Cosmetics Europe

Trade and business associations · BE

Kategorija
Trade and business associations
Būstinė
Brussels BE
Registruota
2009-05-11
Deklaruotos metinės išlaidos
900 000–999 999 € (pačios deklaruota)
Svetainė
http://www.cosmeticseurope.eu/
Skaidrumo registras
83575061669-96 ↗
Susitikimai su EK
Pateiktos pozicijos
Pozicijos dokumentai
0
Paminėjimai spaudoje
Sumą deklaruoja pati organizacija Skaidrumo registre; institucijos jos netikrina.

Susitikimai pagal metus

201512019120201202162022620231202541202642

Šaltinis: Europos Komisijos skelbiami susitikimai, sutapatinti pagal skaidrumo registro numerį. n = 99 susitikimų; x — metai pagal susitikimo datą, y — susitikimų skaičius.

Susitikimai su Europos Komisija

Skelbiami tik susitikimai su Komisijos nariais, jų kabinetais ir generaliniais direktoriais. Susitikimai žemesniu lygiu ir daugelis kontaktų Parlamente bei Taryboje į registrą nepatenka.
DataPriėmėTema
2026-07-29Secretariat-GeneralDiscussion on upcoming policy initiatives
2026-07-08EnvironmentDialogue on Cosmetics Packaging Challenges.
2026-07-08EnvironmentDialogue on Cosmetics Packaging Challenges.
2026-06-30Justice and ConsumersExchange of views on Empowering Consumers for the Green Transition Directive and old stock situations
2026-06-30Cabinet of Commissioner Valdis DombrovskisBiotech Act 2
2026-06-30Justice and ConsumersExchange of views on Empowering Consumers for the Green Transition Directive and old stock situations
2026-06-30Justice and ConsumersExchange of views on Empowering Consumers for the Green Transition Directive and old stock situations
2026-06-25Internal Market, Industry, Entrepreneurship and SMEsTerritorial Supply Constraints (TSCs)
2026-06-22Cabinet of Commissioner Valdis DombrovskisCircular economy
2026-06-22Cabinet of Commissioner Valdis DombrovskisCircular economy
2026-06-22Cabinet of Commissioner Valdis DombrovskisCircular economy
2026-06-22Cabinet of Commissioner Valdis DombrovskisCircular economy
2026-06-04Justice and ConsumersExchange of views on Empowering Consumers for the Green Transition Directive (ECGT) and old stock products
2026-06-04Justice and ConsumersExchange of views on Empowering Consumers for the Green Transition Directive (ECGT) and old stock products
2026-06-04Justice and ConsumersExchange of views on Empowering Consumers for the Green Transition Directive (ECGT) and old stock products
2026-06-04Justice and ConsumersExchange of views on Empowering Consumers for the Green Transition Directive (ECGT) and old stock products
2026-06-04Justice and ConsumersExchange of views on Empowering Consumers for the Green Transition Directive (ECGT) and old stock products
2026-05-20TradeIn his mission letter Commissioner Maroš Šefčovič is tasked to “closely monitor the full enforcement of our trade agreements on market access and rules […]”.
2026-05-20TradeIn his mission letter Commissioner Maroš Šefčovič is tasked to “closely monitor the full enforcement of our trade agreements on market access and rules […]”.
2026-05-20TradeIn his mission letter Commissioner Maroš Šefčovič is tasked to “closely monitor the full enforcement of our trade agreements on market access and rules […]”.
2026-05-20TradeIn his mission letter Commissioner Maroš Šefčovič is tasked to “closely monitor the full enforcement of our trade agreements on market access and rules […]”.
2026-05-12Internal Market, Industry, Entrepreneurship and SMEs…1. Critical Chemicals Alliance and Bioeconomy 2. E-commerce 3. Territorial Supply Constraints and Unfair Trading Practices 4. Deforestation Regulation 1 5. Waste Water Treatment Directive
2026-04-29Justice and ConsumersExchange of views on Empowering Consumers for the Green Transition Directive (ECGT) and old stock products
2026-04-29Justice and ConsumersExchange of views on Empowering Consumers for the Green Transition Directive (ECGT) and old stock products
2026-04-29Justice and ConsumersExchange of views on Empowering Consumers for the Green Transition Directive (ECGT) and old stock products
2026-04-29Justice and ConsumersExchange of views on Empowering Consumers for the Green Transition Directive (ECGT) and old stock products
2026-04-20EnvironmentExtended Producer Responsibility (EPR) under the recast Urban Wastewater Treatment Directive and EU Deforestation Regulation
2026-03-24Cabinet of Commissioner Jessika RoswallUWWTD
2026-03-16Internal Market, Industry, Entrepreneurship and SMEsPFAS restriction under REACH and Cosmetic Products Regulation
