Ian T.
Cousins†
*a,
Gretta
Goldenman
b,
Dorte
Herzke
c,
Rainer
Lohmann
d,
Mark
Miller
e,
Carla A.
Ng
f,
Sharyle
Patton
g,
Martin
Scheringer
h,
Xenia
Trier
i,
Lena
Vierke
j,
Zhanyun
Wang
k and
Jamie C.
DeWitt
l
aDepartment of Environmental Science and Analytical Chemistry (ACES), Stockholm University, SE-10691, Sweden. E-mail: ian.cousins@aces.su.se
bMilieu, Brussels, Belgium
cNILU, Norwegian Institute for Air Research, Tromsø, Norway
dGraduate School of Oceanography, University of Rhode Island, Narragansett, RI, USA
eNational Institute of Environmental Health Sciences, U.S. Public Health Service, Research Triangle Park, NC, USA
fDepartment of Civil and Environmental Engineering, University of Pittsburgh, Pittsburgh, PA 15261, USA
gHealth and Environment Program Commonweal, CA, USA
hInstitute of Biogeochemistry and Pollutant Dynamics, ETH Zürich, 8092 Zürich, Switzerland
iDTU Technical University of Denmark, Copenhagen, Denmark
jGerman Environment Agency (UBA), Dessau-Roßlau, Germany
kChair of Ecological Systems Design, Institute of Environmental Engineering, ETH Zürich, 8093 Zürich, Switzerland
lEast Carolina University, Greenville, NC, USA
First published on 28th May 2019
Because of the extreme persistence of per- and polyfluoroalkyl substances (PFASs) and their associated risks, the Madrid Statement argues for stopping their use where they are deemed not essential or when safer alternatives exist. To determine when uses of PFASs have an essential function in modern society, and when they do not, is not an easy task. Here, we: (1) develop the concept of “essential use” based on an existing approach described in the Montreal Protocol, (2) apply the concept to various uses of PFASs to determine the feasibility of elimination or substitution of PFASs in each use category, and (3) outline the challenges for phasing out uses of PFASs in society. In brief, we developed three distinct categories to describe the different levels of essentiality of individual uses. A phase-out of many uses of PFASs can be implemented because they are not necessary for the betterment of society in terms of health and safety, or because functional alternatives are currently available that can be substituted into these products or applications. Some specific uses of PFASs would be considered essential because they provide for vital functions and are currently without established alternatives. However, this essentiality should not be considered as permanent; rather, constant efforts are needed to search for alternatives. We provide a description of several ongoing uses of PFASs and discuss whether these uses are essential or non-essential according to the three essentiality categories. It is not possible to describe each use case of PFASs in detail in this single article. For follow-up work, we suggest further refining the assessment of the use cases of PFASs covered here, where necessary, and expanding the application of this concept to all other uses of PFASs. The concept of essential use can also be applied in the management of other chemicals, or groups of chemicals, of concern.
Environmental significancePFASs are manmade organic contaminants that can be found everywhere in the global environment, largely as a result of their high persistence and wide use. Based on concerns regarding their high persistence and other hazardous properties, it has been argued that the production and use of PFASs should be limited to essential uses only. In this paper, we translate the concept of “essential uses” or “essentiality” into three criteria to determine when uses of PFASs are essential, or not, and demonstrate how the criteria can be applied to different use cases of PFASs. This approach can inform and encourage manufacturers, retailers and end users to consider phasing out and substituting uses of PFASs. Thus, the uses and related emissions of PFASs can be systematically limited and the long-term harm to human health and the environment can be avoided. |
Since 2000 there have been a number of voluntary industry phase-outs and regulatory actions to cease the manufacture and use of long-chain perfluoroalkyl acids (PFAAs; defined as including perfluoroalkane sulfonic acids (PFSAs) with perfluoroalkyl chains containing 6 carbons or more, and perfluoroalkyl carboxylic acids (PFCAs) with perfluoroalkyl chains containing 7 carbons or more) and their precursors, which can transform in the environment or within organisms to long-chain PFAAs. The most common replacements for the above defined long-chain PFAS chemistries are shorter-chain PFASs, e.g. PFAAs with fewer fluorinated carbons than long-chain PFAAs, and perfluoroether-based substances (PFASs with perfluoroalkyl segments joined by ether linkages).4 Although some of these replacement PFASs are less bioaccumulative, they are all similarly highly persistent in the environment as their predecessors.5,6 PFAAs which are considered short-chain and non-bioaccumulative may also lead to high internal concentrations if people are continuously exposed to high levels. Moreover, short-chain PFAAs, such as perfluorobutanoic acid (PFBA) and PFHxA, tend to be highly mobile and to move readily into ground and surface waters once released to the environment where they can reside for decades to centuries.7–10 As a result of their high environmental persistence, widespread use and release of any PFAS, even polymeric PFASs,11 will lead to irreversible global contamination and exposure of wildlife and humans, with currently unknown consequences.12–14
