#CIRFS
On April 26, join the Racialized Students Academic Network for its 7th Critical Indigenous, Race & Feminist Studies Student Conference. This year's theme is "Organizing, Activism & Resistance". Learn more and register by April 16: 7thcirfsconference.eventbrite.ca #RSAN #CIRFS7 #Halifax #conference
7th CIRFS Conference: Organizing, Activism & Resistance
7th Annual Critical Indigenous, Race, and Feminist Studies Student Conference (CIRFS) Organizing, Activism & Resistance
7thCIRFSConference.eventbrite.ca
April 14, 2025 at 9:29 PM
The Racialized Students Academic Network (RSAN) is all set for its 7th annual Critical Indigenous, Race, and Feminist Studies Conference! More than 90 students and alumni are registered for the annual #CIRFS conference, taking place Saturday at Saint Mary's University in #Halifax. #RSAN #SMUAlumni
April 25, 2025 at 10:27 PM
A lot. See the graph below of world production by fibre. Wool is the thin line on the bottom, cotton above that. The rest is synthetic — dominated by polyester — except for the blue category near the top, which is "cellulosic fibres", which I assume refers to hemp, jute, coir, and suchlike.
August 27, 2025 at 4:07 PM
"Constructing & Resisting Erasure" is the theme of the 8th Critical Indigenous, Race and Feminist Studies Student Conference, hosted April 25 at @msvuhalifax.bsky.social by the Racialized Students Academic Network. Learn more and register to reserve your spot: loom.ly/-9xSHBI #CIRFS #RSAN #Kjipuktuk
March 19, 2026 at 10:50 PM
📢 Joint Statement: EDANA, CIRFS, EURATEX, ESF & Euro Commerce call for the exclusion of PPE and Medical Devices from the #Textiles EPR scope.

ℹ️ Read the full news here: www.edana.org/about-us/new...
December 8, 2025 at 3:29 PM
PRIMERA RUN con TAINTED ISAAC [TBOI Repentance]
YouTube video by KrisKrisis
youtu.be
August 30, 2024 at 10:20 PM
To assist students in preparing for the conference, RSAN is hosting an Abstract Writing and Conference Presentation Workshop on Sunday, January 25 from 3-4:30 pm. To attend, register by Jan. 18: linktr.ee/cirfsconfere...
CIRFS Conference | Linktree
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January 16, 2026 at 10:02 PM
Joint Statement: Urgent clarification needed on scope of Textiles EPR for PPE and Medical Devices
EDANA, the voice of nonwovens, alongside fellow industry associations CIRFS (European Man-Made Fibres Association), ESF (European Safety Federation), EURATEX (The European Apparel and Textile Confederation) and EuroCommerce (Retail & Wholesale), has issued a joint statement raising critical concerns regarding the transposition of Directive (EU) 2025/1892, the targeted revision of the Waste Framework Directive.   As Member States begin implementing the Extended Producer Responsibility (EPR) for textiles, a lack of distinction within the Directive’s Annex IVc is causing confusion. Currently, the specified CN codes do not distinguish between standard apparel and essential Personal Protective Equipment (PPE) or Medical Devices (MD).  The joint statement highlights that PPE and Medical Devices are engineered to protect users from hazardous environments, including chemical, biological, and radiological risks. Consequently, these garments often become contaminated and are classified as hazardous waste, requiring incineration—often with energy recovery—rather than recycling, to ensure safety.  Including these products in standard textile EPR schemes poses significant risks:  * Cross-Contamination: Mixing hazardous PPE waste with household textiles threatens human health and environmental safety.  * Regulatory Conflict: Contaminated PPE disposal is already regulated under Articles 13, 17, 18, and 19 of the existing Waste Framework Directive.  * Low Circularity Potential: PPE constitutes less than 1% of textile waste, with 80-90% treated as hazardous. The environmental benefit of recycling the remaining fraction is negligible compared to the transport required to aggregate sufficient volumes.  The statement also calls for guidance on safety shoes. Like other PPE, these items face contamination issues that limit recyclability. Furthermore, manufacturers cannot guarantee product warranties or conformity for reused safety footwear, and the fee scaling for heavy items (e.g., steel-toed boots) remains unclear. Recital 28 of the Directive already suggests that products posing safety or hygiene risks should be excluded from the EPR. However, this is being overlooked in national implementations, such as in Spain and the Netherlands. Therefore, the signatories urge the European Commission to issue clear guidance to Member States confirming that products complying with the PPE Regulation (2016/425) and the MD Regulation (2017/745) are outside the scope of the Textiles EPR. Read the full joint statement here. Source: EDANA READ MORE The post Joint Statement: Urgent clarification needed on scope of Textiles EPR for PPE and Medical Devices appeared first on Pakistan Textile Journal.
dlvr.it
December 10, 2025 at 12:16 PM
Joint Statement: Urgent Clarification Needed On Scope Of Textiles EPR For PPE And Medical Devices
BRUSSELS, Belgium — December 8, 2025 — EDANA, the voice of nonwovens, alongside fellow industry associations CIRFS (European Man-Made Fibres Association), EURATEX (The European Apparel and Textile Confederation), ESF (European Safety Federation), and EuroCommerce (Retail & Wholesale), has issued a joint statement raising critical concerns regarding the transposition of Directive (EU) 2025/1892, the targeted revision of the Waste Framework Directive. As Member States begin implementing the Extended Producer Responsibility (EPR) for textiles, a lack of distinction within the Directive’s Annex IVc is causing confusion. Currently, the specified CN codes do not distinguish between standard apparel and essential Personal Protective Equipment (PPE) or Medical Devices (MD). The joint statement highlights that PPE and Medical Devices are engineered toprotect users from hazardous environments, including chemical, biological, andradiological risks. Consequently, these garments often become contaminated andare classified as hazardous waste, requiring incineration—often with energyrecovery—rather than recycling, to ensure safety. Including these products in standard textile EPR schemes poses significant risks: * Cross-Contamination: Mixing hazardous PPE waste with household textiles threatens human health and environmental safety. * Regulatory Conflict: Contaminated PPE disposal is already regulated under Articles 13, 17, 18, and 19 of the existing Waste Framework Directive. * Low Circularity Potential: PPE constitutes less than 1% of textile waste, with 80-90% treated as hazardous. The environmental benefit of recycling the remaining fraction is negligible compared to the transport required to aggregate sufficient volumes. The statement also calls for guidance on safety shoes. Like other PPE, these items face contamination issues that limit recyclability. Furthermore, manufacturers cannot guarantee product warranties or conformity for reused safety footwear, and the fee scaling for heavy items (e.g., steel-toed boots) remains unclear. Recital 28 of the Directive already suggests that products posing safety or hygiene risks should be excluded from the EPR. However, this is being overlooked in national implementations, such as in Spain and the Netherlands. Therefore, the signatories urge the European Commission to issue clear guidance to Member States confirming that products complying with the PPE Regulation (2016/425) and the MD Regulation (2017/745) are outside the scope of the Textiles EPR. Posted: December 9, 2025 Source: EDANA
dlvr.it
December 9, 2025 at 6:16 PM