2026-03-13Cabinet of Commissioner Jessika RoswallSite visit; sustainability in the cosmetics industry; challenges; focus on the Packaging and Packaging Waste Regulation, the revised Urban Wastewater Treatment Directive, digitalization of consumer information;…
2026-02-27Cabinet of Executive Vice-President Stéphane SéjournéFollow-up to the Cosmetics Industry Leadership Forum which took place in January 2026berl
2026-02-27Cabinet of Executive Vice-President Stéphane SéjournéFollow-up to the Cosmetics Industry Leadership Forum which took place in January 2026berl
2026-01-29Justice and ConsumersMeeting with EU Business associations on Empowering Consumers for the green transition directive and old stock products
2026-01-29Justice and ConsumersMeeting with EU Business associations on Empowering Consumers for the green transition directive and old stock products
2026-01-29Justice and ConsumersMeeting with EU Business associations on Empowering Consumers for the green transition directive and old stock products
2026-01-29Justice and ConsumersMeeting with EU Business associations on Empowering Consumers for the green transition directive and old stock products
2026-01-23Cabinet of Commissioner Valdis DombrovskisOmnibus IV and packaging waste regulation
2026-01-22EnvironmentThe CE – EFfCI Joint Position on Animal Testing Under EU REACH
2026-01-22EnvironmentThe CE – EFfCI Joint Position on Animal Testing Under EU REACH
2026-01-22EnvironmentThe CE – EFfCI Joint Position on Animal Testing Under EU REACH
2026-01-22EnvironmentThe CE – EFfCI Joint Position on Animal Testing Under EU REACH
2026-01-22EnvironmentThe CE – EFfCI Joint Position on Animal Testing Under EU REACH
2025-11-06Cabinet of Commissioner Valdis DombrovskisEnvironmental Omnibus
2025-11-06Internal Market, Industry, Entrepreneurship and SMEsPresentation of the Cosmetics Europe position in relation to the developments related in particular to the Commission Proposal on Simplification Omnibus VI on Chemicals
2025-11-06Cabinet of Commissioner Valdis DombrovskisSimplification
2025-09-30Cabinet of Commissioner Jessika RoswallOmnibus on Chemicals proposal, the upcoming REACH revision and the environmental omnibus.
2025-09-22EnvironmentUrban Wastewater Treatment Directive, REACH revision, animal testing
2025-06-12Cabinet of Commissioner Jessika RoswallUrban Waste Water Treatment Directive
2025-06-05Cabinet of Executive Vice-President Stéphane SéjournéChallenges faced by the European cosmetics industry and their impact on the competitiveness of the sector with the special focus on SMEs
2025-06-05Cabinet of Executive Vice-President Stéphane SéjournéChallenges faced by the European cosmetics industry and their impact on the competitiveness of the sector with the special focus on SMEs
2025-06-04TradeIn his mission letter Commissioner Maroš Šefčovič is tasked to “closely monitor the full enforcement of our trade agreements on market access and rules […]”.
2025-06-04TradeIn his mission letter Commissioner Maroš Šefčovič is tasked to “closely monitor the full enforcement of our trade agreements on market access and rules […]”.
2025-06-04TradeIn his mission letter Commissioner Maroš Šefčovič is tasked to “closely monitor the full enforcement of our trade agreements on market access and rules […]”.
2025-06-04TradeIn his mission letter Commissioner Maroš Šefčovič is tasked to “closely monitor the full enforcement of our trade agreements on market access and rules […]”.
2025-05-28EnvironmentProposal for the Directive on Green Claims
2025-05-19Secretariat-GeneralExchange of views on the revision of the Regulation on the registration, evaluation, authorisation and restriction of chemicals (REACH) and or general simplification issues
2025-05-12Internal Market, Industry, Entrepreneurship and SMEsExchange of views on the Commission’s simplification agenda
2025-05-12Internal Market, Industry, Entrepreneurship and SMEsExchange of views on the Commission’s simplification agenda
2025-05-05Cabinet of Commissioner Maroš ŠefčovičChallenges of the cosmetics industry
2025-05-05Cabinet of Commissioner Maroš ŠefčovičChallenges of the cosmetics industry
2025-04-10Internal Market, Industry, Entrepreneurship and SMEsImpact of US tariffs
2025-04-10Internal Market, Industry, Entrepreneurship and SMEsImpact of US tariffs
2025-04-10Cabinet of Executive Vice-President Stéphane SéjournéImpact of US tariffs
