New challenges as China REACH regulation matures

By A.J. Guikema

A.J. Guikema

A.J. Guikema Ann Arbor MI | North America
REACH Pr at Tetra Tech
Business Services
Analysis/Consulting


Reports, reports, reports
Annual reports will now be required to be submitted to the ministry of environmental protection detailing activities and volumes for the previous year. In addition to this, key hazardous substances will also need to report anticipated activities for the current year as well as an update to the ministry about the implementation status of risk control measures.

Executives can anticipate the Chinese ministry and local environmental agencies will use this information during their site visits.

Key hazardous substances will be registered for specific uses.

When new uses are anticipated, new chemical registrations will be required.

Key hazardous substances will also require that sites monitor, or estimate, exposures and emissions.

If in-house capabilities do not exist, sites are required to use the services of a third-party.

Finally, all shipments of key hazardous substances will be required to implement spill prevention measures and to have emergency response measures available in the event of an unplanned release.

Exemptions, reduced requirements
Certain categories of chemicals are completely exempt from registration provided they are regulated by another governmental agency in China. These include pharmaceuticals and veterinary products (active ingredients and formulated dosage products), pesticides, medicinal products, cosmetics and food additives.

Corporate research and development can benefit from reduced requirements by filing a scientific research record to CRC-MEP (chemical registration center – ministry of environmental protection) for R&D volumes up to 100 kilograms / year and for samples sent to Chinese laboratories for testing.

R&D volumes between 0.1 to 1 tonne per year qualify for a simplified notification (details forthcoming when the guidance document is issued). One tonne is 1 metric ton (1,000 kg).

R&D activities conducted in pilot plants and in full-scale operations can utilize the simplified notification to qualify for a two year exemption for volumes up to 10 tons / year (20 tons total).

One limitation for R&D chemicals is they cannot be sold into commercial markets.

Commercial activities involving new chemical substances can also benefit from the simplified notification low volume exemption involving quantities less than 1 tonne per year. However, commercial activities generally require that two Chinese eco-toxicity tests (biodegradation and acute toxicity to fish) be performed in China.

Special exemptions are available for intermediates and substances that are for ‘export-only’, monomeric constituents within polymers with less than 2% content, and new chemical substances with volumes less than 1 tonne per year.  For these materials, no eco-testing is required.

World helps educate Chinese companies
The new amendments to the 2003 Chinese chemicals regulation utilizes many of the ideas of EU REACH, but they also incorporate some unique provisions specific to China.

The biggest need for making this regulation a success in China is getting domestic companies in China onboard with understanding their obligations to comply with the new amendments.

China anticipates foreign companies that utilize audit / assessment programs to qualify suppliers and third party manufacturers and foreign companies that utilize legal instruments (e.g., contracts, purchase order terms and conditions, master service agreement) as a means to gain supply chain assurance these processes will be instrumental in educating Chinese domestic companies of their regulatory responsibilities.

VentureOutsource.com, March 2010


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