Based on concerns regarding the high persistence of PFASs and the lack of knowledge on chemical structures, properties, uses, and toxicological profiles of most PFASs currently in use, it has been argued by more than 200 scientists in the Madrid Statement that the production and use of PFASs should be limited.12 Indeed, in the textile sector, some brand names and retailers have recognized the problems associated with PFASs and have already taken significant steps to phase out all uses of PFASs in their consumer products.15–18
It is neither practical nor reasonable to ban all uses of PFASs in one step. Some specific applications may serve a critical role for which alternatives currently do not exist. However, if some uses of PFASs are found not to be essential to health, safety or the functioning of today's society, they could be eliminated without having to first find functional alternatives providing an adequate function and performance. Elimination of non-essential uses of PFASs could form a starting point for a process that leads to a global phase-out (e.g. through the Stockholm Convention on Persistent Organic Pollutants). To critically evaluate the idea that PFASs are essential in modern society, the essentiality of PFASs should be carefully tested against the available evidence for each of their uses. Given the thousands of PFASs on the market and their many uses, this is a formidable but necessary task. Before proceeding in this task, a definition of essentiality, or essential use, is needed. If PFASs are considered non-essential in a given use, then a phase-out of PFASs from that use can be implemented. The aims and structure of this paper are therefore to: (1) define the concept of essential use or essentiality, (2) apply the concept to various use categories of PFASs to determine the feasibility of limiting use, as showcases of the concept, and (3) outline the remaining challenges for phasing out uses of PFASs in society and provide recommendations for further work. It is not our intention to conduct conclusive assessments for our selected use cases of PFASs on the individual use level. Follow-up work may be needed to cover each use case in more detail, where necessary, and to expand the application of the concept to all other uses of PFASs.
Category | Definition | PFAS examples |
---|---|---|
a This essentiality should not be considered permanent; rather, a constant pressure is needed to search for alternatives in order to move these uses into category 2 above. | ||
(1) “Non-essential” | Uses that are not essential for health and safety, and the functioning of society. The use of substances is driven primarily by market opportunity | Dental floss, water-repellent surfer shorts, ski waxes |
(2) “Substitutable” | Uses that have come to be regarded as essential because they perform important functions, but where alternatives to the substances have now been developed that have equivalent functionality and adequate performance, which makes those uses of the substances no longer essential | Most uses of AFFFs, certain water-resistant textiles |
(3) “Essential” | Uses considered essential because they are necessary for health or safety or other highly important purposes and for which alternatives are not yet establisheda | Certain medical devices, occupational protective clothing |
For uses in category 1 (“non-essential” uses), a phase-out via a ban or restriction of PFASs can be prepared because these uses are not necessary for the betterment of society in terms of health, safety and functioning. The technical function of the PFAS (if it has one) in the use case could be considered “nice to have” (e.g. non-stick frying pans) but it is not essential. In many cases the “nice to have” function can be fulfilled through substitution with fluorine-free alternatives. Even where there are no alternatives to PFAS for providing the “nice to have” function, the use case can be banned or phased out because it is not essential.
Uses in category 2 (“substitutable” uses) fulfill important functions but are assessed to be non-essential because there are alternatives available that can be substituted into these products or applications and provide the necessary technical function and performance. It may be needed to make the alternatives more well-known and more easily available, but there is no fundamental obstacle to removing PFASs from these uses. Upon increased market uptake, the costs can be expected to decrease.20,21
Uses in category 3 (“essential” uses) are considered necessary and currently have no established alternatives to PFASs that provide the necessary technical function and performance. Innovative research and development may be needed to identify chemical or engineering alternatives and to make them technically and economically feasible. By identifying these opportunities, strong market incentives will be created for industry to develop such alternatives. In support of this approach research and innovation funding could be made available specifically for this purpose, and to support start-up companies that intend to develop and market new alternatives.