2025-04-10Cabinet of Executive Vice-President Stéphane SéjournéImpact of US tariffs
2025-04-10Internal Market, Industry, Entrepreneurship and SMEsImpact of US tariffs
2025-04-10Internal Market, Industry, Entrepreneurship and SMEsImpact of US tariffs
2025-04-09Cabinet of Commissioner Valdis DombrovskisCompetitiveness
2025-04-07Health and Food SafetyEvaluation of ethanol under the Biocidal Products Regulation (BPR)
2025-04-01TradeExchange of views on proposed EU countermeasures to US Section 232 tariffs on steel, aluminium, and derivative products
2025-03-24Cabinet of Commissioner Jessika RoswallImplementation of the Urban Waste Water Treatment Directive (UWWTD), revision of the REACH Regulation concerning substances used in cosmetic products
2025-03-18Cabinet of Commissioner Valdis DombrovskisUrban Waste Water Treatment Directive
2025-03-07EnvironmentExchange of views on the Green Claims Directive (“GCD”) and the Bioeconomy Strategy
2025-03-07EnvironmentExchange of views on the Green Claims Directive (“GCD”) and the Bioeconomy Strategy
2025-03-07EnvironmentExchange of views on the Green Claims Directive (“GCD”) and the Bioeconomy Strategy
2025-02-25Cabinet of Executive Vice-President Stéphane SéjournéUWTTD and others
2025-02-25Cabinet of Executive Vice-President Stéphane SéjournéUWTTD and others
2025-02-19EnvironmentDiscussion on the implementation of the recast Urban Wastewater Directive
2025-01-30Cabinet of Executive Vice-President Stéphane SéjournéUWWTD, REACH
2025-01-30Cabinet of Executive Vice-President Stéphane SéjournéUWWTD, REACH
2025-01-29Internal Market, Industry, Entrepreneurship and SMEsIncreasing numbers of harmonised classification of substances as carcinogens, mutagens and reprotoxicants category 1B and consequences for cosmetic products
2025-01-29Internal Market, Industry, Entrepreneurship and SMEsIncreasing numbers of harmonised classification of substances as carcinogens, mutagens and reprotoxicants category 1B and consequences for cosmetic products
2025-01-15Cabinet of Commissioner Jessika RoswallExchange on implementation of the European Green Deal legislation including on chemicals regulation and REACH and Urban Waste Water Treatment Directive
2025-01-09EnvironmentMeeting on UWWTD, Classification of substances, Cumulative impact assessment exercise, REACH, Animal testing, ECHA funding, ESPR, Green Claims
2023-10-23Cabinet of Commissioner Thierry BretonPackaging and packaging waste regulation, chemicals legislation
2022-10-13Cabinet of Commissioner Thierry BretonOverview of the situation of the European cosmetics industry, including in relation to the current energy crisis, and exchanges on upcoming legislative reforms affecting the cosmetics industry
2022-09-27Cabinet of Commissioner Virginijus SinkevičiusImplementation of the European Green Deal, in particular circular economy and chemicals policies
2022-09-27Cabinet of Commissioner Virginijus SinkevičiusImplementation of the European Green Deal, in particular circular economy and chemicals policies
2022-09-27Cabinet of Executive Vice-President Frans TimmermansImplementation of the European Green Deal, in particular circular economy and chemicals policies
2022-07-18Internal Market, Industry, Entrepreneurship and SMEsDiscuss the forthcoming revision of the Cosmetics Products Regulation
2022-03-01Cabinet of Commissioner Thierry BretonChemicals strategy; CLP Regulation
2021-05-05Cabinet of Commissioner Thierry BretonImplementation of the chemicals strategy for sustainability
2021-05-05Cabinet of Commissioner Thierry BretonImplementation of the chemicals strategy for sustainability
2021-05-05Cabinet of Commissioner Thierry BretonImplementation of the chemicals strategy for sustainability
2021-05-05Cabinet of Commissioner Thierry BretonImplementation of the chemicals strategy for sustainability
2021-05-05Cabinet of Commissioner Thierry BretonImplementation of the chemicals strategy for sustainability
2021-03-29Cabinet of Commissioner Thierry BretonREACH; microplastics
2020-05-07Internal Market, Industry, Entrepreneurship and SMEsDiscussion to introduce the cosmetics sector and certain issues of importance, especially in the current COVID-19 context
2019-12-10Internal Market, Industry, Entrepreneurship and SMEsCourtesy meeting to introduce themselves and present their priorities
2015-02-12Internal Market, Industry, Entrepreneurship and SMEsVision of Cosmetics industry - link with Europe and internal market

