In 2007, the European Union (EU) adopted a regulation to improve the protection of human health and the environment from the risks associated with chemical use commonly referred to as REACH.? REACH stands for Registration, Authorization, and Restriction of Chemicals.? Although REACH is an EU regulation, manufacturing facilities in the United States (U.S.) have been receiving routine requests to document that their products comply with REACH.? This may be difficult to do unless you know what REACH requires.
REACH requirements can vary based on whether your facility is a manufacturer, importer or downstream user. When thinking of these three categories it is important to remember that as this is an EU regulation, the manufacturer requirements apply to a chemical manufacturing facility in the EU. The importer requirements apply to an entity that imports chemicals to the Tim Stanley Cup finals jerseys EU and the downstream user would be an entity in the EU that utilizes the chemical.
For chemical manufacturers in the EU, REACH required that the chemical substances either manufactured by or utilized by these companies be registered. As multiple companies may utilize the same chemical substances, companies were encouraged to work together with other
For U.S. companies with no manufacturing facilities in the EU, REACH requirements involve the notification requirements for importers. The first notification deadline for the Classification and Labeling Inventory (CLP) was January 3, 2011. The CLP is a new EU regulation. It relates to REACH as the applicability of CLP includes all non-hazardous substances subject to registration under REACH whenever they are placed on the market in the EU. As a result, in the fall of 2010, U.S. manufacturers were beginning to get requests from their EU customers to provide information on the chemicals in the products they supply. This includes chemicals in articles such as castings, furniture, clothing, toys, etc. above a concentration of 0.1% by weight. The requests were in various formats but all essentially included a requirement to identify the specific products supplied and certify that the products did not contain any of the REACH Candidate List of Substances of Very High Concern (SVHC) in excess of 0.1% by weight. The submittals were then made directly to the EU customers by the U.S. manufacturers.
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