Biostimulants legislation - regulatory support for biostimulants
Biostimulants legislation - regulatory support for biostimulants
  • HOME
  • BIOSTIMULANTS LEGISLATION
  • (BIO)PESTICIDES
  • CLASSIFICATION (CLP)
  • TRAININGS & GUIDES
  • CHEMICAL TESTING
  • SCIBASICS
  • CONTACT
  • FAQ
  • …  
    • HOME
    • BIOSTIMULANTS LEGISLATION
    • (BIO)PESTICIDES
    • CLASSIFICATION (CLP)
    • TRAININGS & GUIDES
    • CHEMICAL TESTING
    • SCIBASICS
    • CONTACT
    • FAQ
    Biostimulants legislation - regulatory support for biostimulants
    Biostimulants legislation - regulatory support for biostimulants
    • HOME
    • BIOSTIMULANTS LEGISLATION
    • (BIO)PESTICIDES
    • CLASSIFICATION (CLP)
    • TRAININGS & GUIDES
    • CHEMICAL TESTING
    • SCIBASICS
    • CONTACT
    • FAQ
    • …  
      • HOME
      • BIOSTIMULANTS LEGISLATION
      • (BIO)PESTICIDES
      • CLASSIFICATION (CLP)
      • TRAININGS & GUIDES
      • CHEMICAL TESTING
      • SCIBASICS
      • CONTACT
      • FAQ
      Biostimulants legislation - regulatory support for biostimulants

      EU Critical Raw Materials (CRM) Act published

      The EU CRM act has now been published. “Phosphate rock” and “Phosphorus” (meaning P4 ) are in the Critical Raw Materials List so are concerned by the policy measures below.

      They are not however in the “strategic raw materials” sub-list, so are not eligible for Strategic Projects, Joint Purchasing, recycling and supply targets.

      ESPP considers that this Act should support phosphorus stewardship and recycling by requiring monitoring, inciting national circularity measures and facilitating permitting of recycling projects.

      ESPP regrets that P4 is not included in the “Strategic” sub-list despite being essential for the specified “strategic” industry sectors (renewable energy, e.g. solar panels; batteries; data and electronics fire safety) and despite the EU’s 100% dependency on supply from three countries (China, Vietnam, Kazakhstan) – see joint industry declaration.

      ESPP notes Art. 4.1) which specifies that CRMs covers “raw materials, including in unprocessed form, at any stage of processing and when occurring as a by-product of other extraction, processing or recycling processes, … shall be considered critical raw materials”. The interpretation of this for “Phosphate rock” could be interesting (!).

      The following articles of the Act concern all CRMs (not only Strategic Raw Materials), so concern “Phosphate Rock” and “Phosphorus” (P4) :

      • 5.2: “incentivise technological progress and resource efficiency” of CRMs,
      • 9 and art. 2.14 (definitions): Member States must establish “Points of Single Contact” (can be more than one!) to facilitate and coordinate permitting of installations for “extraction, processing or recycling” of CRMs,
      • 13, art. 18: certain CRM project planning simplifications,
      • 19: national exploration programmes for CRM resources,
      • 20: EU monitoring of CRM trade flows and obstacles to trade, demand, supply and supply concentration, production, bottlenecks, price volatility. This monitoring information (aggregated) will be made publicly available,
      • 21: identification and monitoring of key CRM value chain operators,
      • 26.1: (within 2 years) national programmes for circularity of CRMs, including incentivising resource and materials efficiency, “collection, sorting and processing of waste with high critical raw materials recovery potential …” and “increase the use of secondary critical raw materials including through measures such as taking recycled content into account in award criteria related to public procurement or financial incentives for the use of secondary critical raw materials”, “increase the technological maturity of recycling technologies”, “support the use of Union quality standards for recycling processes of waste streams containing critical raw materials”, workforce upskilling …
      • 2.7: analysis of operating and closed sites to define CRM recovery potential from extractive waste (ESPP note: could concern phosphogypsum deposits),
      • 26.7: The Commission will adopt (by May 2025) implementing acts defining a “list of products … and waste streams … considered as having a relevant critical raw materials recovery potential”,
      • 30 and art. 31: possible sustainability certification and environmental footprint schemes for CRMs.
        EU Regulation 2024/1252 (11th April 2024) “establishing a framework for ensuring a secure and sustainable supply of critical raw materials” https://eur-lex.europa.eu/eli/reg/2024/1252/oj

      Source: https://www.phosphorusplatform.eu/scope-in-print/enews/2546-espp-enews-no-87-june-2024#_Toc167798645

      Previous
      Mandate to EFSA for Opinion on Category 1 Animal By...
      Next
      EGTOP Opinion on calcium phosphate from sewage sludge...
       Return to site
      Cookie Use
      We use cookies to improve browsing experience, security, and data collection. By accepting, you agree to the use of cookies for advertising and analytics. You can change your cookie settings at any time. Learn More
      Accept all
      Settings
      Decline All
      Cookie Settings
      Necessary Cookies
      These cookies enable core functionality such as security, network management, and accessibility. These cookies can’t be switched off.
      Analytics Cookies
      These cookies help us better understand how visitors interact with our website and help us discover errors.
      Preferences Cookies
      These cookies allow the website to remember choices you've made to provide enhanced functionality and personalization.
      Save