Reach For Dummies | Halo: Reach For Dummies 인기 답변 업데이트

당신은 주제를 찾고 있습니까 “reach for dummies – Halo: Reach for Dummies“? 다음 카테고리의 웹사이트 https://chewathai27.com/you 에서 귀하의 모든 질문에 답변해 드립니다: Chewathai27.com/you/blog. 바로 아래에서 답을 찾을 수 있습니다. 작성자 ducc 이(가) 작성한 기사에는 조회수 6회 및 좋아요 없음 개의 좋아요가 있습니다.

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d여기에서 Halo: Reach for Dummies – reach for dummies 주제에 대한 세부정보를 참조하세요

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reach for dummies 주제에 대한 자세한 내용은 여기를 참조하세요.

REACH Simplified – Intertek

REACH is based on the ea that industry itself is best placed to ensure that the chemicals it manufactures and puts on the market in the EU do not …

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Source: www.intertek.com

Date Published: 4/26/2021

View: 7380

Understanding REACH – ECHA – European Union

REACH stands for Registration, Evaluation, Authorisation and Restriction of Chemicals. It entered into force on 1 June 2007. How does REACH work? REACH …

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Source: echa.europa.eu

Date Published: 4/3/2021

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REACH Basics – Chemical Industries Association

REACH is a European Regulation concerning chemicals and their safe use. It is not a “REACH directive” but a Regulation, which means it applies directly in …

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Source: www.cia.org.uk

Date Published: 2/14/2022

View: 9371

REACH FAQ for DUMMIES – SGS Hong Kong

REACH is a general chemical policy to disclose information on hazardous substances. Existing product specific directives/regulations such as …

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Source: www.sgsgroup.com.hk

Date Published: 6/20/2021

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How to Comply with REACH

How to comply with REACH. The obligations for EU importers, manufacturers, non-EU companies and down-stream users under REACH.

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Source: www.cirs-reach.com

Date Published: 2/19/2022

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UK REACH Explained – HSE

UK REACH is a regulation that applies to the majority of chemical substances that are manufactured in or imported into Great Britain (GB) ( …

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Source: www.hse.gov.uk

Date Published: 5/25/2022

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주제와 관련된 이미지 reach for dummies

주제와 관련된 더 많은 사진을 참조하십시오 Halo: Reach for Dummies. 댓글에서 더 많은 관련 이미지를 보거나 필요한 경우 더 많은 관련 기사를 볼 수 있습니다.

Halo: Reach for Dummies
Halo: Reach for Dummies

주제에 대한 기사 평가 reach for dummies

  • Author: ducc
  • Views: 조회수 6회
  • Likes: 좋아요 없음
  • Date Published: 2021. 9. 27.
  • Video Url link: https://www.youtube.com/watch?v=RhB0l0FJ9E8

How does REACH work?

How does REACH work? REACH establishes procedures for collecting and assessing information on the properties and hazards of substances. Companies need to register their substances and to do this they need to work together with other companies who are registering the same substance.

What is the REACH process?

REACH (EC 1907/2006) aims to improve the protection of human health and the environment through the better and earlier identification of the intrinsic properties of chemical substances. This is done by the four processes of REACH, namely the registration, evaluation, authorisation and restriction of chemicals.

What REACH stands for?

REACH stands for registration, evaluation, authorisation and restriction of chemicals.

What are the REACH guidelines?

The overall aims of REACH are to: Provide a high level of protection of human health and the environment from the use of chemicals. Allow free movement of substances on the EU market.

Scope and exemptions
  • Radioactive substances.
  • Those under customs supervision.
  • Non-isolated intermediates.
  • Transport of substances.
  • Waste.

Do REACH weapons have disadvantage?

In fact, the only reach weapon that says anything about it is the lance and even that one lets you do it–it just gives you disadvantage. But if he is going to play that reach weapons have a minimum distance, then you have to make some adjustments in your strategy.

How do you calculate REACH?

The basic formula for calculating reach is impressions divided by frequency (reach = impressions/frequency).

Who has to comply with REACH?

You must comply with REACH if you manufacture or supply articles, or are importing articles from outside the EU. REACH may also apply to a chemical substance you recover from waste in quantities of one tonne or more per calendar year. Some chemical substances are partially or completely exempt from REACH.

What is not covered by REACH regulations?

