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In December 2022, the European Commission proposed a revision of the Regulation on the classification, labelling and packaging of substances and mixtures, one of the two cornerstones of the EU's framework regulating chemicals. The revision, announced in the EU chemicals strategy for sustainability, notably seeks to identify and classify hazardous chemicals more comprehensively; improve communication on chemical hazards and the notification of relevant information to poison centres for emergency health ...

In the absence of specific rules on claims regarding the 'green' nature of products, how can consumers be sure that such claims are reliable, comparable and verifiable throughout the EU? On 22 March 2023, the European Commission put forward a proposal for a directive on green claims. The proposed directive would require companies to substantiate the voluntary green claims they make in business-to-consumer commercial practices, by complying with a number of requirements regarding their assessment ...

On 27 February 2023, the European Commission published a proposal for a regulation to allow voluntary digital labelling of EU fertilising products. This initiative follows similar EU legislative initiatives establishing the digital labelling of goods in other economic sectors, such as batteries. The rationale for digital labelling is provided by the deployment of digital solutions, such as QR codes, that can lower the cost of labelling while facilitating the updating of content, and also by the increasing ...

On 24 October 2023, negotiators from the Parliament and Council reached a provisional agreement on the Commission's proposal for a regulation on geographical indications for wine, spirit drinks and agricultural products. The text still has to be formally adopted by the Parliament and Council. The agreed text would bring together in a single legal document the provisions setting out the procedures for registering geographical indications (GIs) for wine, spirit drinks and agricultural products that ...

The IA argues that existing GMO legislation is not fit for purpose for plants and their food and feed products developed using certain new genomic techniques (NGTs) and that their resulting limited uptake in the EU might lead to missed opportunities to reach the EU's sustainability objectives. It suggests four policy options (POs) in addition to the baseline and assesses their economic, environmental and social/health impacts. The assessment is predominantly qualitative and is based on the stakeholders ...

During its October I plenary session, the European Parliament is expected to adopt its position on a European Commission proposal to revise a core piece of EU chemicals legislation, which requires proper classification, labelling and packaging of hazardous substances and mixtures to protect human health and the environment.

This European implementation assessment has been drawn up to support the work of the European Parliament's Subcommittee on Public Health (SANT) on its implementation report on Regulation (EC) No 1924/2006. Building on the Commission evaluation report published in 2020, the study assesses the implementation and application of the Regulation on nutrition and health claims made on foods. Health claims and use of health claims on foods containing botanicals are at the heart of this study, while nutrition ...

EU lawmakers have drafted and negotiated a regulation on geographical indications for non-agricultural products, to enable the registration of names of craft and industrial products as geographical indications and to enhance their protection within the EU and in third-countries. The European Parliament is expected to vote on the final text resulting from the trilogue negotiations during its September plenary session.

An effective climate labelling scheme requires a methodology, a database, and a label format that allows consistent comparison both within and across product categories. To this end, we analyse the EU product environmental footprint (PEF) methodology, the state of databases on climate footprints, the current knowledge on effective label design, and relevant EU regulation. Based on this analysis, we conclude that further preparation is required before a voluntary, horizontal climate labelling scheme ...

The IA provides a convincing justification on the need to revise the CLP. It presents a well-evidenced problem definition and describes the scale of the problems. The IA does not provide self-standing policy options addressing all the drivers. Instead, it provides three policy option packages, under which the sub-options are the policy options; however, there are in fact only a few alternative choices. The IA explains the policy options and their impacts in detail in extensive annexes. The comparison ...