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SAF

Saft

Company · France · EU Transparency Register 326377135609-78not in register snapshot

This register number is the organization’s own declaration on its submission. It is not in the 30 Sept 2026 snapshot of the EU Transparency Register, so we neither link to it nor use it to identify this organization.

3
positions filed
in the 655 files tracked
2
legislative files
of 655 tracked
2
with a full position paper
attached to a submission

Counts here are a floor, never a total: they cover the 655 consultation files tracked so far (56,999 submissions, mostly 2021–26), so an organization's real filing history is larger, not smaller.

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Their record over time

Saft filed 3 positions between 9 Jul 2020 and 9 Sept 2026, across 2 of the 655 legislative files tracked here, attaching a full position paper 2 times.

2020 · 1 filed2021 · 1 filed2026 · 1 filed

What they argued

Batteries and waste batteriesfiled 1 Mar 2021PDFsource

March 1st, 2021 Proposal for a new Batteries Regulation. Saft recommendations at a glance: A. Ensure that all battery technologies, including ‘batteries with external storage’, fall under the product design obligations for a better environmental performance. B. Define clearly ‘battery’ and adjust the ‘portable battery’ definition to ensure that the regulation delivers the intended results. C.

Opening of the attached position paper · the full paper is on the Commission’s record (source link above)

Batteries and waste batteriesfiled 9 Jul 2020PDFsource

Paris, July 9th, 2020 Saft contribution to the Commission consultation on “batteries - modernizing EU rules” Thanks to the entrepreneurial spirit of EU industry and the support of European and national authorities, the EU battery industry is now engaged in an unprecedented effort to position itself as a provider of high-performance energy storage solutions for the decarbonization of mobility and industry.

Opening of the attached position paper · the full paper is on the Commission’s record (source link above)

Methodology for calculation and verification of recycled content in batteriesfiled 9 Sept 2026source

The vast majority of Ni-containing battery recycling processes produce nickel sulfate and cobalt sulfate, raw materials used by most CAM manufacturers to supply their customers producing NMC and NCA lithium-ion batteries. However, if Lithium-ion batteries are a key technology today, it is a fact that they do not address every industrial requirement.

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Turns up on the same files

Organizations that also filed on at least two of the same consultations. A shared interest in the same dossiers, not evidence of coordination, and we do not suggest any.

Showing 5 of 16.

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Everything on this page comes from Saft’s own submissions to the European Commission. We have added nothing and interpreted nothing. If something is wrong or out of date, email info@policyspeak.com and we will correct it. If you are an individual named in a record, our privacy policy sets out your rights to correction, objection and removal.

Quotes are verbatim from submissions published by the European Commission, trimmed to their opening passage and never summarized by a model. Organizations only, never individuals. Reused under Commission Decision 2011/833/EU; the European Commission is not liable for this reuse.