Abstract

Editorial On June, 1st, we celebrated five years experience since the European REACH Regulation [1] entered into force. The experience is mainly positive: In nearly 29,000 technical dossiers for approximately 5,900 substances, registrants submitted a huge amount of information on uses, properties, hazards, toxicological and ecotoxicological effects to the European Chemicals Agency (ECHA) in Helsinki. These registrations include all substances with a manufacturing or import volume of more than 1,000 tons per year and registrant, all substances that are carcinogenic, mutagenic or toxic for reproduction which are intended to stay on the EU-market, and some more important chemicals. It was a really hard challenge for companies to meet the deadline for registration and the REACH information requirements. Although we, and also ECHA [2] are not completely satisfied with the quality of many dossiers and the way the information requirements were interpreted, we’d like to congratulate the world-wide chemical industry for managing this challenge in time. The task for authorities is to prioritise substances for regulatory activities. For ECHA this is the dossier evaluation, for Member States authorities the substance evaluation and for all authorities elaborating proposals to identify substances of very high concern (SVHC), and candidates for authorisation and restrictions. Some of these tasks are already in the beginning (e.g. substance evaluation), others are ongoing, (e.g. the identification of SVHC). By September, 1st, 84 SVHC are included in the candidate list, and 14 substances are included in Annex XIV and therefore will be subject for authorisation in future. To elaborate the proposals and to agree the measures in the Member State Committee was not an easy task – and therefore we congratulate also the Member States authorities, and especially ECHA. Reflecting five years experiences, we see options for some improvements. Among other suggestions, the most important is to strengthen the role of ECHA: As a last

Highlights

  • It was a really hard challenge for companies to meet the deadline for registration and the REACH information requirements

  • By September, 1st, 84 substances of very high concern (SVHC) are included in the candidate list, and 14 substances are included in Annex XIV and will be subject for authorisation in future

  • The most important is to strengthen the role of ECHA: As a last measure for incomplete registration dossiers, the option to deny a registration should be given to ECHA

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Summary

Introduction

It was a really hard challenge for companies to meet the deadline for registration and the REACH information requirements. The task for authorities is to prioritise substances for regulatory activities. For ECHA this is the dossier evaluation, for Member States authorities the substance evaluation and for all authorities elaborating proposals to identify substances of very high concern (SVHC), and candidates for authorisation and restrictions.

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