Anticorrosion Coatings

Press Releases

Applied Graphene Materials Announce Approval Grant

Applied Graphene Materials (LSE:AGM), is delighted to announce that approval has been granted by ECHA, the European Chemical Agency, for a volume threshold of 1 to 10 tonnes of powder usage per annum of graphene products supplied by individual members of the Graphene REACH registration consortium, of which AGM is a founding member.

Following rigorous evaluation of the range of graphene materials which each consortium member offers, and completion of the final submission documents to ECHA towards the end of 2020, the successful outcome represents a major milestone for the graphene industry and enables consortium members such as AGM to supply quantities of graphene materials in volume. The tonnage band registration of 1 to 10 tonnes p.a. provides confidence in the potential for volume quantity use of graphene materials in the range of applications which consortium members including AGM are pursuing.

Adrian Potts, CEO of AGM, commented:
“I am delighted to announce the successful REACH registration for this volume tonnage band, which represents the culmination of almost four years of work. Strategically, we identified the critical importance of regulatory registration to the long-term success of our business and have committed significant resources to achieving this result today. This registration underpins the effective and safe use of AGM’s graphene materials at higher volumes. AGM continues to demonstrate the excellent utility of our graphene products with our customer engagements, and this registration will ensure we can meet our ambitions for larger volume orders as our commercial pipeline continues to develop. I would like to recognise the tireless efforts of our Technical team as members of the graphene consortium who have pursued the substantial workload that is represented in this registration announcement.”

Are you ready for EU Poison Centre Notification Format?

Consumers and workers come into daily contact with hazardous chemicals, and although they are expected to be used according to safe-use instructions, unintentional exposure may happen: ingestion, skin contact, inhalation, etc. In those cases, emergency professionals need rapid product identification, information about the chemicals contained and its hazardous properties, all these in order to facilitate the identification of the correct treatment and to avoid further damage.

And this is exactly what a poison centre does: it provides medical advice to citizens and healthcare professionals on health emergencies arising from exposure to hazardous chemicals or to other toxic agents; such as medicines, plants, bites and stings. Poison centres in the EU answer calls for support daily and around the clock.

On 22 March 2017, the Regulation (EU) nº 2017/542 was published, adding the Annex VIII, about the harmonised information relating to emergency health response. According to the ECHA, “It’s about harmonisation, and harmonisation brings synergies and efficiencies”. It was designed to regulate all hazardous mixture notifications (mixtures classified with health and/or physical hazards) within the EU, and established two new concepts related to chemical safety:

  • A harmonised information format file: a common format file which will gradually replace the current national requirements in force.
  • A Unique Formula Identifier (UFI): a unique code for each product which will be added on the label.

This new system, although efficient and beneficial in the long term, also implies a new complex notification process for companies, which will have to notify their products in the official language of each country in which they are marketed, pay different national taxes, etc. Providing harmonized information will certainty improve emergency health response, but the number of notifications is expected to significantly increase, and the producers and manufacturers who have started to work with the new system have already experience workability issues such us:

  • Insufficient time prior to deadline to assimilate notification tools.
  • Regular product variations that will lead to multiple and frequent changes of UFI for the same product.
  • Problems working with the ECHA Submission portal: navigation is complicated, too many clicks; it is not always directly clear if you made a wrong input, since validation is only available at the end of the process; notification via Guided Dossier Preparation took approx. 2 – 3 hours for a single product.

To overcome these inefficiencies and for the harmonized notification system to be truly useful for society, but also viable for companies, experts believe that there is a need for managed automation that minimizes the impact of:

  • Tens of thousands of products to be notified.
  • Frequent formulation changes. Partly own initiative, partly by raw material suppliers or driven by legislation changes.
  • Not feasible to do notifications & updates manually. Notifications must be generated in bulk.
  • Automation requires standardization. The solution must work for thousands of notifications at a time.