Implementation of this conceptual framework could give rise to ‘grey zones’ where it may not be straightforward to assign a use to a particular category. For example, a grey zone might appear between categories 1 and 2 because some uses of PFASs may be considered as nice-to-have by some (stain-proof and waterproof outdoor jacket for everyday use) and as necessary by others. Similarly, a grey zone could turn up between categories 2 and 3 because the availability and performance of alternatives is being debated (e.g. AFFFs used by the military for extinguishing fuel fires). In order to avoid/minimize such ‘grey zones’ in the implementation of this conceptual framework, clear criteria and relevant processes need to be pre-defined. This would require follow-up work that is beyond the scope of the present paper.
Technical performance standards may play a role in defining whether the use of PFASs is or is not considered “essential” in certain cases. Technical performance standards are detailed specifications concerning how a product should perform in certain circumstances and are often voluntary. However, they may be used to define whether a product is of sufficient quality to be placed on the market or to be purchased through public procurement. For example, some European Union product-related legislation sets so-called “essential requirements” for certain products and then delegates the task of defining how to meet those requirements to European standard-setting bodies, such as the European Committee for Standardization (CEN). The International Standardization Organization (ISO) and national bodies such as the German Technischer Überwachungsverein (TÜV) may also set certification requirements that may be important in the design of the product performance, and how to demonstrate it. The case studies below provide several examples of how technical standards may affect whether a use of PFASs is “essential” or not.
From July 2020 onwards, PFOA and related substances (e.g. substances which might form PFOA in the environment) will be banned in all products sold in the EU, including ski waxes, due to its recent addition to the REACH Annex XVII list of restricted substances (entry 68). No essential use of PFASs in ski waxes was found in the restriction process and this use category is therefore clearly non-essential. Functioning hydrocarbon-based ski waxes were in use before the fluorinated waxes were introduced. The development of fluorinated waxes was driven by their exceptional technical performance and market opportunity. Fluorinated waxes provide a “nice to have” function that is not essential, and therefore this use case falls under category 1 in Table 1. However, European ski teams are continuing to use fluorinated waxes. The exception is Norway which in Oct 2018 announced that it has banned the use of fluorinated ski waxes in U16 categories in national competitions.27
Fluorine-free class B foams were first developed in the early 2000s by the 3M Company and since then many other companies have marketed fluorine-free class B foams.28 Many of the currently available fluorine-free foams meet the standard firefighting performance certifications applicable to PFAS-containing AFFF and related foams.28
Though some debate continues concerning whether PFAS-containing foams remain necessary for certain scenarios, e.g., fires at refineries or involving very large fuel tanks, in recent years, a number of commercial airports, chemical industry facilities, oil and gas platforms, fire brigades and some national defense forces around the world have switched to using fluorine-free foams based on demonstrated operational performance in extinguishing fuel fires. However, US military forces are currently prevented from switching to fluorine-free foams because the applicable technical standard MIL-F-24385F(SH) – though revised in 2017 to reduce PFOA and PFOS in AFFFs – still requires fluorinated chemistry in addition to setting a performance-based requirement. Note that in October 2018, the US Congress enacted a bill32 permitting civilian airports across the US to use non-fluorinated alternatives. Hydrocarbon-based foams have been shown to be biodegradable with only localized, short-term problems associated with their release during extinguishing fires or spillages. The silicone-based foams may contain low residual amounts of cyclic siloxanes (e.g. decamethylcyclopentasiloxane or D5), which have been judged to be persistent and bioaccumulative.33 Both D5 and D4 (octamethylcyclotetrasiloxane) are listed as Substances of Very High Concern under REACH, primarily because of their vPvB (very persistent, very bioaccumulative) properties.34
In summary, the fluorine-free foams that have been developed and improved since the early 2000s are promising from an operational perspective35–37 and also from an environmental and human health perspective. Some military maintain that only PFAS-containing AFFF can provide the necessary performance requirements, particularly in the case of large fuel fires. Because of ongoing debate, this use category therefore currently falls under category 2 or 3 in Table 1.