Ką pateikė viešoms konsultacijoms

2026-05-07 · Simplification of administrative burdens in environmental legislation ↗ originalus šaltinis
Please find attached Cosmetics Europe's contribution.
2025-09-10 · Simplification of administrative burdens in environmental legislation ↗ originalus šaltinis
Cosmetics Europe welcomes the initiative for an environmental omnibus to address administrative and reporting burden without jeopardising the objective of the EU environmental acquis. The omnibus is an opportunity to simplify and streamline obligations deriving from several pieces of EU environmental legislation. In the attached document, summarise our key recommendations regarding the UWWTD, ESPR, PPWR, EUDR, REACH, WFD, EPR schemes, and harmonisation of rules.
2023-04-21 · Review of the requirements for packaging and feasibility of measures to prevent packaging waste ↗ originalus šaltinis
Cosmetics Europe, the European trade association for the cosmetics and personal care industry, welcomes the European Commissions proposal for a Packaging and Packaging Waste Regulation (PPWR) and supports its overarching goals. In particular, we welcome the proposal for a Regulation with a full internal market legal basis as a way to increase the harmonisation across Member States. However, we remain concerned that many provisions in the text would allow Member States to introduce specific and divergent national requirements that would not guarantee the good functioning of the EU Single Market. In addition, we would like to raise the following points: - Considering the scarce availability…
2020-08-03 · Review of the requirements for packaging and feasibility of measures to prevent packaging waste ↗ originalus šaltinis
Cosmetics Europe represents the cosmetics and personal care industry in Europe. Ranging from antiperspirants, fragrances, make-up and shampoos, to soaps, sunscreens and toothpastes, cosmetics and personal care products play an essential role in in all stages of our life. European citizens use cosmetic products as part of their daily lives, serving their essential needs and expectations. These needs and expectations drive our industry as well as delivering innovative products that enhance consumers’ well-being and quality of life and boost their self- esteem. We welcome the European Commission’s European Green Deal announcement and share the overarching goals of the European Union to…

Ką rašo savo pozicijos dokumentuose

Ištraukos iš organizacijos pačios įkeltų dokumentų, be trumpinimų ir perpasakojimų.
Review of the requirements for packaging and feasibility of measures to prevent packaging waste · 7 p.