Some substances are specifically excluded: Radioactive substances. Substances under customs supervision. The transport of substances.

How do I know if a product is REACH compliant?

To determine REACH compliance, companies must identify and manage the risks linked to the substances they manufacture market to the EU. They have to demonstrate to ECHA (European Chemicals Agency) how they’ve made sure the substance can be safely used without harming the end customer.

Does REACH still apply in UK?

REACH after the transition period: A UK REACH

EU REACH ceased to have effect in Great Britain from 1 January 2021. The Government has put in place a separate UK REACH regime that applies to businesses that import, make, sell or distribute chemicals in Great Britain, whether as raw materials or in their finished state.

What is the difference between REACH and RoHS?

The main difference between RoHS and REACH is that RoHS bans substances that are present in electronics and is specific to the aforementioned 6 hazardous materials. REACH, however, pertains to all chemicals including those used to make a product. This can include materials, solvents, paints, chemicals, and more.

What is the difference between REACH and impressions?

Reach is the total number of people who see your content. Impressions are the number of times your content is displayed, no matter if it was clicked or not. Think of reach as the number of unique people who see your content.

What products need to be REACH compliant?

In this guide, we list some product categories covered by the REACH regulation in the European Union.
  • Clothing & Textiles.
  • Bags & Luggage.
  • Jewelry.
  • Electronics.
  • Furniture.
  • Kitchen Products.
  • Pet Products.
  • Sport Accessories.

How many chemicals are on the REACH list?

REACH SVHC list is not a static list and it is updated frequently. Up to 10 Jun 2022, there are 224 substances/entries on the SVHC candidate list.

Does REACH apply to my company?

REACH applies to you if your business is:

a manufacturer – you make chemicals for sale by your company or for supply to others. an importer – you buy individual chemicals, mixtures of chemicals or products such as clothes, furniture or plastic goods from outside the EU.

How is reach measured in marketing?

Most digital marketing channels and social media analytics will automatically give you the numbers themselves, but the generic formula to calculate your market reach is impressions divided by frequency. To know your frequency, you must simply divide impressions by unique users.

Why is my reach higher than impressions?

While both metrics are pretty similar, there are a few key patterns to note. In most cases, impressions will be higher than reach. This is because impressions count exposure, and reach counts interaction. Impressions, then, can oftentimes be close to the number of followers your accounts have.

What is the difference between reach and views on Instagram?

Both reach and impressions are important Instagram metrics that tell you different things. Reach counts only unique views, while impressions are the total number of views, which could include the same person viewing your post multiple times. Reach helps you understand how much exposure your content gets.

What is the difference between reach and engagement on Facebook?

Engagement: The number of interactions your content received from users (likes, comments, shares, saves, etc.) Impressions: The number of times your content is displayed. Reach: The number of people who see your content.

REACH Simplified

REACH Simplified

REACH is based on the idea that industry itself is best placed to ensure that the chemicals it manufactures and puts on the market in the EU do not adversely affect human health or the environment. This requires that industry has certain knowledge of the properties of its substances and manages potential risks. Authorities should focus their resources on ensuring industry are meeting their obligations and taking action on substances of very high concern or where there is a need for Community action.

REACH Aims To:

Get Manufacturers and Importers to: Generate information on hazards of chemicals Assess & Manage Risks of chemicals Register the chemicals for all uses

Ensure Information regarding risks posed by chemicals is available To users Regulators General public

Encourage Industry to Develop Substances less dangerous to health Substances less damaging to the environment

Permit EU Authorities to take faster action regarding chemical risks and hazards

Enhance the competitiveness of the EU chemicals industry, a key sector for the economy of the

Promote alternative methods for the assessment of hazards of substances

Ensure the free circulation of substances on the internal market of the European Union

REACH Requirements:

REACH will require the registration, over a period of 11 years, of some 30.000 chemical substances in use today.

Registration process requires a Technical Dossier must be submitted to EU Chemicals Agency (ECHA) if chemicals placed on EU markets are above 1 tonne per annum.

A Chemical Safety Report (CSR) must be submitted to ECHA for chemicals placed on markets above 10 tonne per annum.

For placing on markets and import of chemicals containing Substances of Very High Concerns (SVHC) an authorisation is required by ECHA.

