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Legal analysis: REACH regulation is a regulation on the registration, evaluation, authorization and restriction of chemicals, a regulation of the EU for the preventive management of all consumer goods entering its market, a basic clause and general clause of the EU's environmental protection requirements for consumer goods, and a passport for export to the EU. For the control of the restrictions of the REACH regulation, enterprises need to correctly understand the control scope of different provisions of the slip restrictions in combination with the product and restriction clauses, and fulfill the responsibility of the restrictions, so as to avoid penalties such as recall, destruction, and withdrawal from the market after the products are put on the EU market.
Legal basis: EU 1907 2006 EC "On the Registration and Evaluation of Chemicals". Authorization and Restriction Regulations》 1. Main content Registration All chemical substances with an output or import volume of more than 1 ton next year need to be registered, and chemical substances with an annual output or import volume of more than 10 tons should also submit a chemical safety report; Evaluation includes dossier evaluation and substance evaluation.
Dossier assessment is to verify the completeness and consistency of the registration dossier submitted by the enterprise. Substance assessment refers to the identification of the risk of chemical substances harming human health and the environment; Authorization authorizes the production and import of chemical substances with certain hazardous characteristics and arouse people's attention, including CMR, PBT, VPVB, etc.; Restriction restricts the production or import of a substance within the EU if it is considered that the manufacture, placing on the market or use of a substance or its preparation or article results in a risk to human health and the environment that cannot be adequately controlled.
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The "Introduction to the EU REACH Regulation" comprehensively and systematically discusses the legislative background of the REACH regulation, the main content of the regulatory chain, the chemical evaluation tool, the non-test methods advocated by the REACH regulation, and the requirements for the information of substances, etc., introduces the typical cases of substances of high concern that need to be notified or registered in several articles, and provides detailed answers to the REACH regulation itself and the problems that may be encountered in the process of response.
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The EU REACH Regulation is divided into two parts. The first part of the "Summary of the REACH Regulation" explains the basic concept of the REACH Regulation and related requirements and measures in a short and concise manner, and the second part of the "Frequently Asked Questions about the REACH Regulation" brings together some of the most frequently asked questions from various stakeholders and the answers of the European Commission, most of which are also what our companies want to know. We hope that readers can understand the important content and basic process of REACH regulations as soon as possible by reading this booklet, and at the same time can use it as a guide to deeply study the "Regulations on the Registration, Evaluation, Authorization and Restriction of Chemicals" itself, and formulate measures for enterprises to respond to REACH regulations as soon as possible, so as to minimize the losses that may be caused by the implementation of REACH regulations, and at the same time maintain and expand the market share of China's related industries in the rest of Europe.
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Part I: Summary of the REACH Regulation.
1.Why does the EU need a new chemicals policy?
Problems in the current system.
The overall goal of the new chemical strategy.
How do regulations work?
Mind this range. Enroll. Data Sharing.
**Chain suspicion side information.
Downstream users. Assess. Authorization.
Limit. European Chemicals Agency (ECHA).
Classification and tagging catalogs.
Get information. 3.Costs and benefits.
Earnings. Cost.
4.How's it going?
How will the regulations be implemented?
Transition Strategy. Transitional measures and implementation measures.
Below is the REACH Frequently Asked Questions.
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Registration All chemical substances with an annual production or import volume of more than 1 ton are required to be registered, and chemical safety reports should also be submitted for chemical substances with an annual production or import volume of more than 10 tons.
Evaluation includes dossier evaluation and substance evaluation. Dossier assessment is to verify the completeness and consistency of the registration dossier submitted by the enterprise. Substance assessment refers to the identification of the risk of chemical substances harming human health and the environment;
Authorization authorizes the production and import of chemical substances with certain hazardous characteristics and arouse people's attention, including CMR, PBT, VPVB, etc.;
Restriction restricts the production or import of a substance or its preparations into the EU if it is considered that the manufacture, placing on the market or using it results in a risk to human health and the environment that cannot be adequately controlled.
Note: PBT persistent, bioaccumulative, and toxic chemicals.
VPVB is a highly persistent, highly bioaccumulative chemical.
CMR carcinogenic, mutagenic, and biotoxic substances.
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Registration, Evaluation, Authorization and Restriction of Chemicals" is the European Union's regulatory nucleus for the preventive management of citrus chemicals entering its market. It was officially implemented on June 1, 2008. The 849-page regulation took seven years to complete, making it the most complex cantonal statute in the EU's history and the most important in the last 20 years.
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Hello, the REACH regulation was implemented on June 1, 2008, from this date to December 31, 2008, during this half-year period, chemicals need to be pre-registered, obtain a pre-registration number (a string of numbers composed of 18 digits), and when the product arrives at the EU customs, the pre-registration number needs to be submitted for customs clearance.
Since June 2009, the European Union has allowed post-registration to be done if the following conditions are met:
1. Phased substances;
2. The first export to the EU is more than 1 ton within 6 months;
3. Before December before the corresponding deadline.
Pre-registration and post-registration are simply to submit the information of the registered enterprise and the information of the substance, so the cost is relatively low compared to the formal registration, generally 3,000 yuan for the substance.
The deadline for the buffer period for pre-registration and post-pre-registration, depending on the registered tonnage range, is as follows:
tons of years, the deadline is November 30, 2010;
1000 tons per year, cut-off date 2013-05-31;
10 and 10-100, both by 2018.05.31.
Both pre-registration and post-registration expire after the grace period deadline has passed. If you need to continue exporting to the EU, you need to go through a formal registration.
The cost of formal registration is composed of data fee, administrative fee, and ** fee, and the data situation of each substance is different, so to evaluate the cost of formal registration, it is necessary to look at the specific substance, which is generally higher.
For chemicals exported to the EU, what needs to be done is REACH pre-registration, post-pre-registration or formal registration, not SVHC testing; The marketing staff of some testing companies do not understand the REACH regulations, and when they see someone consulting REACH, they ask them to do 84 tests, which is misleading.
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What is to be done? Need. June 1 of next year is the deadline for registration. Contact me REACH motorcycles and ATVs are specific items that are not required but need to deal with the SVHC (high) under the EU REACH regulation.
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Is it a REACH test? Now there are 84 non-metals and 36 metals.
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