ARTICLE
9 March 2026

Proposed EU-wide Restriction PFAS: Consultation To Be Held

M
Matheson

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Established in 1825 in Dublin, Ireland and with offices in Cork, London, New York, Palo Alto and San Francisco, more than 700 people work across Matheson’s six offices, including 96 partners and tax principals and over 470 legal and tax professionals. Matheson services the legal needs of internationally focused companies and financial institutions doing business in and from Ireland. Our clients include over half of the world’s 50 largest banks, 6 of the world’s 10 largest asset managers, 7 of the top 10 global technology brands and we have advised the majority of the Fortune 100.
The proposed restriction of PFAS across the EU continues to progress and could potentially impact various sectors, including for example aerospace and defence, automotive, aviation, food contact materials, textiles, leather and apparel, construction and household products, electronics, firefighting, food processing, and medical articles.
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The proposed restriction of PFAS across the EU continues to progress and could potentially impact various sectors, including for example aerospace and defence, automotive, aviation, food contact materials, textiles, leather and apparel, construction and household products, electronics, firefighting, food processing, and medical articles.

As a recap, the proposed restriction aims to address the risks to human health and the environment posed by the use of PFAS. The more than 10,000 substances in the scope of the proposed restriction are aligned with the OECD definition of PFAS being “any substance that contains at least one fully fluorinated methyl (CF3-) or methylene (-CF2-) carbon atom (without any H/Cl/Br/I attached to it)”. Included in the OECD definition but excluded from the scope of the proposed restriction are a few fully degradable PFAS subgroups that are described in the proposal by their key structural elements.

The Committee for Socio-Economic Analysis (SEAC) of the European Chemicals Agency (ECHA) is expected to agree its draft opinion on impacts on society of the proposed EU-wide restriction of PFAS at its meeting in March 2026.  Once this is done, the ECHA plans to launch a 60-day stakeholder consultation.  The information submitted via that consultation will be reviewed by the SEAC before it adopts its final opinion (expected by the end of 2026).

Separately, the ECHA Committee for Risk Assessment (RAC) is expected to adopt its opinion in March 2026. Once finalised the opinions of both ECHA committees will be sent to the European Commission for decision-making. It is expected that the final opinions, in combination with the Background Document, will give the European Commission the possibility to consider in its decision-making how to best address the different use sectors (14 sectors1 plus the additional eight2 sectors), PFAS manufacturing and horizontal issues.

Guidance for respondents to the ECHA consultation can be found here. A link to the consultation survey will be available on the ECHA’s website.

Timelines, as well as additional information in relation to PFAS, are available here.

We are continuing to monitor the progress of this proposed restriction.

Footnotes

1 Ski wax, consumer mixtures and miscellaneous consumer articles, cosmetics, metal plating and manufacture of metal products, food contact materials and packaging, TULAC (textiles, upholstery, leather, apparel and carpets), petroleum and mining, construction products, applications of fluorinated gases, transport, energy, medical devices, lubricants, electronics and semi-conductors – see Background Document (link below) for details on these sectors.

2 Printing applications, sealing applications, machinery applications, other medical applications, military applications, explosives, technical textiles, broader industrial uses – see Background Document (link below) for details on these sectors.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

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