An extended Safety Data Sheet (eSDS) must be provided and communicated to downstream users of chemicals

A supply chain information must be requested by importer of consumer products from non-EU manufacturers in which Substances of Very High Concern (SVHC) must be listed. If SVHC is above 0.1%, a notification required.

Intertek REACH Services Intertek’s experts offer a portfolio of services to help your company meet the complex REACH requirements. REACH Services Intertek’s experts offer a portfolio of services to help your company meet the complex REACH requirements.

Understanding REACH

REACH is a regulation of the European Union, adopted to improve the protection of human health and the environment from the risks that can be posed by chemicals, while enhancing the competitiveness of the EU chemicals industry. It also promotes alternative methods for the hazard assessment of substances in order to reduce the number of tests on animals.

In principle, REACH applies to all chemical substances; not only those used in industrial processes but also in our day-to-day lives, for example in cleaning products, paints as well as in articles such as clothes, furniture and electrical appliances. Therefore, the regulation has an impact on most companies across the EU.

REACH places the burden of proof on companies. To comply with the regulation, companies must identify and manage the risks linked to the substances they manufacture and market in the EU. They have to demonstrate to ECHA how the substance can be safely used, and they must communicate the risk management measures to the users.

If the risks cannot be managed, authorities can restrict the use of substances in different ways. In the long run, the most hazardous substances should be substituted with less dangerous ones.

REACH stands for Registration, Evaluation, Authorisation and Restriction of Chemicals. It entered into force on 1 June 2007.

How does REACH work?

REACH establishes procedures for collecting and assessing information on the properties and hazards of substances.

Companies need to register their substances and to do this they need to work together with other companies who are registering the same substance.

ECHA receives and evaluates individual registrations for their compliance, and the EU Member States evaluate selected substances to clarify initial concerns for human health or for the environment. Authorities and ECHA’s scientific committees assess whether the risks of substances can be managed.

Authorities can ban hazardous substances if their risks are unmanageable. They can also decide to restrict a use or make it subject to a prior authorisation.

REACH’s effect on companies

REACH impacts on a wide range of companies across many sectors, even those who may not think of themselves as being involved with chemicals.

In general, under REACH you may have one of these roles:

Manufacturer: If you make chemicals, either to use yourself or to supply to other people (even if it is for export), then you will probably have some important responsibilities under REACH.

Importer: If you buy anything from outside the EU/EEA, you are likely to have some responsibilities under REACH. It may be individual chemicals, mixtures for onwards sale or finished products, like clothes, furniture or plastic goods.

Downstream users: Most companies use chemicals, sometimes even without realising it, therefore you need to check your obligations if you handle any chemicals in your industrial or professional activity. You might have some responsibilities under REACH.

Companies established outside the EU: If you are a company established outside the EU, you are not bound by the obligations of REACH, even if you export their products into the customs territory of the European Union. The responsibility for fulfilling the requirements of REACH, such as registration lies with the importers established in the European Union, or with the only representative of a non-EU manufacturer established in the European Union.

REACHReady

REACH is a European Regulation concerning chemicals and their safe use. It is not a “REACH directive” but a Regulation, which means it applies directly in all 28 Member States of the European Union and also in Iceland, Liechtenstein and Norway as member countries of the European Economic Area. Unlike laws such as RoHS, REACH does not require transposition into national law.

The legislative text of REACH contains 15 Titles covering the different issues and responsibilities under the Regulation, such as Registration, Information in the Supply Chain, and Restriction. Each Title is divided into Chapters, with each Chapter sub-divided into Articles. As part of the legal text there are also 17 Annexes. The Articles of REACH tell us what we must do, the Annexes explain how to do it. You can find a list of the Annexes here.

It is clear that the REACH Regulation is a complex piece of legislation and it’s easy to feel overwhelmed when you’re new to it. But at REACHReady we’ve been helping people to get to grips with what they need to do ensure their compliance for years. We know what the essentials are and the pitfalls to beware of. And of course, the best approach to take to make sure that you tackle REACH in a cost-effective way.

Click to learn about…

Further guidance

The UK Chemicals Stakeholder Forum (UKCSF) has updated and expanded its guidance material on REACH 2018 registration deadline. The purpose of this updated guidance is to raise awareness of the deadline and to help companies to consider what they have to do, in particular to prepare and submit dossiers to ECHA. It is also aimed at downstream users who need to assess the potential for disruption of their supply chains if substances which they depend on are not registered.

