Title: REACH at work
1REACH at work
- Selling in Europe? Be REACH Compliant.
- Hong Kong 2 April 2009
- Eva Sandberg
- International relations
- European Chemicals Agency
2REACH and ECHA
- REACH Regulation entered into force 1 June 2007
- ECHA was created in this regulation
- ECHA became operational 1 June 2008
- Building up phase till 2010
- Number of staff presently 300 will grow by end
of 2010 to 430 - ECHA is managing the implementation of the
- REACH Regulation 1907/2006
- Regulation 1272/2008 on the classification,
labelling and packaging of substances and
mixtures
3European Chemicals Agency
4ECHA Mission
- Manage and carry out REACH tasks
- Ensure consistency at Community level
- Provide Member States EU institutions with
advice on chemicals which fall under REACH - Manage guidance, IT tools and data bases
- Support national helpdesks and provide advice to
registrants - Make info on chemicals publicly accessible
5ECHA Mission
- Providing ECHA Help desk and Guidance
- Providing IT tools for use by industry and MSCA
- Running multilingual ECHA Website
http//echa.europa.eu/home_en.asp - Guidance for industry and authorities on how to
comply with REACH requirements and how to use
REACH IT - Registry of Intention incl. info on Annex XV
dossier supplied - Public consultations on the proposals for
implementing REACH requirements (CL,
identification of substances of very high
concern, substances to be subject to
authorisation, restrictions) - List of pre-registered substances
- Guidance IT systems work processes gradually
operational starting 1 June 2008
6Core values of ECHA
- Efficient in operations, transparent in
procedures - Transparent (public documents)
- Science-driven (expertise, Committees)
- Independent (opinions to the Commission)
- Balanced (equal treatment of all companies)
- Trustworthy (data security)
- Respecting deadlines (many are very short!)
- Helpful (timely delivered clear relevant advice)
7What is ECHA?
- ECHA comprises (Art. 76)
- The Management Board
- The Committees
- a Committee for Risk Assessment
- a Committee for Socio-Economic Analysis
- a Member State Committee
- a Forum for Exchange of Information on
Enforcement - The Board of Appeal
- The Secretariat
8Committee for Risk Assessment (RAC)
- Consists of scientific experts nominated by
Member States and appointed by the Management
Board - Tasks
- Prepares Agencys opinions for the Commission on
- Classification and Labelling proposals in
accordance with the CLP Regulation 1272/2008 - Comparison of hazard data with the criteria
- Restriction proposals
- As to whether the suggested restrictions are
appropriate in reducing risks - Authorisation applications
- Risk assessment and assessment of appropriateness
and effectiveness of the risk management measures
described in the application, and if relevant
assessment of risks of alternatives - Provides opinions on any other questions relating
to REACH and risks to human health or the
environment at the request of the Executive
Director
9Committee for Socio-economic Analysis (SEAC)
- Consists of scientific experts nominated by
Member States and appointed by the Management
Board - Tasks
- Prepares Agencys opinions for the Commission on
- Restriction proposals based on
- consideration of socio-economic factors of the
proposal and evaluation of the socio-economic
impact - assessment of comments of interested parties
concerning socio-economic impact - Authorisation applications based on
- assessment of socio-economic factors and the
availability, suitability and technical
feasibility of alternatives - Provides opinions on any other questions relating
to REACH and socio-economic impact of possible
legislative action on substances at the request
of the Executive Director
10Member State Committee (MSC)
- Consists of members appointed by the Member
States - Tasks
- Seeks unanimous agreement on draft decisions
concerning evaluation - Dossier evaluations testing proposals and
compliance checks - Substance evaluations
- Seeks unanimous agreement on identification of
substances of very high concern (SVHC) - Gives opinions on
- ECHAs draft recommendation for Annex XIV
(authorisation list) - Community Rolling Action Plan established for
substance evaluation - Safety of substances at the request of the
Executive Director
11The Forum
- Coordinates a network of Member States' competent
authorities responsible for enforcement - Tasks include
- Promotion of best practices tools
- Development of electronic info exchange
procedures - Identification of enforcement strategies
- Coordination and evaluation of harmonised
enforcement projects - Liaison with industry
- Advising on enforceability of restriction
proposals
12Board of Appeal
- To decide on appeals against decisions taken by
Agency - Independent and impartial
- No other duties inside the Agency
- Not against all ECHA decisions
- Appeal fee which may be refunded
13REACH - Main Milestones
- Communication obligations from 1/6/2007
- Safety Data Sheets
- Pre-registration 1/6-1/12/2008
- Finished
- Registration
- Phase-in substances 2010/2013/2018
- Non-phase-in (new) substances from 1/6/2008
- Authorisation from 2012
- 1st candidate list and 28 Oct 2008
- information obligations
- Restrictions
- Annex XVII entry into force by 1/6/2009
- Notification of substances
- in articles from 2011
14REACH and Non-European Industry
15EU Legislation
- Applies to EU 27 Member States
- Austria
- Belgium
- Bulgaria
- Czech Republic
- Cyprus
- Denmark
- Estonia
- Portugal
- Finland
- France
- Germany
- Greece
- Hungary
- Ireland
- Italy
- Latvia
- Lithuania
- Luxembourg
- Malta
- The Netherlands
- Poland
- Portugal
- Romania
- Slovenia
- Slovakia
- Spain
- Sweden
- United Kingdom
16EU Legislation - REACH
- Applies to a legal entity within the EU
- Manufacturers and Down-stream users based in the
EU - Importers of chemicals or articles
- Only Representatives
17REACH for non-EU companies
- Non-EU companies are not directly impacted (i.e.