April 2023 Cosmetics Europe Position Paper on the Packaging and Packaging Waste Regulation (PPWR) Proposal Cosmetics Europe1, the European trade association for the cosmetics and personal care industry, welcomes the European Commission’s proposal for a Packaging and Packaging Waste Regulation (PPWR) and supports its overarching goals. The cosmetics and personal care industry in Europe is committed to improving the sustainability and circularity of our products’ packaging, as illustrated by the Commit for Our Planet initiative2. Launched in December 2022, the initiative encourages all cosmetics and personal care companies to take part in a joint industry effort to reduce greenhouse gas emissions, improve packaging solutions and act to preserve nature.

…in a joint industry effort to reduce greenhouse gas emissions, improve packaging solutions and act to preserve nature. As we innovate to reduce our environmental impact associated with packaging, we also have an opportunity to define what sustainable packaging looks like for the cosmetics industry, taking fully into account the primary responsibility of ensuring that consumer safety remains at the core of any policy initiative. KEY MESSAGES ➢ We welcome the proposal for a Regulation with a full internal market legal basis as a way to increase the harmonisation across Member States. However, we remain concerned that many provisions in the text would allow Member States to introduce specific and divergent national requirements that would not guarantee the good functioning of the EU Single Market.

…specific and divergent national requirements that would not guarantee the good functioning of the EU Single Market. ➢ The packaging of cosmetic products requires high quality secondary materials to ensure the highest standards of consumer safety, required by the EU Cosmetic Products Regulation. As such, it is imperative that the proposed definition of ‘contact sensitive packaging’, which includes in its scope cosmetic products, remains unchanged. ➢ Considering the scarce availability of high quality secondary raw materials required for contact sensitive packaging, the recycled content targets cannot be reached solely via mechanical recycling. Hence, advanced/chemical recycling should be clearly and explicitly recognised to give the necessary investment signal to scale up capacity for production in Europe.

…and explicitly recognised to give the necessary investment signal to scale up capacity for production in Europe. ➢ The Design for Recycling (DfR) criteria, to be established under the delegated act, shall consider the requirements for small components with due consideration to state of the art of collection, sorting and recycling processes. Very often small packaging is fully recyclable, but currently available waste sorting systems are not able to capture packaged small items, which are, in practice, not recycled as they get disregarded during the sorting of waste in the recycling facility. ➢ We support a target calculation for recycled plastic as an average of all plastic packaging placed on the EU market by an economic operator rather than per unit of packaging.

…an average of all plastic packaging placed on the EU market by an economic operator rather than per unit of packaging. ➢ Packaging performance criteria should ensure that the packaging volume and weight is limited to the minimum adequate amount for a given material and shape and in accordance with the definition of packaging in Article 3(1). Rules on packaging minimisation should not lead to packaging standardisation and should not undermine companies’ flexibility in the design of packaging. Realistic transition periods are needed for industry to ensure compliance with the new rules on packaging minimisation. 1 For more information on Cosmetics Europe, visit Cosmetics Europe - The Personal Care Association :: Home. 2 For more details on Commit for Our Planet, visit www.commitforourplanet.cosmeticseurope.eu. Ref.

Association :: Home. 2 For more details on Commit for Our Planet, visit www.commitforourplanet.cosmeticseurope.eu. Ref. Ares(2023)2840050 - 21/04/2023 2 ➢ We propose to define a different methodology for “single products” and “grouped packaging” under Article 21. Indeed, in case the consumer orders several products of different sizes (example: a 100ml perfume and a lipstick), this will inevitably create some additional “empty space” which is unavoidable. ➢ Maximum harmonization of labelling requirements should be the final aim of the PPWR proposal and the use of digital means should be fostered to strike a balance between the increased consumer information labelling requirements and the obligations of packaging minimisation. ➢ Manufacturers should be given adequate time to comply with new labelling requirements on pack or digitally.