The information guidance pack contains the following documents:

Training

We regularly run workshops which will provide an introduction to both REACH and CLP – check out the training section of the website to find out more. Alternatively we can deliver bespoke training tailored to deliver just what you and your colleagues need to know about REACH in your own workplace.

Spread the word!

You might find that not everyone in your supply chain knows as much about REACH as you do. So we’re happy for you to use anything that we produce that is clearly marked with the”REACH – the basics” badge above to copy, print, e-mail, link to on your website or otherwise freely distributed, provided that it is reproduced in its entirety and not altered in any way. *Spread the word and make sure your supply chain minimises the impact of REACH

*This licence to re-distribute does not apply to any of our materials not displaying the “REACH – the basics” badge. See our terms and conditions for details.

Understanding REACH

REACH is a regulation of the European Union, adopted to improve the protection of human health and the environment from the risks that can be posed by chemicals, while enhancing the competitiveness of the EU chemicals industry. It also promotes alternative methods for the hazard assessment of substances in order to reduce the number of tests on animals.

In principle, REACH applies to all chemical substances; not only those used in industrial processes but also in our day-to-day lives, for example in cleaning products, paints as well as in articles such as clothes, furniture and electrical appliances. Therefore, the regulation has an impact on most companies across the EU.

REACH places the burden of proof on companies. To comply with the regulation, companies must identify and manage the risks linked to the substances they manufacture and market in the EU. They have to demonstrate to ECHA how the substance can be safely used, and they must communicate the risk management measures to the users.

If the risks cannot be managed, authorities can restrict the use of substances in different ways. In the long run, the most hazardous substances should be substituted with less dangerous ones.

REACH stands for Registration, Evaluation, Authorisation and Restriction of Chemicals. It entered into force on 1 June 2007.

How does REACH work?

REACH establishes procedures for collecting and assessing information on the properties and hazards of substances.

Companies need to register their substances and to do this they need to work together with other companies who are registering the same substance.

ECHA receives and evaluates individual registrations for their compliance, and the EU Member States evaluate selected substances to clarify initial concerns for human health or for the environment. Authorities and ECHA’s scientific committees assess whether the risks of substances can be managed.

Authorities can ban hazardous substances if their risks are unmanageable. They can also decide to restrict a use or make it subject to a prior authorisation.

REACH’s effect on companies

REACH impacts on a wide range of companies across many sectors, even those who may not think of themselves as being involved with chemicals.

In general, under REACH you may have one of these roles:

Manufacturer: If you make chemicals, either to use yourself or to supply to other people (even if it is for export), then you will probably have some important responsibilities under REACH.

Importer: If you buy anything from outside the EU/EEA, you are likely to have some responsibilities under REACH. It may be individual chemicals, mixtures for onwards sale or finished products, like clothes, furniture or plastic goods.

Downstream users: Most companies use chemicals, sometimes even without realising it, therefore you need to check your obligations if you handle any chemicals in your industrial or professional activity. You might have some responsibilities under REACH.

Companies established outside the EU: If you are a company established outside the EU, you are not bound by the obligations of REACH, even if you export their products into the customs territory of the European Union. The responsibility for fulfilling the requirements of REACH, such as registration lies with the importers established in the European Union, or with the only representative of a non-EU manufacturer established in the European Union.

European Commission

Additional tools

REACH

REACH (EC 1907/2006) aims to improve the protection of human health and the environment through the better and earlier identification of the intrinsic properties of chemical substances. This is done by the four processes of REACH, namely the registration, evaluation, authorisation and restriction of chemicals. REACH also aims to enhance innovation and competitiveness of the EU chemicals industry.

“No data no market”: the REACH Regulation places responsibility on industry to manage the risks from chemicals and to provide safety information on the substances. Manufacturers and importers are required to gather information on the properties of their chemical substances, which will allow their safe handling, and to register the information in a central database in the European Chemicals Agency (ECHA) in Helsinki. The Agency is the central point in the REACH system: it manages the databases necessary to operate the system, co-ordinates the in-depth evaluation of suspicious chemicals and is building up a public database in which consumers and professionals can find hazard information.

The Regulation also calls for the progressive substitution of the most dangerous chemicals (referred to as “substances of very high concern”) when suitable alternatives have been identified.