Time is running out, since the new harmonized notification process shall apply from 1 January 2021, after its publication in the Official Journal of the European Union. That is why we have updated CHEMETER, a reliable SDS authoring software which provides you with country specific legislation, up-to-date regulatory information, continuous new features development and professional assistance. It is also a friendly modular software which accommodates each company’s needs considering the country, sector and the aim of the company. It creates an extended range of documents; such as SDS, e-SDS, labels, dangerous goods documents and sector specific paperwork. It is one of the highest implemented software solutions worldwide, and now in addition, we have updated it to provide it with an additional module that issues automatic notifications in a few minutes.

The new module is specially designed to help users to comply with new poison Centre Notification Requirements for Hazardous Mixtures in the EU. It automatically creates PCN dossiers for harmonised notifications. Just in a few minutes, users will get the file with all the necessary documentation: automatic UFI code generation, toxicological information, complete chemical composition, etc. It is a simplified process, which indicates step by step in a simple way the data that the user needs to complete it. In a few clicks, users will get the file to notify all products.  It is a significant time saver compared to the 2 or 3 hours it would take to generate the Poison Center Notification (PCN) format for a single product using the official portal.

You can get more information about CHEMETER and all Siam services on our website https://www.siam-it.com/en/.

BASF / BTC Europe FREE Webinar: HEP N-Hydroxyethyl-2-Pyrrolidone, Hydrophilic Co-Solvent for the Formulators Toolbox.

HEP uniquely combines a high boiling-point and water-solubility allowing for diverse use as a co-solvent or extraction solvent typically in inks, coatings, cleaning, agrochemicals / pharma applications. Its hydrophilic nature and strong polar solubility also suggest its use as a humectant. Current users of 2P, GBL and NMP will be interested to learn that HEP is label-free and can offer a low-tox or more sustainable alternative to standard pyrrolidones.

If you would like to find out a little bit more about the chemistry, characteristics and applications for HEP then please join us for the following session:

Thursday 8th October 2020
09:30 UK/BST
Register here to attend.

BCF calls for further changes to UK REACH after small step in the right direction

The British Coatings Federation has welcomed recent proposed changes to the forthcoming UK REACH regime as a small but welcome step in the right direction. However, it has also warned that these changes alone will not be enough to prevent the coatings sector – and wider chemicals industry – from being hit hard financially under the new post-Brexit regime. This is because it does still not resolve the underlying, inherent problems with the proposed UK REACH system namely duplication of the EU REACH system and re-registration of all substances in a new database. It is this wholesale re-registration – including full data dossiers duplicating registrations already held in the EU REACH system – which will prove so bureaucratic, burdensome, and costly to business.

The easiest and seemingly best way to avoid this wholesale duplication would be for the UK and EU to negotiate a data-sharing agreement as part of the ongoing Free Trade Agreement talks. This would potentially mean the UK regulator would maintain access to data already registered in the EU REACH database and avoid it having to be re-registered in the new UK REACH system. The BCF fully supports the UK Government’s attempts to achieve this result as part of the FTA talks.

However, if that data-sharing outcome is not achieved as part of an FTA, the Government needs to go further and initiate greater changes to the proposed UK REACH system. The time extension for substance registrations simply spreads the cost of the registration requirements over a longer period: it does not reduce the overall cost to business. Those additional costs will still make it uneconomic for some lower quantity substances to be registered in the UK REACH database, making them unavailable in the UK and leaving UK companies at a significant disadvantage to their EU counterparts. Alternatively, UK businesses will have to take on the registration costs themselves to maintain access to crucial substances, again putting them at a competitive disadvantage.

Tom Bowtell, CEO of the British Coatings Federation said:

“Along with others we have been actively and positively engaged in conversations with the UK Government for well over a year. It is good to see that the Government has listened to the genuine concerns industry has raised and amended their plans for UK REACH. However, while we welcome the changes as a step in the right direction, sadly we do not believe the scale of the amendments are enough to offset the large costs and inconveniences UK business will suffer at the hands of UK REACH system as it stands.

“We hope that a data-sharing agreement on chemicals can be negotiated between the UK and EU as part of an FTA, and fully support the Government as it continues to work for that outcome: it would seem to be the most practical solution to this problem. However, if such an agreement does not come to pass then we hope the Government will continue to engage with, and listen to, the continued concerns of industry. Ultimately, we hope they realise we are not crying wolf over the impact of UK REACH on companies using chemicals like the paint, coatings and printing ink industries, and agree to make further amendments to their plans that will mitigate the effect of the new UK regulatory system on business.”

