Title: Reach New EU chemicals policy
1Reach - New EU chemicals policy
- Ir. Clarine Sieger
- Vogin
- Utrecht, 4 April 2006
2Outline
- Brief introduction to REACH
- Why do we need it ?
- Main procedures
- REACH implementation
3New EU chemicals policy why?
- -gt Drawbacks with implementation of current
legislation - Burden of proof with authorities
- There is a need for further information
- Inherent properties of substances
- Use of and exposure to substances
- Lack of incentives for innovation (new vs.
existing substances) - -gt Change of responsibility
- Today Authorities to identify risks
- Future Industry to demonstrate safety
4Present situation for new and existing substances
- New substances
- - Pre-market control
- - 3000 substances (1981- )
- 300 additional per year
- - Notification gt10 kg gt
- Demanding data requirements
- Risk assessments
- - Low innovation rate
- High costs
- Long time-to-market
- Green new chemicals not promoted
- Existing substances
- - No pre-market control
- - gt100 106 substances on EINECS
- - Existing substances program (1993-2005)
- 141 HPV substances prioritised (2800 HPVs)
- 127 Risk assessments (39 final)
- No data requirements
- No Risk assessments
- - The burden of the past- Lack of data on
Effects/Exposure/Risk
5New EU chemicals policy
- Mid/end 90ies Drawbacks with current policy
identified - White Paper published Feb 2001
- 29 October 2003 Commission adopts proposal for a
REACH Regulation - 17 November 2005 The European Parliament
completes the first reading.(gt 5000 amendments) - 13 December 2005 the Council adopts a political
agreement. http//register.consilium.eu.int/pdf/en
/05/st15/st15921.en05.pdf - Autumn 2006? Final decision by the Parliament and
the Council - Spring 2007? REACH Regulation enters into force
6EU Co-decision procedure
2001
EU-Commission
DG Environment
DG Enterprise
Commission College
Council of the EU
European Parliament
Ad Hoc working group
Committees
COREPER
Plenary Session
Comp. Council
Envi. Council
2007
EU Regulation on REACH
7REACH
- Registration of manufactured/imported chemical
substances gt 1 tonne/year (Industry) - Evaluation of some registration dossiers (Member
States) - Authorisation for use of substances of very high
concern (CMR, PBT, vPvB) - Restriction Safety net (Can be initiated by
Member states and the Commission) - Chemicals
8The REACH-system Four parts
Registration, ca 30 000 substances
Evaluation, ca 5 000 substances -Test
proposals (gt100 ton) - Compliance check
-Substances with potential risks
Authorisation Substances of very high concern
e.g. CMR cat. 1,2 and PBTs ,vPvBs Restrictions,
when EU-wide measures are needed
9Registration - overview
10Simplified Reach process
Pre-registration
Production volume Uses Chemical safety reports
(for gt 10 tpa)
Consortia formation
gt 1 tpa
Registration
PBTs CMR cat.1 cat.2 vPvB
Down stream user
Dossier evaluation by competent authority
further test?
gt100 tpa
Evaluation
Restriction
Authorization/ or further information
Authorization PBTs CMR cat.1 cat.2 vPvB
11REACH Implementation Projects (RIPs)
- RIP 1 REACH Process Description
- RIP 2 REACH IT
- RIP 3 Technical Guidance and Tools for Industry
- RIP 4 Technical Guidance and Tools for
Authorities - RIP 5 Setting up the Pre-Agency
- RIP 6 Setting up the Agency
- RIP 7 Commission preparations for REACH
12RIP-1 REACH Process Description
- To achieve a better stakeholder understanding of
the REACH procedures and to provide a basis for
the detailed work in the other RIP projects. - Flowcharts - REACH in detail of 04.04.2004
- Detailed Process Description of REACH of
15.06.2004 - Questions and Answers on REACH Part II of
22.11.2004
13RIP 2 REACH - IT
- REACHIT
- Workflow support system (Agency, Companies,
Authorities)
- IUCLID 5
- Central Database (Agency, Companies, Authorities)
Uses OECD agreed data formats
14REACH IT.