One of the main reasons for developing and adopting the REACH Regulation was that a large number of substances have been manufactured and placed on the market in Europe for many years, sometimes in very high amounts, and yet there is insufficient information on the hazards that they pose to human health and the environment. There is a need to fill these information gaps to ensure that industry is able to assess hazards and risks of the substances, and to identify and implement the risk management measures to protect humans and the environment.

Having entered into force in 2007, REACH provisions are being phased-in over 11 years. Companies can find explanations of REACH on the DG GROWTH (Internal Market, Industry, Entrepreneurship and SMEs) or ECHA websites, and can contact national helpdesks.

UK REACH: UK REACH Explained

UK REACH explained

UK REACH is a regulation that applies to the majority of chemical substances that are manufactured in or imported into Great Britain (GB) (England, Scotland, Wales). This can be:

A substance on its own

A substance in a mixture, for example ink or paint

A substance that makes up an ‘article’ – an object that is produced with a special shape, surface or design, for example a car, furniture or clothes.

REACH stands for registration , evaluation, authorisation and restriction of chemicals.

EU and UK REACH

Under the European Union (Withdrawal) Act 2018, the EU REACH Regulation was brought into UK law on 1 January 2021 and is known as UK REACH.

REACH, and related legislation, were replicated in the UK with the changes needed to make it operable in a domestic context. The REACH Statutory Instruments that made these changes can be found on legislation.gov.uk. The key principles of the EU REACH Regulation were retained in UK REACH.

The UK REACH and the EU REACH regulations operate independently from each other. You must ensure you comply with both regulations, where necessary.

UK REACH regulates chemicals placed on the market in GB.

Under the terms of the Northern Ireland Protocol, EU REACH continues to apply in Northern Ireland.

Aims of UK REACH

The aims of UK REACH include to:

provide a high level of protection of human health and the environment from the use of chemicals

make the people who place chemicals on the market (manufacturers and importers) responsible for understanding and managing the risks associated with their use

promote the use of alternative methods for the assessment of the hazardous properties of substances – for example quantitative structure-activity relationships (QSAR) and read across

Your duties under UK REACH

Your business must identify and manage the risks presented by substances you manufacture and place on the market in GB. You must be able to demonstrate how the substance can be used safely and you must communicate the risk management measures to the users.

You will need to consider your role in the supply chain in GB and how you use chemicals to determine what your obligations may be. Your previous role under EU REACH may have changed significantly under UK REACH so you should review your role(s) (previous GB downstream users under EU REACH may now be importers under UK REACH).

UK REACH:

covers all sectors manufacturing, importing, distributing or using chemicals as raw materials or finished products (not only the chemical industry)

applies regardless of your company size

makes you responsible for the safe use of the substances you place on the market or use

requires every actor in the supply chain to communicate information on the safe use of chemicals

Scope and exemptions

Generally, UK REACH applies to all individual chemical substances on their own, in mixtures or in articles. Some aspects of UK REACH only apply at one tonne per year or more. For more information go to our guidance on UK REACH registration.

Some substances are specifically excluded:

Radioactive substances

Substances under customs supervision

The transport of substances

Non-isolated intermediates

Waste

Some naturally occurring low-hazard substances

Some substances, covered by more specific legislation, have tailored provisions under UK REACH, including:

Human and veterinary medicines

Food and foodstuff additives

Plant protection products and biocides

Isolated intermediates

Substances used for research and development

Email updates

Receive the latest news and guidance on REACH – subscribe for free email updates

REACH

What is REACH?

REACH is a European Regulation and is an acronym for the Registration, Evaluation, Authorisation and Restriction of Chemicals. The overall aims of REACH are to:

Provide a high level of protection of human health and the environment from the use of chemicals

Allow free movement of substances on the EU market

Enhance innovation and the competitiveness of the EU chemicals industry

Reduce animal testing by promoting the use of alternative methods of assessing chemicals

REACH entered into force on 1st June 2007 and replaced a large number of European Directives and Regulations in a single system.

Scope and exemptions

REACH has a very wide scope as it applies to all chemical substances that are manufactured, imported, placed on the market or used within the European Community, either on their own, in mixtures or in articles with intended release.