Frequently Asked Questions of the KKDIK Regulation (Turkey REACH)

With the pre-registration deadline for KKDIK quickly approaching on the 31st of December 2020, we at CIRS are busy monitoring the latest updates and preparing you to fulfil all the necessary obligations. Completion of the pre-registration obligation provides you with a grace period for registration until the end of 2023 after which all chemical substances manufactured/imported to Turkey in one ton/year must be fully registered.

To make this process easier for you, we have gathered all the most frequently asked questions from our practical experience to-date with the KKDIK regulation.

  1. If pre-registration is completed within C&L notification, then why should a foreign enterprise do the pre-registration themselves and not through a TR-importer?

If a TR-importer does C&L notification, they select the role of ‘importer’. The pre-registration will also have been completed under an importer. This may result in the following scenarios (a) higher cost for registration (b) the TR-importer may not do the registration and choose a supplier which has registered their substance with an OR (c) If the TR-importer does the registration, then they can buy the substance from any supplier they want as they will have the registration number. The result is an overall loss of commercial power in Turkey

  1. How is the pre-registration/registration of a polymer processed according to the KKDIK regulation?

Article 4 (hh) of KKDIK: Polymer means a substance consisting of molecules characterised by the sequence of one or more types of monomer units, distributed over a range of molecular weights wherein differences in the molecular weight are primarily attributable to differences in the number of monomer units and comprising of the following:

1) A simple weight majority of molecules containing at least three monomer units which are covalently bound to at least one other monomer unit or other reactant; and

2) Less than a simple weight majority of molecules of the same molecular weight

According to the KKDIK regulation, polymers are themselves exempt from registration. In the same way as EU REACH, it is the monomer unit and any other substances which are present in 1 ton/year or greater which require pre-registration/registration.

  1. For C&L notification of chemicals delivered in mixtures, does each individual substance require notification?

The way a mixture is classified is if the mixture contains a substance which is classified as hazardous and it is above the appropriate concentration limit (varies depending on the substance in question), then the mixture is classified as hazardous. If a mixture meets hazardous criteria, then C&L notification is required. Classification is the same as EU REACH.

  1. Is it possible to transfer completed pre-registrations?

Currently, the online platform for submitting pre-registration/registration dossiers is updating. This is the KKS tool (IUCLID and REACH-IT hybrid). This may take some time to complete. The OR transfer function will be available after the update is complete.

  1. According to KKDIK, all substances manufactured/imported into Turkey in 1 ton/year should be pre-registered. If my substance is less than 1 ton/year can it still be pre-registered?

Yes, it is still possible to pre-register substances which are less than 1 ton/year. This will also cover future business if annual tonnages rise to the 1 ton/year mark or above in the period of three years. If pre-registration is not completed before Dec. 31st 2020 and tonnages rise above the 1 ton/year threshold, then full registration will be required which will be far costlier.

  1. Is there a system of reporting dispatches into Turkey after pre-registration is completed?

Currently, there is not such a system in place for reporting dispatches

  1. When dealing with a mixture, if a raw material is pre-registered under the supplier, can the pre-registration be used by the formulator of the mixture?

This is the decision of the supplier who obtained the pre-registration number and whether he grants access to the formulator to use the pre-registration number.

  1. Who may register in the case of a multinational company/group companies?

This depends on whether each company within the same parent company are defined as ‘registrant’ according to Article 4(ü) of the KKDIK regulation. If multiple companies are under the same legal entity, then just one company needs to act as the registrant. In the case of a separate legal entity, such as a sister company, they should also register.

  1. How are alloys registered?

According to the KKDIK regulation, alloys are treated in the same way as mixtures. Therefore, each individual substance i.e. each metallic substance must be registered individually.

