Prior to being placed on the market, a new cosmetic product must be labelled in accordance to the Cosmetics regulation, and notified […]
Category: English
Prior to placing a cosmetic product on the market, a cosmetic Product Safety Report (PSR) must be written to demonstrate its safety […]
As of 31 May 2017, it is no longer possible to benefit from the extended REACH registration deadline for “phase-in” substances. From […]
Are you a formulator of chemical products, such as paints or detergents? Or do you use chemicals industrially or professionally, for example […]
Not all biocidal products are yet covered by the Biocidal Products Regulation (BPR). For example, biocidal products containing an active substance included […]
The REACH Regulation (EC/1907/2006) concerns the Registration, Evaluation, Authorisation and Restriction of Chemicals. Contrary to the Cosmetics Regulation, REACH does not apply […]
It is often assumed that all active substance suppliers must be included on the Article 95 list. However, under the BPR, it […]
The BPR stipulates that the costs associated with active substance approval are to be shared among the suppliers of a given active […]
The difference between a biocidal product and a treated article lies in the purpose and function of the product. A biocidal product […]
If your supplier also manufactures or imports the substance, he has the obligation to register the substance (if the manufactured or imported […]