Some substances are exempted from the overall scope of REACH, while others are exempted from certain parts of the Regulation. Complete exemptions include:

Radioactive substances

Those under customs supervision

Non-isolated intermediates

Transport of substances

Waste

Other substances can be exempted from certain aspects of REACH provided they are regulated under other existing EU legislation, examples include:

Medicinal products for human or veterinary use

Food or feeding stuffs

Plant protection products and biocides

Substances listed in Annexes IV and V of REACH are exempt from registration.

The Health and Safety Authority and REACH

The Health and Safety Authority (HSA) is the lead Competent and Enforcement Authority for REACH in Ireland. The Authority has a helpdesk that assists industry in fulfilling its obligations under REACH. Companies can contact the helpdesk by calling 0818 289 389 or by emailing [email protected]

The European Chemicals Agency and REACH

The European Chemicals Agency (ECHA) is the body responsible for the administration of REACH in the EU. It manages the submission of data in the form of dossiers from industry and provides guidance and assistance to industry through its website, guidance and helpdesk. Further information on the Agency is available on its website at www.echa.eu.

REACH for Dummies

LEEDS – There is so much confusion regarding the European REACH legislation and the textiles sector that we felt it was time to produce a brief idiot-proof guide. By Phil Patterson.

The REACH legislation stretches to several hundred pages and the official supplementary advice to several hundred more but we’ve condensed it into a small number of bullet points that are relevant to the textile dyeing, finishing and retail industries.

REACH FAQ for DUMMIES

REACH FAQ for DUMMIES

Since the implementation of REACH (Registration, Evaluation, Authorization and Restriction of Chemicals) regulation in June 2007, a number of key provisions have been progressively executed including pre-registration of phase-in substance, the first SVHC (Substances of Very Concern) candidate list of 15 substances and supply chain communication on the safe use of the articles. REACH gives greater responsibility to industry to manage the risks from chemicals and to provide safety information on the substances. 1 June 2009 will be another upcoming compliance date for more provisions. While Directive 76/769/EC will be repealed by restriction provision of the REACH regulation (Annex XVII), the first SVHC list subjected to authorization (Annex XIV) will be duly released. So are you ready to prepare?

Given the inherent complexity and technical difficulty of the REACH regulation and associated guidance documents, you may still find your actual obligations unclear; this is particularly true if you are non-European Union (EU) article manufacturer or importers that do not produce chemicals or preparations. This FAQ document is aimed to highlight some of the areas that may be confusing to you as a professional faced with the challenges of REACH.

Q1. While REACH is a chemical-related regulation, why do manufacturers of physical, tangible products need to worry about a chemical management policy? Under REACH, those physical, tangible products (e.g. toys, cutlery, garments, and electrical appliances including the smaller components and spare parts that are integral to the product’s function) are generally to be classified as articles. They are manufactured with and from various chemical substances. In addition to establish the chemical inventory within the European Community, REACH also aims to better control the use of dangerous substances (restricted substances and SVHC), this obviously includes the restriction of certain substances or certain uses. The use of dangerous substances on those physical, tangible products is also covered.

Q2. Does REACH affect companies outside the European Community? Being a regulation that only has legal effect within jurisdictions that have adopted its legal framework, REACH obligations only fall on those companies with a legal presence (e.g. manufacturers, importers, retailers, etc.) within the 30 implemented European countries. Therefore, companies established outside the Community that are exporting their products into the customs territory of the 30 countries are not bound by the obligations of REACH.

However, companies outside the Community may wish to support its business partners established in the European Community in order to facilitate its business activities. They may be required to provide their customers with REACH information on the content of the products that they supply to customers.

Q3. What if a phase-in substance is not pre-registered by 1 December 2008? 1510245(a) First-time Manufacturer or Importer: Only if the company is a so called first-time manufacturer or importer of that substance in quantities of 1 tonne or more per year after the pre-registration deadline has passed. Manufacture or import for the first time, refers to the first time after the entry into force of REACH (1 June 2007). First-time manufacturers or importers must pre-register within six months after the first manufacture or import reaches the 1 tonne threshold, and not later than 12 months before the relevant deadline for registration. The same applies for imported articles that contain a phase-in substance for which registration is required.

(b) Current Manufacturer or Importer: A company that fails to pre-register a phase-in substance by the pre-registration deadline may neither import nor manufacture it after that date until it has fully registered the substance with European Chemical Agency (ECHA).

