
may accumulate there. The next most
hazardous substance in is nickel: –
for carrying limited evidence of a carcinogenic
effect –
and for being toxic showing danger of serious
damage to health by prolonged exposure through inhalation.[15] Other substances contained in NiCd batteries are hazardous to some degree: –
Cobalt is classified as harmful, it may cause
sensitization by inhalation and skin contact, and it may cause long-term
adverse effects in the aquatic environment [JRC 2009]. –
Manganese is classified as being harmful when
swallowed or inhaled [Regulation (EC) No 1272/2008]. –
Alkali is corrosive, harmful if swallowed, and
may cause severe burns [JRC 2009]. As NiCd-power packs are well protected,
closed systems, in the use phase health and environmental risks occur only very
rarely, that is when the power pack ruptures due to extreme mechanical wear,
heat or an explosion of the gases produced during overcharge. From the
life-cycle perspective the phases with the highest health and environmental
risks are: –
The mining phase (especially the mining of
cadmium) –
The treatment of ores and production of metals
phase –
The phase of waste collection –
The phase of waste treatment and recycling. 2.
NiMH batteries Table 29 gives an estimation of the mass of
NiMH batteries which would be required to provide the same amount of lifetime
energy as the 13,200 tonnes of NiCd batteries sold in Europe in 2008. It shows
that 22,500 t of NiMH batteries would be required. Table 29 : Estimation of the mass of NiMH- and Li-ion batteries,
respectively which would be required to provide the same amount of
lifetime-energy as the 13,200 tonnes of NiCd batteries sold in Europe for CPTs
in 2008 (based on data from [EPTA 2009b])[16] Battery type || Total mass in t || kg/pack (18 V) || Number of packs || Lifetime Wh/pack || Lifetime GWh of all packs || Lifetime Wh/pack || Number of packs || kg/pack (18 V) || Total mass in t NiCd || 13,200 || 1.015 || 13,000,000 || 34,200 || 951 || || || || NiMH || || || || || 951 || 20600 || 21,600,000 || 1.040 || 22,500 Li-ion || || || || || 951 || 21200 || 21,000,000 || 0.705 || 14,800 Table 30 shows the material streams which
would be required to replace the NiCd batteries sold in 2008 in Europe for CPTs
by NiMH batteries to give the same lifetime energy. It can be seen that in
absolute terms considerable amounts of nickel, iron and mischmetall (lantanides
or rare-earths) would be required. Relative to the world metal production,
however, the mischmetalls, cobalt and lithium are the most critical metals.
Here it has to be noted that only one information source specifically mentions
lithium as being a component of NiMH batteries, too.[17] So the real lithium demand
caused by NiMH batteries may be considerably lower than estimated in Table 30. Table 30 : Materials contained in the NiMH batteries which would be
required to deliver the same lifetime energy as the NiCd batteries sold for
CPTs in 2008 in Europe and effect on world metal production (composition =
average from [EC 2003, ERM 2006, EPBA 2007, VARTA 2008], production and
reserves from [USGS 2009]) || Assumed share in cell in % || Mass for all NiMH cells necessary to replace NiCd in t || % of year 2008 worldwide metal production || % of worldwide reserves Aluminium (Al) || 1.0 || 225 || 0.001 || << Cobalt (Co) || 3.7 || 830 || 1.156 || 0.012 Iron (Fe) and steel || 27.1 || 6,103 || 0.001 || 0.000 Lithium (Li) || 1.0 || 225 || 0.821 || 0.005 Manganese (Mn) || 1.5 || 332 || 0.002 || 0.000 Nickel (Ni) || 33.0 || 7,425 || 0.461 || 0.011 Zinc (Zn) || 1.7 || 375 || 0.003 || 0.000 Mischmetal alloy / lanthanides (calculated as rare earth oxides) || 10.7 || 2,400 || 1.935 || 0.003 Alkali || 5.0 || 1,125 || || Plastics || 7.0 || 1,575 Water || 8.0 || 1,800 Other non metals || 0.4 || 85 Total || 100.0 || 22,500 Health and Environmental
Effects NiMH batteries do not contain cadmium. Thus
the highest health and environmental risks of NiMH batteries emanate from nickel. In addition to the hazardous substances
contained in NiCd batteries, NiMH batteries contain: –
Lithium which is only dangerous in its reactive
metallic form (but not as lithium salt) –
Mischmetall alloy which is of low to moderate
toxicity. Some experts claim that NiMH batteries are