A variety of new non-fluorinated DWR alternatives has been developed to create repellent textile surfaces, with a variety of polymer architectures, including linear polyurethanes, hyper-branched polymers and nanoparticles.38 The functional moieties in terms of liquid repellency consist of either saturated alkyl chains (i.e. hydrocarbons) or polydimethylsiloxane (PDMS) chemistry (i.e. silicone polymers).38 Although hazards associated with non-fluorinated DWRs are not yet fully understood, the development of biodegradable alternatives is an important step. Similar to the silicone-based surfactants used in fire-fighting foams, the silicone-based DWRs may contain residual amounts of persistent cyclic siloxanes (e.g. D4 and D5).
Non-fluorinated DWRs have been shown to provide high water repellency equal to short-chain fluorinated polymers and are suitable substitutes for consumer outdoor clothing.39 Indeed, a number of leading brands already provide water-repellent outdoor jackets marketed as e.g. “fluorine-free”.
However, in the case of both non-polar and polar liquids with very low surface tension (such as olive oil or gastric fluid), so far only short-chain fluorinated polymers have been shown to provide effective protection.40 Such protection may be important in certain occupational settings where a specified level of performance is required.
Medical textiles are an example of where technical standards to protect human lives require a certain performance that may be difficult to meet without the use of PFASs. The European standard EN 13795 defines how the essential requirements set forth in the EU Medical Devices Directive (93/42/EEC)41 should be met with respect to surgical gowns, drapes and clean air suits. Along with setting performance requirements aimed at preventing the transmission of infectious agents between patients and medical staff, EN 13795 also stipulates the test methods for evaluating whether the performance requirement is met. The test method EN 2081142 – resistance to liquid penetration – measures the pressure at which water will penetrate the fabric and is used to determine whether the fabric will provide sufficient protection against contamination from penetration by e.g. bodily fluids. Current non-fluorinated DWRs may not provide sufficient liquid repellency for non-polar bodily fluids with low surface tension. An alternative is to use surgical gowns coated with a plastic laminate, which offer sufficient protection against biological fluids containing potentially harmful viruses and bacteria but may not be sufficiently breathable for longer operations.
Similarly, performance standards set by the US National Fire Prevention Association for protective clothing for firefighters and other emergency responders for water repellency, oil/stain repellency and breathability are currently not possible to meet without fluorinated chemistry. Other types of occupational clothing, e.g. in the oil and gas sector, may require a similar combination of water and oil/stain repellency as well as breathability. At least for now, these uses of PFASs may be considered essential and are, therefore, in category 3, until effective and safer alternatives are available.
In summary, non-fluorinated DWRs are available that provide good water repellency (and certain stain repellency) meeting consumer requirements and expectations for most outdoor apparel, casual wear, and business attire (category 2). In some cases, the use of fluorinated DWRs in textiles is “nice to have” (e.g. water-repellent surfer shorts), but is non-essential and falls under category 1. Only a few uses of PFAS in textiles, e.g. the occupational protective clothing market, where repellency of a wider range of liquids as well as breathability are necessary, fall under category 3 in Table 1. In those cases, innovative solutions are needed to provide non-fluorinated alternatives.
The types of fluorochemistry used to protect paper and board have changed over time.44 Initially, long-chain PFASs were used and were phased out in the 2000s.44 Current fluorinated paper and board products are largely based on “short-chain” fluorotelomer-based polymeric products, which are side-chain fluorinated polymers containing perfluoroalkyl side chains, typically with six perfluorinated carbons,44 and poly- and perfluoropolyethers.45–48
Despite reassurances by the chemical manufacturing industry that short-chain fluorinated products are safe, there is concern that PFASs will migrate into food and cause harm to human health.44 Non-fluorinated alternatives have subsequently entered the market in recent years. For example, COOP Denmark A/S, a Danish consumer goods retailer, has succeeded in completely removing PFASs from all its products since September 2014.49
Although the current polymer chemistry used in paper and board in food contact materials is similar to that used in textiles, paper and board are often made for single use, whereas textiles (e.g. outdoor jackets) need to be durable over the lifetime of a garment. However, some paper and board products need to provide repellency to oil for weeks to months (e.g. butter wrappers), whereas others (e.g. fast-food wrappers) only require oil repellency for a matter of minutes. The substitution strategies for paper and board are therefore different than for DWRs in textiles given the difference in materials and performance requirements, and may even be different among food contact applications.