  1. If the tonnage band is expected to increase in the future, can the higher tonnage band be registered under instead?

Companies may register under higher tonnage bands if they expect their annual tonnage to increase. The higher registration fee must also be paid. Furthermore, the registration dossier must include all the required information for the higher tonnage band as data requirements differ between tonnage bands.

  1. If a company is importing a mixture to Turkey, how can they find out if the individual components have already been registered in Turkey by the supplier, if the supplier is refuses to share the information?

The options are to (a) Contact the formulator where the supplier is not the same entity as the formulator. The formulator may be more willing to share the composition information. (b) Take analytical measurements to determine the composition of the mixture or (c) Find an alternative supplier of the same substance who is willing to share the information

  1. Our substance only has a CAS No. and no EC No. is available, can we process pre-registration only with CAS No.?

Yes, there is no problem to process pre-registration without EC No.

  1. We are a distributor located outside Turkey, can we appoint an OR and process pre-registration?

No. It’s same as EU REACH. Only foreign manufacturers can appoint an OR and process pre-registration.

  1. Is there a definition of “new chemical” in the KKDIK regulation?

No. The regulation is only about the substance. There is no specific definition of Existing Chemical and New Chemical. CIRS suggests companies to process pre-registration of all their substances.

  1. If the manufacturer completes the pre-registration, can the local importer take C&L notification with this pre-registration No.?

No, if the importer processes C&L Notification, they have to firstly complete pre-registration by themselves.

  1. Our product contains a raw material which has not been reacted. The tonnage of this raw material is more than 1 ton/year. Are we still required to process pre-registration of this raw material?

It’s similar as EU REACH. If the raw material is not residual on purpose, it can be regarded as an impurity and pre-registration will not be required.

  1. We are a Turkish legal entity which owns several factories in different sites, how shall we process the pre-registration?

According to KKDIK regulation, registrant shall be the natural or legal person in Turkey. If the company has one individual legal entity which own different factories, and the factories have no individual legal entity, only one pre-registration is enough, and all factories will be covered.

If you have any further questions, please do not hesitate to contact us:

Julie Harrington, Regulatory Affairs Consultant

julie@cirs-reach.com

+353 0 87 197 2618

https://www.linkedin.com/in/julie-harrington-14270a160/

Infinity Wax Launches Second Graphene-Enhanced Product

Applied Graphene Materials (LSE:AGM) is pleased to announce that its customer, Infinity Wax, a major manufacturer of car care products in Europe, has launched a second car care product enhanced with the Company’s graphene technology. Using AGM’s industry leading Genable® graphene nanoplatelet dispersions, Infinity Wax has launched Graphene Wax, a new generation of high-performance car wax. Infinity Wax launched the new Graphene Wax on 28 January 2021, following the success its ground-breaking QDX Graphene Detailing Spray launched during Q4 2020. The new product offers outstanding water beading and sheeting properties as a result of increased hydrophobicity, resulting in long term paint protection. Graphene Wax makes it easy to wipe away dirt, enabling car owners to achieve a professional wax shine. The new wax product is the result of an extensive evaluation and testing programme between Infinity Wax and AGM. Infinity Wax expects to see significant customer interest in the new product, as was seen in the launch of its QDX Detailing Spray in 2020, where initial stocks sold faster than anticipated and attracted interest from a number of specialist journals and forums for car groups. The Graphene Wax product is available to car owners directly from www.infinitywax.com and at a growing network of car detailing shops across the UK and Europe. Adrian Potts, Chief Executive Officer of AGM, said:

“We are proud to have been able to work with the Infinity Wax team on the development of a further performanceenhancing product for the car care sector which incorporates our graphene dispersion technology. We are delighted to see a second graphene product launch for our customer and we look forward to seeing this product’s success in the market, and how this translates into revenue growth for both AGM and Infinity Wax. This product once again demonstrates the effectiveness of AGM’s approach to close collaboration with our customers, which has delivered an optimum outcome with the deployment of our graphene dispersions.” Mike Cipriani, Founder of Infinity Wax, commented:

“The launch of our second graphene fortified car care product in less than 12 months has been a significant milestone for Infinity Wax. AGM has been instrumental to our R&D process through technical support and a reliable supply of raw material.

