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Title: Disclaimer:


1
Stretched by REACH?
Philip Charlesworth, BA(Hons),MSc.,Barrister Envir
onmental Advisors Ltd
2
  • 9.10
  • General overview of REACH and its
  • Relevance.
  • 10.45
  • Tea/coffee break.
  • 11.00
  • Law, enforcement and the likelihood and
  • consequences of non-compliance. The
  • relationship with existing legislation.
  • 13.00
  • Lunch and close.

3
From OECD ENV/JM/MONO(2004)8
4
Distribute, sell, use professionally
Import
Manufacture
5
(No Transcript)
6
Substances
  • anti-static agents
  • colouring agents
  • corrosion inhibitors
  • fillers
  • flame retardants and fire preventing agents
  • foaming agents
  • biocides, non-agricultural (biocidal products
    used in film preservatives)
  • process regulators
  • softeners
  • stabilisers
  • viscosity adjusters

7
Markets, products and processes
  • Packaging
  • Building and construction
  • Electrical and electronic
  • Automotive and transport
  • Agriculture
  • Other - housewares, toys, mechanical engineering
    etc.
  • Basic polymers are sold to processing companies,
    serving an immense range of end-user markets.
  • Compression moulding
  • CompositesThermoforming
  • Rotomoulding
  • Blow moulding
  • Extrusion
  • Injection moulding  

8
The legislation basics
  • Manufacture chemical substances in the EU
  • Import chemical substances into the EU
  • Manufacture product in the EU using chemical
    substances
  • Use chemical substances in the course of business
    in the EU

9
Official titles
  • Regulation 1907/2006
  • June 1 2007
  • Directive 2006/121/EC adapting existing Directive
    67/548/EEC
  • June 1 2008

10
Whats changed
  • Industry to bare the burden of risk assessments
  • Downstream user obligations

11
  • European Chemicals Agency (the Agency)
  • Complimenting existing legislation
  • Registration
  • Evaluation
  • Authorisation
  • Restriction

12
Exemption from registration include
  • Polymers.
  • Substances under customs control.
  • Waste.
  • Substances considered to cause minimum risk.
  • Chemical substance(s) formed as expected from the
    reaction of known substances. (The known
    substances are used to impart particular
    characteristic(s) i.e. plasticiser).

13
Article 1(3)
  • This Regulation is based on the principle that
    it is for manufacturers, importers and downstream
    users to ensure that they manufacture, place on
    the market or use such substances that do not
    adversely affect human health or the environment.
    Its provisions are underpinned by the
    precautionary principle.

14
Polymers are exempt from Registration
Monomers are not, Polymers are not exempt from
authorisation and restriction
15
Registration
  • Manufacture/import a chemical substance (except
    pure polymer)
  • gt 1 tonne
  • Per year
  • Per company

16
Substances in articles
  • Substances intended to be released from a
    product(ie ink from a biro)
  • Substances contained in the
  • article that are likely to
  • result in risk to human health or
  • the environment
  • The substances havent already
  • been registered up the supply
  • chain (and that registration
  • covers their use in the
  • articles already)

17
Evaluation includes
  • Registration dossier evaluation
  • Substance risk evaluation

18
Authorisation includes
  • ECA permission needed for continued use of
    substances of high concern
  • Plan for substitution and phasing out substances
    of high concern

19
Restriction
  • ECA Restrict use of identified chemicals where
    risk is unacceptable

20
What to do if you manufacture a substance and/or
import a substance that is not exempted
21
Substances subject to NONS are considered
registered
22
Pre-register Phase-in substances
23
Phase-in substance
  • E.IN.E.C.S.
  • Manufactured in EU since 1981 but not sold in EU
  • Previously sold in the EU as polymers (prior to
    amendment of Directive 67/548/EEC) and now
    considered as no longer polymers

24
Must my company personally register?
  • Appoint a third party (Art 4)
  • Sole representative for non-EU entities(Art 8)
  • Joint submission of data(Art 11)

25
Registration phase-in
26
Duty to pre-register
  • 1st June 2008 to 1st December 2008
  • What if I miss the 1st December 2008?

27
Pre-registration information
  • Gather share existing info
  • ID substances
  • Estimate yearly tonnage
  • Composition of waste/handling when discarded as
    waste
  • State uses not recommended
  • Guidance on safe use
  • If lead registrant, their details
  • OSOR
  • Declaration of existence of commercially
    confidential info

28
Sharing is not optional
  • Art 29 SIEF
  • Avoid duplication
  • Avoid unnecessary testing
  • Owner of data can make a charge
  • SIEFs terminate with the last registration
    deadline on 1st June 2018
  • Sharing has benefits?

29
Full Registration
  • Recap a word on polymers
  • Only need to register the monomer component if
  • gt2 un-reacted monomer w/w is present and/or
  • Monomer not already registered and/or
  • Monomer present gt 1 tonne per year per company
    manufacturing/importing the monomer

30
A word on the exemptions from registration
  • Substances that are outside the scope of REACH ie
    their intrinsic nature is benign
  • Substances covered by other legislation
  • Polymers may not be exempt by 1st June 2008

31
Full registration
  • As a minimum basic info required ie flashpoint,
    flammability, oxidising properties, skin irritant
    etc
  • technical dossier
  • IP

32
Registration and intermediates
  • Non-isolated exempt (Art 2)
  • Transported isolated (as a monomer) exempt (Art
    18)
  • On-site isolated (as a monomer) exempt (Art 6)

33
Downstream users
  • Anyone using a substance on its own or in a
    preparation eg professional painter or
    masterbatch formulator, manufacturer of
    articles.