There are generally two types of barriers against grease or fat for paper and board, a physical or a chemical barrier.44 A physical barrier preventing penetration of a liquid into the paper may be sufficient in certain types of single use applications. The chemical barrier, which is the approach used in fluorinated products, repels the grease in the food due to the very weak physico-chemical interaction between grease and paper surface. Two of the most common types of paper that provide a physical barrier against grease are Natural Greaseproof paper50 and vegetable parchment,51 providing a dense cellulose structure that prevents the grease from soaking into the paper. There are also various non-fluorinated chemical barriers that can provide similar repellency to grease as fluorinated repellents, including hydrocarbon- and silicone-based alternatives.52 A third alternative is to add physical barriers such as aluminum or plastic coatings to the paper to provide protection.53
In food production, PFASs are mainly used as non-stick fluoropolymer (e.g. PTFE) coatings of (metal) surfaces to lower friction (which protects the equipment from abrasion), to minimize adhesion (which allows better cleaning of surfaces), as non-stick- or heat- and acid-resistant fluoroelastomer membranes on conveyor belts, and as lubricant oils and greases in machinery.54–57 Many of the same uses exist in household kitchen utensils and appliances. These uses are described in industry patents and commercial materials,54 but the levels and types of PFASs have been studied only to a limited extent.58,59
Non-stick kitchenware is normally produced by either spraying or rolling layers of PTFE onto the surface of the kitchenware. One could argue that the non-stick is a “nice to have” function rather than an essential function given that it is possible to cook food without the non-stick functionality. If the non-stick coating is considered an essential function in a modern society, then other possible non-stick coatings are available, including: enamelled iron-, ceramic-, and anodized aluminium coatings.60
In summary, non-fluorinated alternatives have been historically available for all applications of paper-and-board food packaging and the use of fluorinated protective coatings has never been essential (category 1). For example, COOP, a major grocery retailer in Denmark, has found alternatives for all products that previously used PFASs.49,61 For non-stick cookware there are also non-fluorinated non-stick alternatives which work well in households and this is also not an essential function (category 1). In the food production industry non-fluorinated conveyor belts, lubricants and greases exist, but it is not clear currently whether functional alternatives to fluoropolymer protection against abrasion exist (categories 2 or 3).
In summary, the inclusion of fluoropolymers into medical devices confers several benefits and does not appear to pose substantial health risks to those who are exposed to these devices through procedures or who have received implants. However, the production and disposal of these devices will continue to lead to the release of PFASs into the environment unless steps are taken to eliminate environmental releases. The use of PFASs in medical devices falls under categories 1–3 in Table 1 (depending on specific use). However, due to limited information in the public domain, it is currently unclear if all medical devices need fluoropolymers or only certain types of medical devices need fluoropolymers.
Fluorination of pharmacological agents is often used to enhance their pharmacological effectiveness, increase their biological half-life, and improve their bioabsorption.66 Some agents are analogous to the long-chain PFASs, such as several types of artificial blood formulations and drugs for the lungs of prematurely born children (for example: perfluorooctyl bromide, an eight-carbon bromine-substituted PFAS67). However, most fluorine-containing pharmaceuticals have only one or two fluorine atoms. A smaller number of drugs contain one or two trifluoromethyl groups (–CF3), or the perfluoroalkyl moiety CnF2n+1 as defined by Buck et al. (2011).2 As these agents become more widely produced, prescribed, and used, disposal of these fluorinated drugs (e.g. through municipal wastewaters) is likely to lead to increasing environmental releases of various PFASs. A transformation product of nearly all of the anesthetics is trifluoroacetic acid (TFA or CF3COOH), which can arise from several metabolic or atmospheric degradation pathways68 and has been a cause of environmental concern.69–71
In summary, the addition of 1–3 fluorine atoms or trifluoromethyl groups to various pharmaceutical agents has improved their efficacy, half-lives, and bioabsorption and does not appear to pose substantial health risks to those who take them, relative to analogous non-fluorinated drugs. However, their production and disposal will continue to lead to the release of PFASs into the environment unless steps are taken to eliminate environmental releases. Releases of human metabolic excretion products may pose an additional environmental concern (contamination of water and greenhouse gases) as these drugs become more widely used. The uses of –CR2F, –CRF2, and –CF3 groups in pharmaceuticals should not be evaluated for essentiality as a single group, as specific applications will likely fall under either categories 2 or 3 in Table 1; there are functional non-PFAS alternatives for some pharmaceutical applications, whereas for other uses the pharmaceuticals have life-saving functions.