The use of Genable® dispersions in our latest product, an automotive paste wax, has allowed us to push the performance of our synthetic wax technology beyond what has previously been possible while also allowing the product to be beginner friendly with effortless ease of use, something rarely seen in these types of highly durable waxes. The success of our first product, QDX Graphene, a water-based quick detail spray, has set a precedent and given a great deal of confidence to our customers using these products, but also for our new and existing distribution partners, who have also benefited from the product’s success. This is echoed by the launch of our new wax product, where 77% of the manufactured stock sold within 24 hours.”

Metal Recycles Forever

80% of all metal ever produced is still in circulation today.

Recycling and sustainability

The UK metal packaging industry, along with its European counterparts, spearheads the continual drive to not only produce the most material efficient metal packaging possible, but also to provide packaging that offers other significant benefits such as significantly reducing food waste and producing paint cans that are still fully recyclable despite contamination from paint.

 

The industry’s recycling infrastructure, developed over many decades, has resulted in a UK recycling rate for steel packaging of 71 per cent and aluminium (primarily beverage cans) of 76 per cent.

 

The sector’s target of a 100 per cent recycling rate for metal is a real possibility thanks to metal’s easy separation from the waste stream, either by consumers at home or by magnetic extraction and eddy currents further down the line. And it’s a fact that all metal collected for recycling, is recycled and is reused.

 

Metal is officially recognised as a permanently available material (British Standard 8905) – a material whose inherent properties are not changed by repeatedly being recycling into new products. Metal can be recycled an infinite number of times with no loss of quality, and it’s estimated that 80 per cent of all metal ever produced is still in circulation today.

 

Metal’s sustainability credentials are captured in just three words: Metal Recycles Forever.

 

“Metal can be recycled again and again with no loss of quality, and when it is recycled it saves significant amounts of primary raw materials, energy and CO2. Once primary ore is converted into metal, as long as we look after it, we will have it forever.  This infinite recyclability is key to reducing the pressure on the world’s natural resources and why recycling metal is so important. Our vision is for a 100 percent metal packaging recycling rate,” said Robert Fell, Director and CEO, MPMA.

Safety, Regulatory and Safe Handling of Chemicals

Safety, Regulatory and Safe Handling of Chemicals are topics that constantly challenge the global Chemicals industry at all times.
There is a need for companies to understand the correct regulatory, classification, symbols and pictograms.  It’s not just enough to write SDSs ‘in-house’ without employing proper tools or knowledge resources or simply copy-pasting safety data sheets from competitors, suppliers or from the internet as these could be quite misleading!  Yet another requirement for companies aspiring to get various types of Quality, Compliance, other certifications is to have proper systems in place including those of Safety, Regulatory and Safe handling of Chemicals regardless of being hazardous, non-hazardous chemicals or both.

 SIAM SL, Spain based in the world famous La Rioja wine region of Spain develops IT Solutions and Software for the automatic Classification, Formulation and Authoring of Safety Data Sheets for single substances and mixtures falling under CLP and GHS regulations.  SIAM provides a highly versatile software (CHEMETER) for preparing multilingual SDS in over 55 world regulatory/languages and multilingual product labelling and provides SDS AREA, a platform for easy distribution and management of Safety Data Sheets.
Both CHEMETER and SDS AREA solutions offer major time-savings to companies over traditional methods of authoring SDSs as well as using old software since both solutions come with latest features suited to the current and evolving safety regulations in over 55 countries.   CHEMETER software is easy to understand, open and flexible and built-up in a modular fashion to suit your exact needs at any given time.

1000+ clients across 45 countries that use CHEMETER software and SDS AREA include a variety of manufacturers, exporters, importers, distributors, traders, MSME’s, OEM’s into all kinds of Chemicals, API’s and Plastics and coming from all walks of industry including CASE, Petrochemicals, Pigments, Resins & Additives, Dyes & Dispersions, Textile and Leather Chemicals, Cleaning & Construction Chemicals, Lubes & Greases, Cosmetics, Solvents, Rubber, Plastics, Detergents, Flavours & Fragrances, Water Treatment Chemicals, Agro Chemicals, Monomers and Polymers, Resins and more.