➢ Manufacturers should be given adequate time to comply with new labelling requirements on pack or digitally. In addition, full stock disposal and exhaustion of packaging manufactured or imported before the application of the different obligations should be allowed so as not to cause waste. ➢ It is important that equal access to the high-quality recyclates is maintained for all sectors under the mandatory recycled content targets. Any sector or product category should not be discriminated or favoured in accessing secondary raw materials. ➢ Investments into collection, sorting and recycling infrastructure in the EU will be essential to achieve the sustainability requirements (e.g., recycled content targets) set by the Commission.

EU will be essential to achieve the sustainability requirements (e.g., recycled content targets) set by the Commission. Therefore, measures for the development of such infrastructure as well as a system capable of triggering investments should be introduced to reach the ambitious targets proposed, such as for instance collection targets. ➢ Many aspects in the proposal remain undefined and will only be developed via delegated acts at a later stage (e.g., the DfR criteria). To provide the industry with legal, planning and investment security, the Commission should start working on these aspects as soon as possible and involve stakeholders in the process; the deadlines for industry’s compliance should be linked to the publication of the delegated and implementing acts, and not to the publication of this Regulation. SPECIFIC REMARKS AND RECOMMENDATIONS3 1.

…and implementing acts, and not to the publication of this Regulation. SPECIFIC REMARKS AND RECOMMENDATIONS3 1. GENERAL PROVISIONS • Legal Basis and Harmonisation Preserve the full internal market legal basis to ensure harmonisation across Member States and remove provisions that foster internal market fragmentation. → Harmonised packaging and labelling rules across Member States are essential to the integrity of the Single Market. Over the past years, we have witnessed an increase in disparate national packaging requirements (e.g., unilateral packaging bans, national reuse and recycled content targets and labelling requirements) that have resulted in internal market barriers and negative impacts of the environment (e.g., destruction of stocks or unsold items).

…in internal market barriers and negative impacts of the environment (e.g., destruction of stocks or unsold items). These national legislations (e.g., the French Triman labelling requirements) often require many obligations from distributors and create tensions in their relationship with the cosmetics manufacturers. → We welcome the choice of a Regulation as legal instrument with a full internal market legal basis (Article 114 TFEU) which should be preserved throughout the Ordinary Legislative Procedure. Nevertheless, we are concerned about some proposed provisions allowing Member States to maintain or introduce specific requirements at national level (e.g., Art. 4 (5) on labelling requirements). We call for these provisions to be deleted to ensure harmonisation across all EU 27 Member States on packaging legislation.

…for these provisions to be deleted to ensure harmonisation across all EU 27 Member States on packaging legislation. 3 See the annexed document for all Cosmetics Europe proposed amendments on the PPWR. 3 • Definitions (Article 3) Maintain the inclusion of cosmetics under the proposed definition of “contact sensitive packaging”. → We welcome the inclusion of cosmetics under the contact sensitive category and consider it of paramount importance that cosmetic products remain under the proposed definition of “contact sensitive packaging”. Similar to food or healthcare products, cosmetics can be used for in-body usage (e.g., toothpaste) or as leave- on products (e.g., face cream).

…products, cosmetics can be used for in-body usage (e.g., toothpaste) or as leave- on products (e.g., face cream). Therefore, the packaging of cosmetic products requires a high quality of PCR plastic to ensure the highest standards of consumer safety, health & hygiene, as required by the EU Cosmetics Products Regulation, which is furthermore internationally recognised. Secure recognition of advanced/chemical recycling, within the scope of recycling, as complementary to mechanical recycling. →To meet the recycled content targets proposed and considering the scarce availability of high quality secondary raw materials required for contact sensitive packaging, it is essential to recognise advanced/chemical recycling where mechanical recycling cannot deliver the necessary quality of secondary material.

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originalus šaltinis (PDF) ↗

Review of the requirements for packaging and feasibility of measures to prevent packaging waste · 2 p.

Cosmetics Europe contribution to the EC roadmap public consultation on “Essential requirements for packaging and reduce (over)packaging and packaging waste” Cosmetics Europe represents the cosmetics and personal care industry in Europe. Ranging from antiperspirants, fragrances, make-up and shampoos, to soaps, sunscreens and toothpastes, cosmetics and personal care products play an essential role in in all stages of our life. European citizens use cosmetic products as part of their daily lives, serving their essential needs and expectations. These needs and expectations drive our industry as well as delivering innovative products that enhance consumers’ well-being and quality of life and boost their self- esteem.

