New update to Candidate List of SVHCs (2024)

New update to Candidate List of SVHCs (1)

Europe

New update to Candidate List of Substances of Very High Concern (SVHCs)

On 23rd January 2024, the ECHA (European Chemicals Agency) released the new Candidate List of SVHCs. With the addition of five new substances, the current list of SVHCs now contains 240 substances.

See below a table indicating the latest substances addition:

Substance name

EC number

CAS number

Reason for inclusion

Examples of use(s)

1

2,4,6-tri-tert-butylphenol

211-989-5

732-26-3

Toxic for reproduction (Article 57c)

Persistent, bioaccumulative and toxic (PBT)
(Article 57d)

Manufacture of another substance; formulation of mixtures and in fuel products.

2

2-(2H-benzotriazol-2-yl)-4-(1,1,3,3-tetramethylbutyl)phenol

221-573-5

3147-75-9

Very persistent and very bioaccumulative (vPvB)
(Article 57e)

Air care products, coating products, adhesives and sealants, lubricants and greases, polishes and waxes and washing and cleaning products.

3

2-(dimethylamino)-2-[(4-methylphenyl)methyl]-1-[4-(morpholin-4-yl)phenyl]butan-1-one

438-340-0

119344-86-4

Toxic for reproduction (Article 57c)

Inks and toners, coating products.

4

Bumetrizole

223-445-4

3896-11-5

vPvB
(Article 57e)

Coating products, adhesives and sealants and washing and cleaning products.

5

Oligomerisation and alkylation reaction products of 2-phenylpropene and phenol

700-960-7

-

vPvB
(Article 57e)

Adhesives and sealants, coating products, fillers, putties, plasters, modelling clay, inks and toners and polymers.

Legal obligations for companies using SVHC substances include:

  • Suppliers provide customers and consumers with enough information to allow for safe use of products that contain a substance of very high concern (SVHC) above a concentration of 0.1 % (weight by weight)
  • Importers and producers of these products must notify the ECHA if their article contains SVHC substances above a concentration of 0.1% weight by weight (w/w) and the substance is present in those products in quantities totalling over 1 tonne per producer or per importer per year. The notifications must be submitted within six months from the date it that the substance is included in the list.
  • Suppliers of substances on the Candidate List, supplied either on their own or in mixtures, must provide their customers with a safety data sheet.
  • Under the Waste Framework Directive (Directive 2008/98/EC on waste- WFD), any supplier of an article containing a substance of very high concern (SVHC) in a concentration above 0.1% weight by weight (w/w) on the EU market is required to submit a SCIP Notification on that article to ECHA, as of 5 January 2021. SCIP is the database holding information on Substances of Concern in articles, as such or in complex objects (products), established under the WFD. The SCIP database complements the existing notification obligations for Candidate List substances in articles subject to REACH regulation and its related communication through the supply chain, according to Articles 7 (2) and 33 respectively.

Click here to access the official List from ECHA’s website.

Dibutyl phthalate entry update on the SVHCs list of REACH

On 23rd January 2024, the ECHA (European Chemicals Agency) updated the existing Candidate List of SVHCs for dibutyl phthalate entry. Its endocrine disrupting properties for the environment are included.

See below a table indicating the update for dibutyl phthalate entry:

Substance name

EC number

CAS number

Reason for inclusion

Examples of use(s)

1

Dibutyl phthalate

(updated entry)

201-557-4

84-74-2

Endocrine disrupting properties
(Article 57(f) - environment)

Metal working fluids, washing and cleaning products, laboratory chemicals and polymers.

Legal obligations for companies using SVHC substances include:

  • Suppliers provide customers and consumers with enough information to allow for safe use of products that contain a substance of very high concern (SVHC) above a concentration of 0.1 % (weight by weight)
  • Importers and producers of these products must notify the ECHA if their article contains SVHC substances above a concentration of 0.1% weight by weight (w/w) and the substance is present in those products in quantities totalling over 1 tonne per producer or per importer per year. The notifications must be submitted within six months from the date it that the substance is included in the list.
  • Suppliers of substances on the Candidate List, supplied either on their own or in mixtures, must provide their customers with a safety data sheet.
  • Under the Waste Framework Directive (Directive 2008/98/EC on waste- WFD), any supplier of an article containing a substance of very high concern (SVHC) in a concentration above 0.1% weight by weight (w/w) on the EU market is required to submit a SCIP Notification on that article to ECHA, as of 5 January 2021. SCIP is the database holding information on Substances of Concern in articles, as such or in complex objects (products), established under the WFD. The SCIP database complements the existing notification obligations for Candidate List substances in articles subject to REACH regulation and its related communication through the supply chain, according to Articles 7 (2) and 33 respectively.