Come 1st November 2020 and CHEMETER software will offer its users an additional module specially designed to help users manage the EU’s new regulation of UFI (Unique Formula Identifier) Code in order to comply with the EU’s new Poison Centre Notification (PCN) requirements for hazardous mixtures being supplied into the EU.   The module automatically creates PCN dossiers for harmonised notifications and within a few minutes, users can upload files with all necessary documentation, automatic UFI code generation, toxicological information, complete chemical composition, etc.   It is a simplified and easy step-by-step process and significant time-saver compared to the 2-3 hours odd it otherwise takes to generate PCN for a single product using the official portal.

You can get more information about SIAM’s Regulatory IT Solutions on https://www.siam-it.com or by sending an email to:

Nirav Banker
(UK, Asia & Middle-East Business Head)

Email: n.banker@siam-it.com
UK Mobile: (+44) 747 096 4875

Sail into a new dimension of Orange

Autumn is a time when reds, yellows and oranges take centre stage. The novel Pacific Orange L2828 pigment from BASF opens up the orange colour-space for paint formulators by providing a highly chromatic hybrid pigment chemistry designed to meet the demanding requirements of powder and industrial coatings, including for lead-chrome replacement.

In comparison to other pigments in the orange colour space if offers outstanding weather resistance and good opacity, with high temperature and chemical stability.
It can be combined with DPP Reds without colour shift, even at higher powder coating curing temperatures, in fact it is the ideal formulating partner to create super-durable orange RAL shades or corporate colours in combination with other high performance organic or inorganic pigments. Pacific Orange is also an excellent choice to overcome the fading of pale or pastel shades in architectural exterior applications due to its excellent weathering fastness in white reductions.

The new pigment will be showcased at Surfex in June 2021 but for further information or to sample please contact Chris Morgan, Head of Sales: Coatings, Inks & Plastics BTC UK Email: christopher.morgan@btc-europe.com

Self-healing additives for improved corrosion resistance and coating adhesion after damage

Autonomic Materials is the recognized leader in self-healing additive technology for high-performance coatings, adhesives and sealants.  For a broad range of coating applications, from consumer to heavy industrial, Autonomic’s products impart unparalleled corrosion resistance, adhesion enhancement and extended service life after damage.

SELF-HEALING COATINGS FOR IMPROVED SUBSTRATE PROTECTION

Autonomic’s self-healing technology repairs coating damage immediately after it occurs. Autonomic’s microencapsulated additives are compatible with most solventborne, waterborne and powder coatings and provide improved protection to metals, wood, concrete, plastic, composite and other substrates. Three series of products are available in both wet and dry form:

  • Amparmor 1000 – Dual capsule system based on reactive silicone polymers with ability to cure under water
  • Amparmor 2000 – Single capsule system based on solvent-promoted cure of epoxy resins
  • Amparmor 3000 – Single capsule system based on oxygen-initiated cross-linking of functionalized alkyd resins

HOW THE SYSTEM WORKS

GENERAL APPLICATION GUIDELINES

AMPARMOR microcapsules are not recommended for addition to fully formulated coatings. Some degree of coating reformulation is typically required, including:

  • Adjustment of pigment volume concentration
  • Adjustment of pigment size distribution
  • Adjustment of resin chemistry to achieve desired Tg
  • Proper selection of dispersing aids

Autonomic’s self-healing microcapsules are stable under typical storage conditions. Caution must be exercised when incorporating capsules into coating formulations as excess shear and/or grinding may cause capsules to rupture.

 

  • For liquid coatings, the addition of microcapsules is recommended during the letdown stage.
  • For powder coatings, capsules should be added as a dry blend after extrudate grinding.

 

PRODUCT SELECTION GUIDES FOR COATING

CONTACT US

DKSH Great Britain Ltd. is distributor for Autonomic Materials in the United Kingdom.