In the laboratory, there are easily identifiable fluoropolymer (e.g. PTFE) and fluoroelastomer-based products (e.g. Viton). Examples include the use of fluoropolymer-based vials, caps and tape, and fluoropolymers in the solvent degassers of liquid chromatography (LC) instruments. Non-PFAS replacements may be available, depending on the purpose. Personal protective equipment can also contain PFASs, including protective gloves and protective mist/anti-fog coatings of glass (e.g. PFPE). These applications can in general be substituted without major loss of functionality or performance; recommendations for PFAS-free alternatives are often provided as part of guidance to prevent cross-contamination when sampling or analyzing environmental matrices for PFAS.74–76
As part of field or laboratory collection of particles of different sizes, some filters are made of or are coated with PFASs to minimize sorption of compounds to the filter itself, such as glass fiber filters, or ultrafiltration filters. As an alternative plastic filters/vials with a low solid surface energy can be used (e.g. polypropylene (PP), polytetramethylene oxide (PTME) and polyamide (nylon)).46,77
More difficult to replace are fluoropolymer and fluoroelastomer seals (O-rings), and fluoropolymer-based tape within internal components of existing instrumentation. As a result of advances in analytical instrumentation, in particular ultra high-performance liquid chromatography (UHPLC), the use of fluoroelastomers is widespread as seals and membranes and PTFE as inert surfaces inside analytical instruments and in some cases as tubings. The tubing can be replaced by polyetheretherketone (PEEK) or stainless steel tubing without a loss of performance in most applications. Some applications rely on fluorinated solvents (e.g., trifluoroethanol) and acids (trifluoroacetic acid, pentafluorobutanoic acids etc.) added to reversed phase LC-MS solvents, and specialty LC-columns are based on fluorinated materials. Non-fluorinated alternatives exist for both these uses.
Perfluoropolyether-based lubricants are also used as oils and greases in pumps and equipment; this can cause laboratory background contamination. Oil-free pumps exist and are reducing the laboratory background contamination, which is beneficial for both the analyses and workers' health. To address concerns related to instrument contamination by PFASs, manufacturers offer a delay column to keep the instrument-borne PFASs from eluting with target analytes during the same time window.
For the vast majority of laboratory applications, PFAS alternatives have been used historically or have been newly developed. Therefore, most applications fall within categories 1–2 in Table 1 and i.e., they are non-essential and replaceable. A small number of current laboratory applications may fall within category 3 as being essential and without appropriate alternatives, and thus further innovation for effective substitution is required.
One of the earliest principal uses of Nafion was as a membrane in the chlor-alkali process, which is the large-scale industrial process that uses brine and electricity to produce the common chemical feedstocks, chlorine gas and sodium hydroxide.80 Historically these high-volume chemical commodities were prepared with brine in either asbestos diaphragm cells or mercury electrode cells. Both methods generate substantial quantities of hazardous wastes through either the mining and the fabrication of suitable asbestos membranes or the release of aqueous and volatile mercury wastes. Use of Nafion copolymer as a membrane in the electrochemical cell allows for excellent conductance of ions necessary for the process, while maintaining separation of the two parts of the cell under highly caustic conditions.
Perfluorosulfonic acid membranes are also used in high-efficiency fuel cells where, in one example, hydrogen and oxygen are pumped into different chambers within a cell that are separated by the membrane, giving rise to a continuous supply of electricity for various specialty applications. Perfluorosulfonic acid membranes are also used as an acid catalyst in a wide range of chemical conversions leading to decreased energy inputs and higher-purity products.
