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United Kingdom
On June 28, 2023, the UK published the REACH (Amendment) Regulations 2023 (No.722) which extends the legislative deadlines for registrants to submit information by three years. The REACH (Amendment) Regulations shall enter into force on July 19, 2023. That is to say, from July 19, 2023, there will be new transitional periods and dossier submission deadlines will be extended to October 27, 2026, October 27, 2028, and October 27, 2030, based on different tonnage bands.
With the first UK REACH submission deadline (October 2023) approaching, the UK government has released a consultation on extending the current submission deadlines. According to the consultation results published on November 29, 2022, 82% of respondents selected to extend the deadline by three years.
The Health and Safety Executive (HSE) received an application for authorization of two substances from Roche Diagnostics Switzerland. From 9 August 2022, HSE has asked for public comments on the scientific and technological information on alternatives or processes of these two substances. The deadline for comments is 4 October 4, 2022.
On 13 April 2022, the United Kingdom notified WTO of a technical trade measure related to toys and cosmetics, with the notification number G/TBT/N/GBR/47. This notified Regulation amends Part 3 of Schedule 2 to the Toys (Safety) Regulations 2011 to prohibit the use of specific allergenic fragrances in Toys. It also restricts the permitted levels of aluminium in toys and the use of aniline, and formaldehyde in toys intended for use by children under 36 months or in other toys intended to be placed in the mouth. The amendments shall enter into force on 15 October 2022.
As we continue on the journey through UK REACH CIRS has gained invaluable practical experience. Since the beginning of UK REACH CIRS has become the Only Representative for 600+ clients globally we have also completed 500+ DUIN, assisted UK clients by Grandfathering 70+ registration, and completed the Full registration of 20+ substances on behalf of our clients. Over the last year, this experience coupled with the continuous communication with the HSE has allowed us to remain up to date with all the developments and nuances of the UK REACH requirements. CIRS would like to share the information we have gathered to date as well as the latest information that has come out from the HSE in recent weeks.
As we continue on the journey through UK REACH CIRS has gained invaluable practical experience. Since the beginning of UK REACH CIRS has become the Only Representative for 600+ clients globally we have also completed 500+ DUIN, assisted UK clients by Grandfathering 70+ registration, and completed the Full registration of 20+ substances on behalf of our clients. Over the last year, this experience coupled with the continuous communication with the HSE has allowed us to remain up to date with all the developments and nuances of the UK REACH requirements. CIRS would like to share the information we have gathered to date as well as the latest information that has come out from the HSE in recent weeks.
As we continue on the journey through UK REACH CIRS has gained invaluable practical experience. Since the beginning of UK REACH CIRS has become the Only Representative for 600+ clients globally we have also completed 500+ DUIN, assisted UK clients by Grandfathering 70+ registration, and completed the Full registration of 20+ substances on behalf of our clients. Over the last year, this experience coupled with the continuous communication with the HSE has allowed us to remain up to date with all the developments and nuances of the UK REACH requirements. CIRS would like to share the information we have gathered to date as well as the latest information that has come out from the HSE in recent weeks.
As we continue on the journey through UK REACH, CIRS has gained invaluable practical experience. Since the beginning of UK REACH, CIRS has become the Only Representative for 600+ clients globally. We have also completed 500+ DUIN, assisted UK clients by Grandfathering 70+ registration, and completed the Full registration of 20+ substances on behalf of our clients. Over the last year, this experience coupled with the continuous communication with the HSE has allowed us to remain up to date with all the developments and nuances of the UK REACH requirements. CIRS would like to share the information we have gathered to date as well as the latest information that has come out from the HSE in recent weeks.
UK has officially left EU since 1 Jan. 2021. Following the UK's exit from the EU, the CLP Regulation has been retained in GB law, with some minor changes, to become the GB CLP Regulation. In this article, CIRS will give an introduction to the classification and labeling of chemicals in GB as well as the SDS requirements, and provide compliance suggestions to related enterprises.
During the discussions for the UK’s withdraw from the EU, the UK authorities indicated that the UK Poison Centre Notifications would remain Voluntary and only require submission of an SDS to the National Poisons Information Service (NPIS). This was continuously communicated to business throughout and even after the end of the transition period by both DEFRA and the HSE that Annex VIII was not being brought into UK law on Brexit. However, it has recently come to light that the Annex VIII of the EU CPL 1272/2008 is in fact part of UK Law and has been so since the 1st of January 2021.