do not have direct legal obligations) - but imports to the 27 EU-Member States are under
the scope of REACH - EU-importers or Only Representatives (O.R.) must
fulfill all REACH obligations for imported
substances, preparations, articles, such as - (pre-)registration, including data exchange
(SIEF) - notification of SVHC in articles if above 0,1
SVHC in articles - notification to ECHA (2011)
- info for downstream users (when introduced on the
Candidate list) - info to consumer on request (when introduced on
the Candidate list)
18REACH for non-EU companies
- and
- EU-importers/O.R. rely on their suppliers in
third countries for hazard data and safe use
information that is required by REACH - in practice, non-EU companies have to provide
data of sufficient quality (e.g. OECD GLP
certified labs) and in time to enable their
importers/O.R. - to participate in data-sharing and (joint)
registration - to fulfill their duties with regard to
supply-chain information
19Only Representatives
1. A manufacturer established outside the
Community who manufactures a substance on its
own, in preparations or in articles, formulates a
preparation or produces an article that is
imported into the Community may by mutual
agreement appoint a natural or legal person
established in the Community to fulfill, as his
only representative, the obligations on importers
under this requirement.
20Only Representatives
2. The representative shall also comply with all
other obligations of importers under this
Regulation. To this end, he shall have a
sufficient background in the practical handling
of substances and the information related to them
and, without prejudice to Article 35 (obligation
to keep information) shall keep available and
up-to-date information on quantities imported and
customers sold to, as well as information on the
supply of the latest update of the safety data
sheet referred to in Article 31.
21Focus on Only Representatives
- The EU O.R. shall
- comply with all obligations of an EU-importer,
e.g. - (pre-)registration including data sharing (SIEF)
- information in the supply chain
- have a sufficient background in handling
substances - keep available up to date info on imported
volumes and customers (importers, treated as down
stream users) - have and distribute the latest version of SDS (to
importers) - notify (2011) SVHC gt0.1 to ECHA
- inform DU and consumer (upon request) of presence
of gt0.1 SVHC in articles
22Focus on Only Representatives
- The non-EU manufacturer shall
- inform the importers within the same supply chain
of the appointment - provide the O.R. with all necessary information
- Hazard data, incl. test data
- Information on all importers and their subsequent
supply chains (exposure scenarios) - Presence of SVHC at gt0.1 in articles
- All information needed for preparing/updating a
SDS - Without good and complete data from the Exporter,
the importer or O.R. cannot function!
23Information sources on ECHA Website
- ECHA Helpdesk questions via web form
- Basic REACH information for non EU inquirers
- Question related to REACH IT, IUCLID and other
ECHA tools - Questions related to REACH requirements (non EU
inquirers) - Frequently asked questions, FAQ
- Guidance website
- Navigator
- Guidance Documents related to the REACH
processes - Guidance Fact Sheets
- Glossary
- Guidance feedback form
- Formats, templates (e.g. CSR)
24ECHA Website
Support Websites
25ECHA contact
ECHA contact For additional information
Questions to ECHA Helpdesk - Only via web-form,
no direct e-mails, no phone calls!!
- For additional information
Please choose the right option
26ECHA Helpdesk
- Operational since 1 June 2007
- Coordination of REACH national helpdesks in each
Member State 1st point of contact for EU
industry (list on ECHA website) - Service to registrants and MSCAs
- 1st point of contact for non-EU industry
- ECHA chairs and has Secretariat of the REACH
HelpNet, represented by the REACH helpdesk
correspondents network (REHCORN) - Aim of the network achieve consistent and
harmonised advice to stakeholders across EU
27Who are the customers?
- Industry in the EU
- Industry outside the EU
- Consultancy companies
- Users of IUCLID
- National REACH Helpdesks
- Anyone that posts a question
28Questions from non-EU countries
Shows Jan-March 2009 496/1916 questions from Non
EU-countries
29Guidance Documents published for industry and
authorities
- Work started before REACH 2004-2007
- Most Guidance documents already published on ECHA
web-site (incl. translation where possible) - Initiatives for new guidance/updates under
discussion - Ongoing improvement of guidance IT tools (e.g.
navigator, keyword search, CSA/CSR tool)
http//echa.europa.eu
30Guidance Website
Guidance Website
Guidance fact sheets available
31Guidance Documents
- Registration (incl. Polymers, PPORD,
Intermediates) - Substance Identity
- Data Sharing (including pre-registration)
- Information Requirements and Chemical Safety
Assessment - Downstream User Requirements
- Classification and Labelling (expected 2009)
- Substances in Articles
- Socio-economic assessment
- Process for inclusion in Annex XIV
(authorization) - Priority setting for evaluation (dossier, test
proposals, substances) - Annex XV Dossiers proposals for CL, candidate
substances for authorization, restrictions
32ECHA Welcomes All To Its 2nd Stakeholders Day
- WHEN 27 May 2009,
- WHERE Helsinki Exhibition and Convention
Centre, Finland Up to 500 - WHO participants worldwide from industry,
national authorities and interest groups - COST Free of charge.
- REMOTE Can be followed over the Internet via
- ACCESS web streaming
- PRECEEDS The Helsinki Chemical Forum on 28 and
29 May 2009 - INFO http//echa.europa.eu/home_en.asp
33http//echa.europa.eu
ECHA website For any information about REACH and
ECHA
- Follow the news on our home page
34- Thank You for Your attention!
- ????!