While it can be argued that perfluorosulfonic acid membranes have made many chemical preparation processes more efficient and cleaner, it is also important to acknowledge that the impacts from their production and use are still poorly understood. Research at one fluorochemical production site in Bladen County, North Carolina has documented that Nafion-related wastes have been released into the nearby Cape Fear River since at least 2012.81 Moreover, the relatively advanced drinking water treatment plant in the city of Wilmington, North Carolina, has been unable to remove these Nafion-related wastes82,83 giving rise to a situation where approximately 99% of the residents of Wilmington now have measurable concentrations of Nafion Byproduct 2 in their blood.84 No human health data are currently available for Nafion Byproduct 2, and the human half-life of this material is likely to be on the order of months to years.83 The production of perfluorosulfonic acid membranes has provided great utility by improving the efficiency of large-scale chemical syntheses while also reducing the emissions of other known hazardous byproducts (asbestos and mercury), but the current production process leads to the release of at least one persistent byproduct with near universal exposure in a downstream community.
The use of perfluorosulfonic acid membranes is currently judged to be category 3 (essential) in the chlor-alkali process. Before the use of Nafion, there were concerns for worker safety and the environment associated with mercury and asbestos. The use of Nafion as an alternative was the direct result of the chlor-alkali industry addressing these concerns. In the case of the use as a proton exchange membrane (PEM) in fuel cells, there are alternatives to perfluorosulfonic acid membranes,85 but these are under development and not used as commonly as Nafion (category 2). Although there is a lack of functional alternatives for certain applications, it is reasonable to insist that emissions of persistent and potentially toxic wastes from the production and use of perfluorosulfonic acid membranes be quantitatively determined and minimized.
Use | Table 1 Categorya |
---|---|
a Note that the categories in the above table represent the current evaluation and may change in the future. | |
Personal care products including cosmetics | 1 |
Ski waxes | 1 |
Fire-fighting foams (commercial airports) | 2 |
Fire-fighting foams (military) | 2 or 3 |
Apparel (medical: long operations) | 3 |
Apparel (protective clothing oil and gas industry) | 3 |
Apparel (medical: short operations, everyday) | 2 |
Apparel (military: occupational protection) | 2 or 3 |
Waterproof jacket (general use) | 2 |
Easy care clothing | 1 |
Food contact materials | 1, 2 or 3 |
Non-stick kitchenware (fluoropolymers) | 1 or 2 |
Medical devices (fluoropolymers) | 1, 2 or 3 |
Pharmaceuticals | 2 or 3 |
Laboratory supplies, equipment and instrumentation | 1, 2 or 3 |
Perfluorosulfonic membranes in fuel cells | 2 |
Perfluorosulfonic membranes in chlor-alkali process | 3 |
When considering chemical alternatives for PFASs, the focus should be on the service the product should deliver. The compound should therefore be evaluated for performance using the specifications required for the product, as opposed to comparing directly to the PFAS being replaced. Additionally, the potential for health hazard and potential for exposure – combined, these elements establish the health risks associated with the alternative – must be considered for the general public and vulnerable populations. Finally, additional considerations such as product longevity, persistence in the environment, and sustainability may be considered. Currently there are several established frameworks and evaluation metrics available for conducting alternative assessments.86,90 In the absence of a thorough evaluation, regrettable substitutions can occur.
Within the context of the EU REACH Regulation, it has been argued91 that the most effective way of regulating short-chain PFASs (as with the regulation of long-chain PFASs) is to identify them as Substances of Very High Concern under REACH Article 57, followed by a REACH Annex XVII restriction. Indeed, the EU has considered (e.g. in the case of the restriction of PFOA and its related chemicals), and is continuously considering ways to group PFASs in recognition of the impossibility of regulating more than 4700 PFASs individually.
Another relevant regulatory framework is the UN Stockholm Convention on Persistent Organic Pollutants, which includes exempted uses similar to the essential-use exemptions under the Montreal Protocol. Under the Convention, the Conference of the Parties (COP) considers listing new persistent organic pollutants for elimination (Annex A), or restriction (Annex B), and/or involuntary production (Annex C) based on a recommendation from the Convention's Persistent Organic Pollutants Review Committee (POPRC). The Convention requires that the COP, “taking due account of the recommendations of the Committee, including any scientific uncertainty, shall decide, in a precautionary manner, whether to list the chemical, and specify its related control measures, in Annexes A, B and/or C” (Art. 8, Para. 9). As part of its deliberation of whether to list a chemical, the COP also considers whether to allow for any “specific exemptions” and/or “acceptable purposes”. “Specific exemptions” is time-limited with one period of five years with the possibility of one extension for another five years, whereas the time period for the applicability of “acceptable purposes” is more open-ended.