For more information on these innovative products, contact Richard Nathan, Sales Manager, Speciality Chemicals Industry, DKSH Great Britain at richard.nathan@dksh.com, phone: +44 20 8879 5500

 

ABOUT DKSH

DKSH is the leading Market Expansion Services provider with a focus on Asia. The Group helps companies to grow across the Business Units Healthcare, Consumer Goods, Performance Materials and Technology. The service portfolio covers sourcing, market insights, marketing and sales, eCommerce, distribution and logistics as well as after-sales services. Publicly listed on the SIX Swiss Exchange, the Group operates in 36 markets with 33,350 specialists, generating net sales of CHF 11.6 billion in 2019. With its Swiss heritage, DKSH has been deeply rooted in Asia Pacific since 1865. The DKSH Business Unit Performance Materials distributes specialty chemicals and ingredients for food, pharmaceutical, personal care and various industrial applications. With 46 innovation centers and regulatory support worldwide, we create cutting-edge formulations that comply with local regulations. With around 1,100 specialists, the Business Unit generated net sales of CHF 1.0 billion in 2019. Learn more: www.dksh.com/pm

Siltech – Silicone Amines for Coatings

Silicone amine polymers are an interesting category of materials within silicone chemistry.
They tend to provide the very best handle and softness to textile substrates.
They are also quite hydrophobic, so are used in applications such as car care.
They can additionally be used as reactive components in resins.

Broadly speaking, there are 5 categories at Siltech, as follows:

1 – Aminoethyl aminopropyl-based, with structure as shown:

“a” and “b” can be varied.  Silamine 2972 and Silamine MUE are good examples within this product group.

2 – Reactive amino-functional prepolymers, with structures as shown below:

There are a multitude of types, and these can be co-reacted into coatings and resins in order to provide flexibility and add impact resistance.

3 – Silicone polyether amines, as shown here:

In this case, the aminoethyl aminopropyl groups are “solubilised” with polyether groups.  For example, Silamine D208 EDA is water-soluble.  These types are also reactive (carbinol functional), and a, b, c, d and e can be varied.

4 – Silicone alkyl amines have alkyl groups in addition to the amine functionality, in order to improve organo-compatibility. Silamine T-97 is one example, and Siltech has made a series of these products.

5 – Fluorosilicone amines are niche, but Silmer NHF Di-H1 is one example, which has pendant fluoro groups and terminal allyl amines.

Please contact dave.wilson@siltech.com

Siltech – Silicone Film Formers for Coating Applications

Siltech Film Formers are designed to coalesce and react on hard surfaces such as concrete, porcelain, wood, countertops, or rubber, and flexible surfaces such as fabric, paper or leather.

The products are all provided in dispersible or dilutable emulsion form.

Typical properties include:

  • Release
  • Slip
  • Anti-squeak
  • Anti-stain
  • Softness
  • Hydrophobing
  • Gloss
  • Flexibility

Here’s a table which summarises the various types:

Please contact dave.wilson@siltech.com

Siltech – Using SilmerTM Reactive Silicones to Modify Coatings

Silicon and Carbon are the in same column of the Periodic Table, and so the chemistries of Si and C are very closely related.  Siltech builds upon this similarity in the “Silmer”TM reactive line of products, in order to manufacture numerous functionalised pre-polymers.  The resultant silicones can be co-reacted into analogous non-silicone systems in order to improve slip, flexibility, abrasion resistance, release, and hydrophobicity.

 

In the most general terms, the SilmerTM reactive pre-polymers are either multi-functional or linear di-functional, and there is an ever-increasing list of functional types, including the following:

 

  1. Hydroxyl (carbinol) OH
  2. Tetra Hydroxyl (carbinol) OHT functional, for better network formation and improved organo-compatibility.
  3. Acrylate ACR
  4. Tetra Acrylate ACRT
  5. Hydroxy OH ACR Acrylate functional.
  6. Hydride H
  7. Vinyl VIN
  8. Isocyanate NCO
  9. Amine NH
  10. Epoxide functional, both glycidyl-based EP and cycloaliphatic-based EPC.
  11. Trimethoxysilane TMS and Triethoxysilane TES
  12. Thiol SH
  13. Carboxy COOH

 

Please contact dave.wilson@siltech.com to discuss any of these products.