- Central IT system of European Chemicals Agency
that will support the implementation of the REACH
legislation - web portal for submission and consultation of
information by industry - workflow system for full control of all tasks
triggered by REACH - (REACH-IT database) identification and status of
dossiers, - dissemination system for publishing
non-confidential data on the Agency website
15IUCLID 5
- In Industry
- The tool for capturing data on chemicals,
preparing and submitting dossiers - In the Agency in the Member states competent
authorities - The central data repository for all dossiers
submitted - The basis for dossier compliance check and
substance evaluation
163.1 Preparing the registration dossier
3.10 Guidance on checking substance ID
3.2 Preparing the CSR
3.4 Guidance on data-sharing
3.3 Information requirements
RIP 3 - Technical Guidance and Tools for Industry
3.7 Guidance on applications for authorisation
3.5 Guidance for downstream users
3.8 Requirements for articles
3.9 Guidance on SEA
3.6 Guidance on CL under GHS
17RIP 4 - Tech. Guidance and Tools for Authorities
4.1 Guidance on dossier evaluation
4.2 Guidance on substance evaluation
4.5 Priority setting for evaluation
4.3 Inclusion of substances in Annex XIII
4.4 Preparation of Annex XIV dossiers
18REACH does NOT include RULES for CL
- It refers to
- -gt Substance classification Directive 67/548/EEC
- -gtPreparation classification Directive
1999/45/EC - -gt Safety Data Sheets REACH Annex I a
19..but REACH links to CL e. g.
- -gt Registration
- - Information requirements for registration
Art. 9, Annex IV - - CSA/CSR Art. 13, Annex I
- -gt Information in the supply chain
- - SDS provisions Art. 29, Annex Ia
- - Authorisation and restrictions of CMRs -
Article 54, 65 - -gt CL Inventory Title X Article 109-113
- - Notification aim to reach agreement on CL
Art. 110 (industry) - - Community harmonised CL for CMR, respiratory
sensitisers, other endpoints on a case-by-case
basis - Art. 112 (authorities)
20Aim GHS (Global Harmonized system) entry into
force as close as possible to REACH
- Technical consultation with stakeholders
- Studies
- - GHS Implementation Study differences between
EU and GHS system - http//europa.eu.int/comm/enterprise/reach/ghs_en
.htm - - Analysis of the impact of the adoption of the
GHS, final report expected end of March - - Assessment on possible effects on downstream
legislation about to be finalised - Technical support
- - Preparation of technical Annexes
- Public internet consultation planned for May/June
2006 with specific questions
21Chemical Safety Report (CSR)
- Part of registration dossier (gt10 tonne/year)
- The manufacturer/importer must
- Conduct a Chemical Safety Assessment (CSA)
showing that the chemical can be used safely for
all identified uses throughout the chemical life
cycle - The chemical life cycle covers all uses of the
substance on its own, in preparations and in
articles/products
22Chemical Safety Report (CSR)
- The manufacturer/importer must also
- Declare that Risk Management Measures (RMM) are
implemented for own manufacturing and use - Declare that RMM are communicated to downstream
users for downstream identified uses - RMM are process and emission control, personal
protective equipment, good hygiene, etc.
23Exposure Scenarios
- Exposure scenarios are the crosscutting tools in
the process for preparing the CSA, CSR, and SDSs.
An exposure scenario sets out the conditions
(risk management measures and the related
operational conditions) under which a substance
can be used. - An exposure scenario contains the information
and/or assumptions that enables the risk assessor
to estimate the exposure - Characteristics of the substance physical state,
vapour pressure etc. - Technical description of use and control
- Process description
- Tasks of operator (description, duration,
frequency of exposure, etc.) - Risk management measures
24The Downstream User
- Must
- Implement RMM communicated to him via the
exposure scenarios in the SDS Annex - If he uses the chemical outside the conditions
described in the exposure scenario(s) - Inform his supplier of this use to make it an
identified use - Alternatively
- Conduct a safety assessment for his own use
- Implement RMM for safe use
- Submit a postcard registration
- Communicate safe use further down the supply
chain if he is supplier
25Communication
SDS including Exposure Scenarios (Recommended
Risk Management Measures)
Safety Data Sheet
Specific use
26All information available on
- http//ecb.jrc.it/REACH
- CLEEN, Chemicals Legislation European Enforcement
Network - http//www.cleen-eu.net
- DG Enterprise REACH
- http//europa.eu.int/comm/enterprise/reach
- DG Environment REACH
- http//europa.eu.int/comm/environment/chemicals
/reach.htm