Currently, there is no clearly defined criteria for identifying “specific exemptions” and “acceptable purposes” set in the text of the Stockholm Convention. Such “essential use-like” exemptions are primarily identified through the work of the POPRC on a case-by-case basis. However, the COP has subsequently adopted detailed criteria for consideration of requests to extend specific exemptions. For production exemptions, the requesting party must have submitted a justification for the continuing need for the exemption that establishes that the extension is necessary for health or safety, or is critical for the functioning of society; included a strategy in its national implementation plan aimed at phasing out the production for which the extension is requested as soon as is feasible; taken all feasible measures to minimize the production of the chemical and to prevent illegal production, human exposure and release into the environment; and the chemical must be unavailable in sufficient quantity and quality from existing stockpiles. Finally, in the case of a party with an economy in transition, the party must have requested technical or financial assistance pursuant to the Convention, in order to phase out as soon as feasible the production for which the extension is requested (see COP Decision SC-2/3, “Review process for entries in the Register of Specific Exemptions”92).
We are convinced that having clear legal guidelines for what constitutes an essential use (a process started in this present work) will benefit the Stockholm Convention and other regulatory frameworks by providing guidelines for determining how to apply the essential use-like exemptions, i.e., by balancing costs versus the societal benefits of the use of a substance or product. A clear definition of essential use ensures that only those applications that are necessary for health or safety (or other purposes highly important to society as a whole) and for which non-fluorinated alternatives are not yet available could receive exemptions when chemicals are listed under the Convention. Further, this approach would protect those uses that are legitimately deemed essential until appropriate substitutions can be identified.
In some cases, the PFASs in a product or use will be determined as the only compound capable of delivering the required level of performance for that application. In these cases, it is recognized that immediate phase out will not be feasible. But this assessment is only based on current technologies. With clear legislative incentives, new technologies will typically be developed, and consequently PFAS uses in category 3 should continue to be reviewed for potential removal or replacement by new entrants to the market. In fact, use cases identified as category 3 should be the targets of industry and academic programs to develop innovations that may succeed in removing or replacing the PFAS with more sustainable functional alternatives. This system creates a market pressure to be the first to develop new technologies.
Chemical regulation on the other hand progresses slowly compared to product innovation, and assessment of individual PFASs is not feasible for protecting public health. It is simply unlikely that society and industry will spend the money and time to generate adequate data to risk assess >4700 PFASs. Therefore, we strongly recommend a grouping approach be employed, and for PFASs to be regulated as a group. Since regulation of the many thousands of PFASs by authorities is likely to be time consuming, it is important for industry (in particular product designers and manufacturers) to take voluntary measures that will contribute substantially in reducing the emissions of PFASs and their presence in products. There have already been several examples of retailers who through private procurement have phased out PFASs from their supply chains (e.g. IKEA, Lindex, and H&M in Sweden,15,17,95 COOP in Denmark,61 Vaude in Germany,96 L'Oreal in France97), which in turn puts pressure on chemical manufacturers to find safer alternatives.
We are convinced that our criteria on essential use can inform and encourage other retailers to consider phasing out and substituting PFASs in their products. These types of voluntary measures will in turn help regulators by demonstrating that functional alternatives exist. When policy makers face stakeholder groups from both sides, they can use data-driven essentiality assessments to support their decision making, e.g., to show why certain uses are not necessary and therefore can be restricted. This will speed up regulatory actions in support of phasing out non-essential uses of PFASs, without risk to health or safety applications.
It is a formidable task to apply the essential use concept to all use cases of PFASs in detail. We have made a start here by illustrating how the concept can be applied to several use cases of PFASs, but to have a conclusive assessment for each use case described in this review, follow-up work may need to be covered in more detail (expanded, subdivided and refined) and engage relevant stakeholders with the necessary in-depth knowledge, where necessary. Although here we have focused on PFASs, the concept of essential use can also be applied in the management of other chemicals, or groups of chemicals, of concern.
Footnote |
† Currently working at the European Environment Agency, Copenhagen. |
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