…as delivering innovative products that enhance consumers’ well-being and quality of life and boost their self- esteem. We welcome the European Commission’s European Green Deal announcement and share the overarching goals of the European Union to mitigate the impact of climate change by 2050, contribute to the United Nations Sustainable Development Goals and enhance competitiveness and growth. In regard to the Commission’s roadmap on “Essential requirements for packaging and reduce (over)packaging and packaging waste”, Cosmetics Europe considers the following principles are critical elements for the upcoming European Commission policy discussion: • The European Single Market is one of the European Union’s greatest achievements, underpinning the competitiveness of European businesses and establishing the EU as a key global market and export partner to third countries.

…of European businesses and establishing the EU as a key global market and export partner to third countries. A level playing field must be ensured through the Single Market protection and harmonization. The gradual fragmentation of the Single Market must be prevented, and its smooth functioning and the free movement of goods, so vital to competitiveness and growth, must be assured by removing barriers. o A functioning Single Market for secondary raw materials with harmonised rules on packaging is key, as it allows the free movement of packaging and packaged goods in the European Union.

…rules on packaging is key, as it allows the free movement of packaging and packaged goods in the European Union. • Safeguarding the specificities of the cosmetics and personal care industry as regards product safety and protection of the consumers is paramount in the context of packaging’s functionality, namely its role in: a) Protecting the product and through it the safety of the consumer, b) Product application, enabling correct application and use of the product, c) Increasing shelf-life and contributing to product waste reduction, and d) Facilitating transport, handling and distribution. Measures to increase the recyclability and re-usability and/or to reduce waste generation must take into account the critical aspects of packaging for cosmetic products highlighted above.

…waste generation must take into account the critical aspects of packaging for cosmetic products highlighted above. • Any policy measures designed to stimulate demand for plastic recyclates must take into account the regulatory, technical, quality, and supply chain barriers to include recycled content within packaging for categories of products such as personal care products for which packaging delivers essential functionalities, as outlined above. Ref.

…products such as personal care products for which packaging delivers essential functionalities, as outlined above. Ref. Ares(2020)4079960 - 03/08/2020 • The cosmetic and personal care industry believes there is a need of strengthening the market for secondary raw materials through: o Optimal implementation and enforcement of existent legislation, o Establish harmonised collection and recycling systems across Europe, o Timely investment in Member States’ infrastructures for return/separate collection, sorting and recycling, o Availability of secondary raw materials at competitive prices and of appropriate quality ensuring consumer and product safety, based on EU-wide definitions of recyclability and minimum quality standards for recyclates.

…and product safety, based on EU-wide definitions of recyclability and minimum quality standards for recyclates. • A holistic assessment of the environmental impact of packaging whereby environmental performance is assessed throughout the entire life cycle of the packaged product is key. Mechanically recycled, chemically recycling and biobased plastics should be evaluated based to their circularity potential. Cosmetics Europe looks forward to contributing to the future policy discussions on the essential requirements for packaging and reduce (over)packaging and packaging waste. Max 4000 words with spaces

originalus šaltinis (PDF) ↗

Kokias ES temas nurodo sekanti

Files followed closely include:
- Cosmetic Products Regulation
- EU legislation on hazard classification, labelling and packaging of chemicals (CLP)
- Regulation concerning the Registration, Evaluation, Authorisation and Restriction of Chemicals (REACH)
- Alternatives to Animal Testing
- Circular Economy Action Plan
- Packaging and Packaging Waste Directive
- Urban Wastewater Treatment Directive
- Sustainable Products Initiative
- Empowering consumers in the green transition
- Substantiation of green claims
- Vertical Block Exemption Regulation
- Digital Services Act
- General Product Safety Regulation
- Labelling of fragrance allergens
- ECHA Basic Regulation
- Chemicals Omnibus