Q4. What article is considered containing substances intended to be released? The intended release of substances as such or in preparations from an article normally applies to an accessory function of an article. If an article has an accessory function, which is achieved through the release of substances or preparations during normal and reasonably foreseeable conditions of use, then the release is to be regarded as intended. The guidance document published by ECHA in May 2008 explained scented eraser and pantry hose with lotion are the examples of this type.

It is worth noted that ink cartridges, toner cartridge and wet cleaning wipes are not considered articles with intentional release. These items are special containers containing a preparation. The cartridge and wipe carrier material are merely a delivery mechanism for a preparation that may contain substances that need to be registered.

Q5. When is Safety Data Sheet (SDS) required? SDS should prepare for the following substances or preparation regardless of product volume according to Article 31 of the REACH regulation.

1510245(a) Dangerous according to 67/548/EEC or 1999/45/EC(b) PBT (Persistent, Bioaccumulative and Toxic) or vPvB (very Persistent and very Bioaccumulative)

(c) SVHC listed in Annex XIV

(d) Not classified as dangerous according to 1999/45/EC but posing human health or environmental hazards

(e) Exists a community workplace exposure limits Q6. Given that consumer products like toys, clothing and electrical appliances are classified as articles, what are the REACH requirements for these products? Generally, there is no known or intended release of chemical substances under normal or reasonably foreseeable conditions from the use of these consumer products, the obligation to register or provide safety data sheet for substances that are intended to be released for article does not apply to these products. The major concern for the products of this type will be the possible SVHC presence in the products. As Directive 76/769/EEC is going to be repealed by REACH in June 2009, any amendment in the requirements for restricted substances inside the articles should be kept update.

Q7. Are electronic products still required to concern RoHS compliance requirement? REACH is a general chemical policy to disclose information on hazardous substances. Existing product specific directives/regulations such as RoHS for electronic products, EN71 Safety Standard for toys and Regulation 1905/2004/EC for food contact material are still valid to regulate their respective product scopes. Therefore, products are required to comply the relevant stipulations of these directives/regulations in addition to fulfill the REACH requirement.

Q8. What are the obligations of packaging materials and containers? Packaging materials and substance/preparation containers may be produced or imported separately as packaging of imported goods. The guidance document published by ECHA in May 2008 revealed that the packaging material or container is always a separate “article” and to be assessed separately from any object it contains. The obligations for articles also apply to packaging materials and containers.

Q9. What are the requirements of an article containing SVHC appearing on the Candidate List and/or Annex XIV? The criteria to be classified as SVHC have been explicitly stipulated in Article 57 of the REACH regulation. Substances meeting these criteria may be placed on one or both of two lists that are defined in the REACH regulation: the so called “Candidate List” and “Annex XIV List”.

1510245(a) Candidate List: Two key provisions are required to consider if an article containing SVHC listed in the Candidate List. Firstly, notification to ECHA is required if any of the candidate SVHC in articles is present at greater than 0.1% weight by weight (w/w) and the total amount exceeds 1 tonne per year per producer or importer. Secondly, any of the candidate SVHC is present above 0.1% (w/w) in the article, it is obligatory to inform the recipients of the article along the supply chain about the chemical name(s) and how the article can be safely used.

(b) Annex XIV List: The list will be selectively drawn from the Candidate List published by ECHA. Those SVHC listed in Annex XIV will not be allowed to be used, placed on the market or imported into the EU after a date to be set unless the company is granted an authorization for specific uses.

Q10. Regarding on the SVHC in the article, what is meant by 0.1% by weight? Is it against the entire article, homogenous material or something else? The REACH regulation stated that SVHC notification trigger is for those substances “in a concentration above 0.1% (w/w)”. The guidance document published by ECHA in May 2008 further clarified this to mean 0.1% weight by article weight, rather than at the homogenous material level. However, several EU member states including Austria, Belgium, Denmark, France, Germany, and Sweden have explicitly disagreed with this interpretation and argued the validity of the homogenous material/component level to ensure the protection of human health and the environment. While the legal interpretation needs to be resolved by a European Court, clients are recommended to consider the worst-case scenario (i.e. homogenous material/component level).