somewhat less abuse tolerant than NiCd batteries[18], so that the likelihood of
rupture may be somewhat higher with NiMH batteries but still low. The critical life-cycle phases during which
the highest health or environmental impacts may occur are the same as with
NiCd. 3. Li-Ion Batteries Table 29 (above) shows the estimation of
which mass of Li-ion batteries would be required to deliver the same lifetime
energy as all NiCd batteries sold in Europe in 2008; this would be 14,800 t. Table 31 shows the material streams which
would be required to replace the NiCd batteries sold in 2008 in Europe for CPTs
by Li-ion batteries to give the same lifetime energy. The share of lithium is
relatively low. However, when compared to the world production of each
material, a ban of NiCd batteries in cordless power tools (CPT) would have its
biggest impact on cobalt- and on lithium-production. A corresponding ban would
increase the world cobalt-demand by 3.75 % and the world lithium demand by 1.57
%. At the bottom of Table 31 it can be seen,
that the fluorine contained in the LiPF6-electrolyte and in the
PVDF-membrane on the average may constitute some 5 % of the Li-ion-battery
material. According to [EPBA 2007] the share of LiPF6 on the total
Li-ion cell material may lie between 1 and 15 %, the share of PVDF between 1
and 2 %, this gives a range for the fluorine share of 1.3 to 12.4 % with an
average of 5.1 %. The total amount of fluorine needed to replace all NiCd
batteries in CPTs in Europe thus lies at about 758 t per year. Table 31 : Materials contained in the Li-ion batteries which would
be required to deliver the same lifetime energy as the NiCd batteries sold for
CPTs in Europe in 2008 and effect on world metal production (composition =
average from [EC 2003, ERM 2006, EPBA 2007], production and reserves from [USGS
2009]) Material || Assumed share in cell in % || Mass for all Li-ion cells necessary to replace NiCd in t || % of year 2008 worldwide metal production || % of worldwide reserves Aluminium (Al) || 12.5 || 1,845 || 0.005 || << Cobalt (Co) || 18.3 || 2,697 || 3.75 || 0.038 Copper (Cu) || 10.0 || 1,476 || 0.009 || 0.000 Iron (Fe) and steel || 18.4 || 2,720 || 0.000 || 0.000 Lithium (Li) || 2.9 || 429 || 1.57 || 0.010 Nickel (Ni) || 13.5 || 1,993 || 0.124 || 0.003 Carbon/Graphite || 13.5 || 1,993 || 0.180 || 0.002 Carbonate ester || 4.1 || 612 || || Lithium hexafluorophosphate (LiPF6) || 5.7 || 835 || || Poly(vinylidene fluoride) (PVDF) || 1.5 || 221 || || Total (due to doublecounting of Li > 100 %) || 100.3 || || || Total without doublecounting of Li || 100 || 14,800 || || Fluorine || 5.1 || 758 || 0.027 || 0.001 Manganese (Mn) (in manganese-Li-ion cell instead of cobalt) || 12.5 || 1,845 || 0.013 || 0.000 Health and Environmental
Effects The contents of an opened Li-ion battery
can cause serious chemical burns; N-methyl pyrrolidinone, ethylene carbonate,
ethyl methyl carbonate, dimethyl carbonate, and biphenyl may be absorbed
through the skin causing localized inflammation. Li-ion batteries do not contain cadmium.
Thus similar to the situation with NiMH, also with Li-ion batteries the most
dangerous metal is nickel. However, Li-ion batteries with Lithium
hexfluorophosphate (LiPF6) contain an additional substance of major
concern. Lithium hexafluorophosphate (LiPF6) is very destructive to mucous membranes.
Harmful if swallowed, inhaled, or absorbed through skin.[19] Lithium-hexfluorophosphate
forms fluoric acid in contact with water which in turn: –
Is very toxic by inhalation, in contact with
skin and if swallowed –
Causes severe burns [JRC 2009]. In addition to the
substances discussed heretofore, Li-ion batteries may also contain following
chemical compounds: –
Lithium cobalte oxide : CAS-Nr. 12190-79-3; Xn; R:
42/43 –
Acetylene black is listed as possible
carcinogens by the International Agency for Research on Cancer (IARC)
[Lebensministerium 2007]. –
Manganese dioxide MnO2: CAS-Nr. 1313-13-9; Xn;
R20/22 - harmful by inhalation or ingestion – (limit: 25 % - Xn, sum of harmful
substances) –
Lithium tetrafluoroborate LiBF4: CAS-Nr
14283-07-9; C corrosive - causes burns; R20 R21 R22 R31 R34 - harmful, if
swallowed or inhaled, and in contact with skin; very destructive of mucous
membranes. Toxicology not fully investigated. UN No 3260. Packing group II.