Click here to access the official List from ECHA’s website.

New update to Candidate List of SVHCs (2024)

FAQs

New update to Candidate List of SVHCs? ›

On Jan 23, 2024, another SVHC Candidate List update was issued by the European Chemicals Agency (ECHA), adding five new substances. With the five new substances, the REACH SVHC list now contains 240 substances.

What is the SVHC update in January 2024? ›

On 23rd January 2024, the ECHA (European Chemicals Agency) released the new Candidate List of SVHCs. With the addition of five new substances, the current list of SVHCs now contains 240 substances. Manufacture of another substance; formulation of mixtures and in fuel products.

What is the SVHC candidate list? ›

The Candidate List of SVHCs includes substances that may pose serious risks to health or the environment due to their hazardous properties. These substances are subject to further investigation and potential regulation under REACH.

How many substances are on the REACH SVHC list? ›

Download the Latest REACH SVHC List in Excel Table. REACH SVHC list is not a static list and it is updated frequently. Up to 17 Jan 2023, there are 233 substances/entries on the SVHC candidate list.

Is BPA on the SVHC list? ›

Helsinki, 15 January 2018 - ECHA has added seven new substances of very high concern (SVHC) to the Candidate List and updated the entry for bisphenol A (BPA) following the SVHC identification process with the involvement of the Member State Committee (MSC).

What is the REACH update in January 2024? ›

On Jan 23, 2024, another SVHC Candidate List update was issued by the European Chemicals Agency (ECHA), adding five new substances. With the five new substances, the REACH SVHC list now contains 240 substances.

How often is SVHC updated? ›

Twice a year, the Candidate List of substances of very high concern (SVHC) is updated.

What is the difference between candidate list and Authorisation list? ›

If no comments challenging the identification are received, the substance is included directly in the Candidate List. Comments on uses and alternatives are collected and used at a later stage of the process, i.e. during the recommendation of substances for inclusion in the Authorisation List.

What is the difference between REACH Annex XVII and SVHC? ›

The main difference between Annex XVII and the SVHC Candidate List is the level of substance control and the specific requirements.

What is the threshold limit for SVHC? ›

Article 33(1) of the REACH Regulation states that manufacturers and importers of articles (products) are required to notify their customers of the presence of any Substances of Very High Concern (SVHC) in their products exceeding 0.1% by weight and provide instructions on safe use of the product.

Which substance is excluded from REACH? ›

Radioactive substances. Substances in temporary storage under customs supervision. The transport of hazardous substances. Substances used in the interest of defense.

What substances are restricted under the REACH list? ›

Typical hazardous substances that are restricted in products include lead, AZO dyes, DMF, PAHs, Phthalates, PFOS, the nickel release and so on.

Is NMP a SVHC? ›

The European Chemicals Agency classifies NMP as a “Substance of Very High Concern” because of its toxicity to reproduction based on developmental toxicity.

What is a candidate list in REACH? ›

List of Substances of Very High Concern (SVHC) Subject to Authorisation under the EU REACH regulation. The Candidate List contains SVHC identified by the European Commission in agreement with the Member States and assisted by the European Chemicals Agency (ECHA).

In which country is BPA banned? ›

The European Union and Canada have banned BPA use in baby bottles. The U.S. FDA states "BPA is safe at the current levels occurring in foods" based on extensive research, including two more studies issued by the agency in early 2014.

Is PFAS covered under REACH? ›

It is now up to the European Commission to propose a corresponding regulation and decide on transposition across the EU together with the Member States. A decision is expected in 2025. The PFAS ban is to be implemented under REACH, the EU's chemicals regulation.

What is the current REACH directive? ›

Registration. REACH stipulates that chemical substances that exceed 1 tonne per year per company must be registered with ECHA. In this process, companies must identify the risks linked to the substances they handle and indicate how they manage them. This obligation applies to both substances and mixtures.

What is REACH SVHC 240? ›

REACH: Toward 240 SVHC. From January 23rd, 2024, 240 SVHC (Substances of Very High Concern) are on the REACH list of declarable substances.

Are REACH and SVHC the same? ›

The most hazardous substances in REACH can be designated as Substances of Very High Concern (SVHCs) and after a sunset date their use will only be allowed if authorised.

What is article 33 of the REACH Regulation? ›

Article 33 of the REACH Regulation must be interpreted as meaning that, for the purposes of application of that provision, it is for the supplier of a product one or more constituent articles of which contain(s) a Candidate List substance of very high concern in a concentration above 0.1% weight by weight of that ...

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