Q11. How does the SVHC Candidate List develop? A potential SVHC may be prioritized by the 30 national REACH Competent Authorities or by ECHA at the request of the European Commission, and a dossier prepared for nomination of the substance for inclusion on the Candidate List. The list of proposed substances is then released on ECHA website at http://echa.europa.eu and invites all interested parties to voice their scientific comments on the identification of the substance as SVHC and any additional information related to exposures, safer alternatives and potential risks within a set timeframe. If no comments are received, the substance will be automatically included on the Candidate List. However, if comments are received, ECHA will refer the dossier to its Member State Committee where agreement will be sought as to whether the substance meets the SVHC criteria. If there is failure to reach a comprise agreement at the Member State Committee, then the European Commission will prepare a draft proposal on the identification of the substance and a final decision subsequently taken in accordance with the comitology procedure laid out in Article 133 of the REACH regulation.

Q12. Should those articles containing SVHC less than 0.1% (w/w) be considered for the purpose of notification to ECHA? Notification to ECHA will apply to those articles containing candidate SVHC greater than 0.1% (w/w). Concerning the one tonne per year threshold, producer or importer are only required to count those articles containing candidate SVHC greater than 0.1% (w/w).

What’s next? Should you immediately take any concrete action to ensure your compliance this regulation and/or enable your business remain competitive on the EU market? Please let us know your next step. SGS is committed to supporting industries for REACH compliance with diversified solutions.

Tel: 852 2774 7486

For print version, please download PDF here (PDF 68 KB)

About SGS

SGS is the world’s leading inspection, verification, testing and certification company. SGS is recognized as the global benchmark for quality and integrity. With more than 75,000 employees, SGS operates a network of over 1,500 offices and laboratories around the world.

UK REACH: UK REACH Explained

UK REACH explained

UK REACH is a regulation that applies to the majority of chemical substances that are manufactured in or imported into Great Britain (GB) (England, Scotland, Wales). This can be:

A substance on its own

A substance in a mixture, for example ink or paint

A substance that makes up an ‘article’ – an object that is produced with a special shape, surface or design, for example a car, furniture or clothes.

REACH stands for registration , evaluation, authorisation and restriction of chemicals.

EU and UK REACH

Under the European Union (Withdrawal) Act 2018, the EU REACH Regulation was brought into UK law on 1 January 2021 and is known as UK REACH.

REACH, and related legislation, were replicated in the UK with the changes needed to make it operable in a domestic context. The REACH Statutory Instruments that made these changes can be found on legislation.gov.uk. The key principles of the EU REACH Regulation were retained in UK REACH.

The UK REACH and the EU REACH regulations operate independently from each other. You must ensure you comply with both regulations, where necessary.

UK REACH regulates chemicals placed on the market in GB.

Under the terms of the Northern Ireland Protocol, EU REACH continues to apply in Northern Ireland.

Aims of UK REACH

The aims of UK REACH include to:

provide a high level of protection of human health and the environment from the use of chemicals

make the people who place chemicals on the market (manufacturers and importers) responsible for understanding and managing the risks associated with their use

promote the use of alternative methods for the assessment of the hazardous properties of substances – for example quantitative structure-activity relationships (QSAR) and read across

Your duties under UK REACH

Your business must identify and manage the risks presented by substances you manufacture and place on the market in GB. You must be able to demonstrate how the substance can be used safely and you must communicate the risk management measures to the users.

You will need to consider your role in the supply chain in GB and how you use chemicals to determine what your obligations may be. Your previous role under EU REACH may have changed significantly under UK REACH so you should review your role(s) (previous GB downstream users under EU REACH may now be importers under UK REACH).

UK REACH:

covers all sectors manufacturing, importing, distributing or using chemicals as raw materials or finished products (not only the chemical industry)

applies regardless of your company size

makes you responsible for the safe use of the substances you place on the market or use

requires every actor in the supply chain to communicate information on the safe use of chemicals

Scope and exemptions

Generally, UK REACH applies to all individual chemical substances on their own, in mixtures or in articles. Some aspects of UK REACH only apply at one tonne per year or more. For more information go to our guidance on UK REACH registration.

Some substances are specifically excluded:

Radioactive substances

Substances under customs supervision

The transport of substances

Non-isolated intermediates

Waste

Some naturally occurring low-hazard substances

Some substances, covered by more specific legislation, have tailored provisions under UK REACH, including:

Human and veterinary medicines

Food and foodstuff additives

Plant protection products and biocides

Isolated intermediates

Substances used for research and development

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