Major hazard class 8 –
Lithium trifluoromethanesulfonate: CAS-Nr
33454-82-9; Xi – irritant; R 36/37/38 Irritating to eyes, respiratory system
and skin. –
Lithium perchlorate LiClO4: CAS-Nr 7791-03-9;
strong oxidizer - contact with combustible material may cause fire;
incompatible with organic materials, combustible materials, strong reducing
agents; R 36/37/38 Irritating to eyes, respiratory system and skin. –
Biphenyl: CAS-Nr 92-52-4, R36/37/38-50/53; Xi, N
(irritant – limit 20%); German Water Pollution Class 2 –
N-Methyl-2-pyrrolidinone: CAS-Nr 872-50-4; Xi; R
36/38 [Lebensministerium 2007] In spite of having extensive protection
equipment EPTA[20]
classifies Li-ion power packs as not being abuse tolerant. Nevertheless, also
with Li-ion batteries the highest health and environmental risks likely occur
during the mining and recovery phase as well as during the waste collection and
the waste treatment phase. 4. Consequences of a ban NiCd batteries for use in
CPTs for health and environment Table 32 directly compares the materials
necessary for providing the same amount of life-time energy by either NiCd,
NiMH or Li-ion batteries as can be provided by the NiCd batteries sold in
Europe for CPTs in 2008. Table 32 : Materials contained in the 13,200 tonnes of NiCd
batteries sold in Europe in 2008 for use in CPTs and materials which would be
necessary to replace NiCd batteries either by 22,500 tonnes of NiMH batteries
or by 14,800 tonnes of Li-ion batteries [EC 2003, ERM 2006, EPBA 2007, VARTA
2008, USGS 2009] Material || NiCd || NiMH || Li-ion Mass of all 2008 NiCd cells in t || % of year 2008 global metal production || Mass of all NiMH cells necessary to replace NiCd in t/a || % of year 2008 global metal production || Mass of all Li-ion cells necessary to replace NiCd in t/a || % of year 2008 global metal production Aluminium (Al) || . || || 225 || 0.00 || 1,845 || 0.00 Cadmium (Cd) || 2,200 || 10.58 || || || || Cobalt (Co) || 79 || 0.11 || 830 || 1.16 || 2,697 || 3.76 Copper (Cu) || . || || || || 1,476 || 0.01 Iron (Fe) and steel || 4,576 || 0.00 || 6,103 || 0.00 || 2,720 || 0.00 Lithium (Li) || . || || 225 || 0.82 || 429 || 1.57 Manganese (Mn) || 11 || 0.00 || 332 || 0.00 || || Nickel (Ni) || 2,508 || 0.16 || 7,425 || 0.46 || 1,993 || 0.12 Zinc (Zn) || 8 || 0.00 || 375 || 0.00 || || Mischmetal alloy / lanthanides (calculated as rare- earth oxides) || . || || 2,400 || 1.94 || || Carbon/Graphite || . || || || || 1,993 || 0.18 Carbonate ester || . || || || || 612 || Lithium hexafluorophosphate (LiPF6) || . || || || || 835 || Poly(vinylidene fluoride) (PVDF) || . || || || || 221 || Alkali (KOH) || 264 || || 1,125 || || || Plastics || 1,320 || || 1,575 || || || Water || 660 || || 1,800 || || || Other non metals || 1,574 || || 85 || || || Total (rounded) || 13,200 || || 22,500 || || 14,800 || of which Fluorine || . || || || || 758 || 0.06 The numbers of Table 32 show: ·
When only NiMH batteries replaced the NiCd
batteries in European Cordless Power Tools, –
2,200 t/year of very toxic (also and especially
to aquatic organisms), accumulating and category 2 carcinogenic cadmium would be replaced by roughly: –
4,900 t/year [21]
of toxic and category 3 carcinogenic nickel –
750 t/year[22]
of harmful cobalt and –
2,400 t/year of low to moderate toxic mischmetal
alloy. ·
When only Li-ion batteries replaced the NiCd
batteries, –
2,200 t/year of very toxic (also and especially
to aquatic organisms), accumulating and category 2 carcinogenic cadmium would be replaced by roughly: –
835 t/year of very toxic lithium
hexafluorophosphate (or 1,600 t of fluorine) and –
2,600 t/year[23]
of harmful cobalt. All three technologies, NiCd batteries, NiMH
batteries and Li-ion batteries contain hazardous substances. By far the most
hazardous substance to health and environment, however, is the cadmium
contained only in the NiCd batteries. In 2003 a “Targeted Risk Assessment Report
(TRAR) on the use of cadmium oxide in batteries” was circulated, showing the
results of life cycle analysis on cadmium emissions in EU-15. Table shows that
the emissions related to NiCd batteries would be small compared to the
emissions from oil/coal combustion, iron and steel production or phosphate
fertilizers. Thus NiCd batteries would only be responsible for 1.35 % of the
atmospheric cadmium emissions, 1.51 % of the cadmium emissions into water and
0.65 % of the total emissions ([EC 2003b] cited in [Recharge 2004]). Lacking the publication of the underlying