34
Downstream users and supply chain
  • Supply chain obligations from 1st June 2007
  • Info to be passed down the supply chain
  • Info to be passed up the supply chain
  • Costs

35
Information held in a supply chain?
36
The Annexesa brief overview
37
ANNEX I
  • Chemical safety reports (CSRs)
  • Can group substances with similar characteristics
  • Must declare that any exposure scenarios have
    been appropriately communicated down supply chain

38
Annex II
  • Safety Data Sheets (SDS)
  • ID composition/ingredients
  • Need only list the most common uses
  • Safe handling
  • Waste disposal

39
Annexes III to XI
  • III cat. 1 or 2 CMRs. QSARs
  • IV exemptions from registration
  • V exemptions from registration
  • VI details needed to registrate
  • VII substances gt 1 tonne
  • VIII substances gt 10 tonnes
  • IX substances gt 100 tonnes
  • X substances gt 1000 tonnes
  • XI adaptation to testing regime

40
Annex XII to Appendix 10
  • XII assessment by downstream users
  • XIII PBT vPvB identification
  • XIV ECA to compile hit list
  • XV dossiers
  • XVI Socio-economic analysis
  • XVII - restrictions
  • Appendices 1 to 6
  • Appendix 7
  • Appendices 8 to 10

41
Coffee/tea?
42
The precautionary principle
43
An example
  • Epichlorhydrin Bisphenol A

44
Exposure is minimal?
45
Evidence?
46
Pfizer v European Commission 2002 case T-13/99
  • Where there is scientific uncertainty as to the
    existence or extent of risks to human health, the
    Community institutions may, by reason of the
    precautionary principle, take protective measures
    without having to wait until the reality and
    seriousness of those risks become fully apparent

47
A word from the Federation of Small Businesses
  • Form-filling and providing information to
    regulators
  • Diverting owners/managers from wealth creation
  • Costs of reduced productivity
  • Compliance actions and associated
    administration
  • Processing the inspection visit
  • Increases in non-labour costs
  • Difficulties in hiring new staff

48
Modern regulation
49
Alison Dugmore v Swansea and Morriston NHS Trusts
2002 EWCA Civ 1689
  • It is by no means incompatible with their
    purpose that an employer who fails to discover a
    risk or rates it so low that he takes no
    precautions against it should nevertheless be
    liable to the employee who suffers as a result

50
A frisky regulator?
  • R v Friskies Petcare UK Ltd 2000CA (Criminal
    Division)

51
Enforcement
  • Examples of activities where UK enforcement is
    needed are
  • The manufacture, import, sale, supply or use
    of substances without the appropriate
    registration.
  • Using a hazardous substance outside the terms
    of an authorisation or contrary to a restriction.
  • Failure to provide required information up and
    down the supply chain.
  • Failure to comply with other duties regarding
    information, e.g. workers or consumers rights
    of access to information.
  • Failure to comply with the duty to apply
    recommendations, e.g. in safety assessments.
  • Failure to comply with the duties to
    co-operate and to supply information (in a timely
    manner).

52
A chance to speak up?
  • British Aerosol Manufacturers Association (BAMA)
  • British Chamber of Commerce
  • British Coatings Federation Ltd
  • British Footwear Manufacturers Association
  • British Furniture Manufacturers
  • British Hardware and Housewares Manufacturers'
    Association
  • British Printing Industries Federation
  • British Retail Consortium
  • British Rubber Manufacturers Association
  • British Surface Treatment SuppliersAssociation
  • CBI
  • Engineering Employers Federation (EEF)
  • Federation of Small Businesses
  • Packaging Industrial Films Association
  • Paint Research Association
  • Performance Textile Association
  • Society of Dyers Colourists
  • Society of Motor Manufacturers Traders Ltd

53
Business as usual?
  • HSE COSHH
  • EA IPPC (Part A permits)
  • EHO IPPC (Part B permits)
  • Trading standards (Consumer protection)

54
legislation overlap
  • Directive 76/769/EEC (Dangerous substances)
  • Directive 2001/95/EEC (General Product Safety)
  • Directive 2002/95/EC (RoHS)
  • Directive 2002/96/EC (WEEE)
  • Directive 2000/53/EC (ELV)
  • Directive 96/91/EC (IPPC)

55
The significance of a Regulation
  • A regulation is of individual concern to a
    person where, in the light of the specific
    circumstances of the case concerned, it adversely
    affects a particular right on which that person
    could rely

56
A case of sour grapes?
  • Antonio Munoz Cia SA v Frumar Ltd 2002 (Case
    C-253/00)

57

58
Waste Recycling
  • If the recovery of waste results in the
    manufacture of a different substance,preparation
    or article, the provisions of REACH apply to this
    different substance,preparation or article.

59

Question. When is waste not waste?
Answer. When it is a secondary material
60
The main points?
61
You could now decide
  • youre out of REACH
  • youre within REACH
  • if you need to REACH out for help

62
Further reading?
  • Case study on Announcement effect in the market
    related to the candidate list of substances
    subject to authorisation FINAL REPORT JANUARY
    2007
  • Journal of Environmental Law (2007) 19 JEL (103)
    1 March 2007 Jacqueline Peel, University of
    Melbourne

63
  • Info_at_enads.co.uk 07910 331 429
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