REACH Regulatory Service
REACH Regulatory Service

REACH,Testing,Notification,SVHC,SCIP

What is REACH Regulation?

REACH is the Regulation (EC) NO 1907/2006 of the European Parliament and of the Council of 18 December 2006 concerning the Registration, Evaluation, Authorisation and Restriction of Chemicals, which came into force on 1 June 2007 and applied on 1 June 2008. It becomes a harmonized regulation concerning preventative administration on all chemicals to be placed on the EU market superseding more than 40 directives and regulations for chemical management. The implementation of the regulation materially impacts the export to the European Union especially that of chemicals, electromechanical products, textiles, printing and dyeing, rubber, plastics, toys and furniture, etc.   

What are the Key Provisions of the REACH Regulation?

Registration: Substance manufactured/imported over 1 tonne per year needs to be registered with the European Chemical Agency (ECHA) by EU manufacturers and importers; non-EU companies have to rely on the EU REACH Only Representative (OR) to submit registration on their behalf.

Evaluation: Registration dossiers submitted will be examined by ECHA in terms of completeness and data requirements. ECHA will also assess a substance of concern for its environmental/public health impact.

Authorisation: Listed Substance of Very High Concern (SVHC) (Click here to learn more about SVHC) in Annex XIV will not be allowed to be used, placed on the market or imported into the EU after data is set unless the company is granted an authorisation.

Restriction: Annex XVII of the REACH Regulation contains the list of all restricted substances, specifying which uses are restricted or even banned.

Communication in the supply chain: Information about the safe use of chemicals (risk management measures) needs to be communicated up and down the supply chain in the format of Safety Data Sheets or Chemical Safety Reports.

What is the Scope of REACH Regulation?

REACH applies to substances manufactured or imported into the EU in quantities of 1 tonne per year or more. It covers substances on their own, in a preparation or in an article manufactured, imported, placed on the market or used.

What are the Obligations of Articles under the REACH Regulation?

Any producer or importer of articles shall submit a registration to the Agency for any substance contained in those articles, if both the following conditions are met: 

(a) the substance is present in those articles in quantities totaling over 1 tonne per producer or importer per year; and

(b) the substance is intended to be released under normal or reasonably foreseeable conditions of use.

If the articles do not contain the substance that is intended to be released under normal or reasonably foreseeable conditions of use, the articles shall fulfill the following regulatory obligations:

1) Any supplier of an article containing the chemicals as Substances of Very High Concern (SVHCs) and a concentration above 0.1% weight by weight shall provide the recipient of the article with sufficient information, available to the supplier, to allow safe use of the article including, as a minimum, the name of that substance.

2) On request of a consumer, any supplier of an article containing the chemicals as Substances of Very High Concern (SVHCs) and the concentration above 0.1% weight by weight shall provide the relevant information, free of charge, within 45 days of receipt of the request.

 3) Any producer or importer of articles containing the chemicals as Substance of Very High Concern (SVHCs) shall notify the Agency, if both the following conditions are met: (a) the substance is present in those articles in quantities totaling over 1 tonne per producer or importer per year; (b) the substance is present in those articles above a concentration of 0.1% weight by weight(w/w).

4) Any producer or importer of articles should supply SDS/MSDS to their downstream users when the SVHC concerned is produced or imported at or above 0.1% w/w in a mixture or preparation;

Remark: There are 240 SVHCs in the Candidate List for Authorisation (SVHC List). While new inclusion of SVHC in the list imposes requirements on suppliers of preparations and articles containing the substances.

Restriction of Chemicals (REACH Annex XVII)

This list of restricted substances is Annex XVII to REACH known as Restrictions on the Manufacture, Placing on the Market and Use of Certain Dangerous Substances, Preparations and Articles. It creates important obligations for articles besides that for SVHCs. ECHA will include the substances in Annex XIV (Authorisation List) into Annex XVII and give the maximum exemption to restrict its manufacture and import on a Community-wide basis when the risks resulting from their use can be properly controlled and suitable alternatives are available, which are economically and technically viable.

How to Demonstrate Product Compliance with EU REACH?

If your product is a chemical product, you need to ensure that every substance in it has been registered under EU REACH if the volume of that substance exceeds 1t/y. The best way to show compliance is to obtain a REACH registration number issued by the European Chemicals Agency (ECHA).

If your product is an article (i.e., clothes, electrical appliances), you most likely need to check if your product contains any substance of very high concern(SVHC) and any substances on REACH annex XVII restricted substance list. Most of buyers probably do not want to buy any article containing a SVHC more than 0.1%w/w or any article that does not meet REACH restriction conditions.

Read more about SVHC or Restricted Substances List (RSL).

CIRS C&K Testing launched the following one-stop REACH compliance services in response to the relevant requirements of the EU REACH regulations, eliminating trade barriers brought by REACH regulations, clarifying the responsibilities and obligations of upstream and downstream parties in the supply chain, significantly reducing response costs and accelerating the trade process. And we strive to improve the compliance awareness of all parties in the trade and achieve a healthy and sustainable trade process through professional services.

Summary of REACH Regulation

If you have any needs or questions, please contact us at test@cirs-group.com.

Previous: VOC Testing

Disclaimer

C&K Testing accepts no responsibility or liability whatsoever with regard to the information on this website. Reproduction for non-commercial purposes of information and documents from the our  website is authorised provided that you acknowledge "C&K Testing" as the source.