assumptions it is not possible to evaluate the results of the TRAR shown in
Table 33. It, for example, would be necessary to know, how the different
behaviour of cadmium in fertilizers (release of cadmium immediately after
distributing the fertiliser on the field) and in landfills (release over
decades and possibly even centuries) was modelled. In any case the
picture drawn by Table 33 would very likely change dramatically: –
when taking into account also the new EU -
Member States (in which the landfilling of untreated residual household waste
is still common practice and thus the rate of cadmium emissions from landfills
much higher) and –
when taking into account also the first steps of
the NiCd-batteries’ life cycles which occur outside Europe, that is during the
mining and processing of cadmium and during the preparation of the NiCd-cells
in countries which do not have the environmental protection standards of the
EU. Based on the fact that 1 % of the cadmium
which is brought into Austria is emitted over its lifetime, it can be estimated
that the total cadmium emissions connected to NiCd batteries for CPTs over its
total lifetime is also some 1 % of the cadmium contained in these batteries.
This results in an amount of cadmium emissions of 22 tonnes connected to the
2,200 tonnes of cadmium brought into the European Union in 2008 by NiCd
batteries for CPTs. A big share of these emissions occurs outside the European
Union e.g. during processes related to mining, processing, manufacturing and
transport of the cadmium.[24] Irrespective of these considerations, NiCd
batteries used in Europe in CPTs are responsible for 10.5 % of the total
cadmium which is brought into the economy worldwide intentionally. A ban of
NiCd batteries in CPT would substantially reduce the amount of cadmium brought
into the European economy and used in everyday products and the corresponding
risk of cadmium releases to the environment. Table 33: Annual cadmium emissions in EU-15 by source ([EC 2003b] cited
in [Recharge 2004])[25] || Emission per sector/process/technology || NiCd Battery contribution Tonnes per year || Tonnes per year || % of total Atmospheric emissions Cd alloys || 0,82 || || Cd/CdO Production || 3,90 || || Non-ferous metals || 9,70 || || Iron & steel || 31,00 || || Oil/coal combustion || 54,00 || || Phosphate process || 0,70 || || Municipal solid waste incineration || 3,20 || 1,62 || 1,31 Wood/peat combustion || 1,70 || || Others || 19,00 || || NiCd batteries production and recycling || 0,05 || 0,05 || 0,04 Total atmospheric emissions || 124,07 || 1,67 || 1,35 Emissions into water Cd plating || 0,20 || || Cd/CdO Production || 1,20 || || Non-ferous metals || 9,70 || || Iron & steel || 15,60 || || Oil/coal combustion || 0,10 || || Phosphate process || 9,10 || || Municipal solid waste incineration || 0,35 || 0,18 || 0,46 Metal mining || 1,10 || || Others (chemical industry, waste treatment) || 1,20 || || Landfill leaching || 0,55 || 0,34 || 0,87 NiCd batteries production and recycling || 0,07 || 0,07 || 0,18 Total emissions into water || 39,17 || 0,59 || 1,51 Agricultural soil emissions Phosphate fertilizers || 231,00 || || Sludge from municipal sewage treatment plants || 13,60 || 0,38 || 0,16 NiCd batteries production and recycling || Not relevant || || Total Agricultural soil || 244,60 || 0,38 || 0,16 Total cadmium emissions || 407,84 || 2,64 || 0,65 Current market developments let expect that
the NiCd batteries would be replaced by NiMH batteries in existing cordless
power tools and by Li-ion batteries in new cordless power tools. This would for
some years increase the nickel- and mischmetal-alloy (rare-earth) turnover and
on the long term the cobalt, lithium and fluorine turnover. The high chemical reactivity of the Li-ion
system in general and of lithium hexafluorophosphat in special is a matter of
concern especially for the collection and treatment of power packs and power
pack containing waste. As Li-ion cells, however, are ubiquitous due to use in
information and communication technology, appropriate waste treatment systems
have to be introduced anyway. Weighing the benefits of reduced cadmium
turnover against the impacts from temporarily increased nickel, mischmetal
alloy, and long term cobalt, lithium and fluorine turnover, it can be concluded
that a ban of NiCd batteries intended for use in cordless power tools (CPT)
will be beneficial for the environment and human health. Main
raw materials used in alternative batteries for CPT Option 1 The main raw materials used in alternative
batteries (to NiCd batteries) for CPT are Cobalt, Lithium, Nickel and
Rare-earth oxides. The global market of these metals (which
includes their use in CPT batteries and all other possible uses) in 2008 is
presented below: Material || Global markets in tonnes/annum Cobalt || 71 685 Lithium || 27 440 Nickel || 1 614 130 Rare-earth oxides || 123 710 The contribution to the global consumption
of above raw materials resulting from the use of batteries in CPT in
EU in 2008 is presented below: Material || Market share of Batteries used in CPTs Cobalt || 1.71% Lithium || 0.71% Nickel || 0.27% Rare-earth oxides || 0.25% Option 2 It is estimated that over the period of
2013-2025, it will impact on an average annual basis the overall worldwide
market of other metals as per following: –
Cobalt market: increase by 0.796% –
Lithium market: increase by 0.374% –
Nickel market: decrease by 0.012% –
The rare-earths market: increase by 0.124% It is clear from above that the impact on
the global demand of raw materials resulting from the withdrawal of current
exemption to NiCd battery use in CPT is almost insignificant (less than 1% for
all of them). It can therefore be assumed that supply of these raw materials
will not be limited due to the withdrawal of current exemption to NiCd battery
use in CPT in EU in 2013. Option 3 It is estimated that over the period of 2016-2025,
it will impact on an average annual basis the overall worldwide market of other
metals as per following: –
Cobalt market: increase by 0.723% –
Lithium market: increase by 0.340% –
Nickel market: decrease by 0.011% –
The rare-earths market: increase by 0.113% It is clear from above that the impact on
the global demand of raw materials resulting from the withdrawal of current
exemption to NiCd battery use in CPT is almost insignificant (less than 1% for
all of them). It can therefore be assumed that supply of these raw materials
will not be limited due to the withdrawal of current exemption to NiCd battery
use in CPT in EU in 2016. [1] European Union Risk Assessment Report, Cadmium metal,
2007 [2] Source: CollectNiCad, 2002a,
revised July 2002, in Cadmium Risk Assessment Report, 2007 [3] M. Rantik
(1999), Life Cycle Assessment of five batteries for electric vehicles in
different charging regimes, Chalmers University, KFB [4] M. Rantik (1999), Life Cycle Assessment of five batteries
for electric vehicles in different charging regimes, Chalmers University, KFB [5] Calculation
based on the BOM provided in [136], BIO study (2011) [6] Calculation based on the BOM provided in [136], BIO study (2011) [7] Calculation based on the BOM provided in
[136], BIO study (2011) [8] ESWI study (2010) [9] See ESWI study (2010), [Recharge 2009]: Wiaux, Jean-Pol. Comments on Alternative Technologies of Portable
Batteries used in Cordless Power Tools. Recharge, Brussels, October 2009. [10] See ESWI
study (2010), [EPTA 2009 b]: EPTA - European Power Tool Association, Cooke, B.,
personal communication 15.10.2009. [11] European
Commission, Commission Staff Working Paper, Directive of the European
Parliament and of the Council on Batteries and Accumulators and
Spent Batteries and Accumulators, Extended Impact Assessment,
{COM(2003)723 final} [12] See ESWI study (2010), [EPTA 2009] [13] ESWI study (2010) [14] ESWI
study (2010), [JRC 2009], JRC
– Joint Research Centre, European Chemical Substances Information
System (ESIS), European Inventory of Existing Commercial Chemical Substances,
Sevilla, http://ecb.jrc.ec.europa.eu/esis/,
accessed 13.10.2009. [15] ESWI
study (2010), [JRC 2009], JRC
– Joint Research Centre, European Chemical Substances Information
System (ESIS), European Inventory of Existing Commercial Chemical Substances,
Sevilla, http://ecb.jrc.ec.europa.eu/esis/,
accessed 13.10.2009. [16] ESWI study (2010) [17] See ESWI study (2010), [VARTA 2008] [18] See ESWI study (2010), [EPTA 2009b] [19] ESWI study (2010) [20] See ESWI study (2010), [EPTA 2009b] [21] 4,900 t is the difference of 7,425 t in NiMH batteries
and 2,508 t in NiCd batteries [22] 750 t is the difference of 830 t in NiMH batteries and
79 t in NiCd batteries [23] 2,600 t is the difference of 2,697 t in Li-ion
batteries and 79 t in NiCd batteries [24] ESWI study (2010) [25] ESWI study (2010)