REACH and SVHCs (2024)

Terms and Definitions

Hereinafter “International Chemical Secretariat”, shall be referred to as “ChemSec” or the ‘Company’.Persons who come into contact with ChemSecwhose personal data is affected are hereinafter referred to as ‘The Registered Party’ or ‘You’. By ”personal data”it is meant that every piece of information that refers to an identified or identifiable physical person who is alive. That is, information that can be linked directly or indirectly to a person; for example, name, address, telephone number, personal number or IP address.

Basic information

ChemSec undertakes to manage personal data in accordance with Swedish legislation. ChemSec defends your personal integrity and endeavours to protect your right in the best possible manner. This policy describes how ChemSec collects and manages personal data.

Which personal data are collected?

ChemSec collects and stores personal data that is needed, essential, and compatible with The Company’s purpose. Personal data may be collected and stored in connection with ChemSec’s business. In the process of registration with ChemSec’s newsletter, name, email address, and telephone number are collected. When ChemSec collects personal data from public sources, name, email address, telephone number and information on title or position and profession are collected.

Purpose and the Legal Ground for Processing.

ChemSec collects and stores registered personal information for the purpose of managing the Company’s business and to ensure that this is accomplished in a manner relating to its purpose. Personal data is collected and stored for the purpose of registering You as a subscriber to a newsletter. The Company processes your personal data to this end with your consent. In other communication, your personal information is collected by the Company for the purpose of answering questions and for continuing communication Storing and processing then takes place with your consent.

ChemSec has a legal interest in collecting personal information from public sources in order to contact persons who are professionally active within the area of the Company’s business activities. Personal information is used with the objective of communicating with the Registered Party via e-mail or telephone in pursuit of the Company’s mission. The consent of the Registered Party is to be obtained for the storage of any of this information.

How long is the personal information kept?

ChemSec keeps the Registered Party’s information as long as it is needed for the purpose in pursuit of which it was collected and processed, or as long as is needed in accordance with any laws or constitutions. This means, for example, that ChemSec stores personal information that has been collected as part of registration for the Company’s newsletter for as long as you wish to subscribe to the newsletter.

Who has access to the personal information?

ChemSec reserves the right to release personal information to supervisory authorities in order to meet Chemsec’s legal obligations. ChemSec might also share personal data with third parties that provide services to organisations, e.g., IT services. In such cases, ChemSec might share Your personal information with parties outside the EU if the country has an adequate level of protection according to the Commission, or after you have given your explicit consent to this. If Your consent is required, You have a right to information relevant to the risks of processing.

Security

ChemSec shall take appropriate measures–including organisational–to minimise the risks of unauthorised access and inappropriate use Measures will be taken and applied in accordance with ChemSec’s internal routines to secure the integrity of the Registered Party.

The rights of a Registered Party

The Registered Party is personally responsible for keeping his or her personal information updated and correct. So that ChemSec can continue to fulfil its commitments. ChemSec accepts no liability for consequences ensuing from incorrect personal data. The Registered Party has the right to request information at any time about the personal data that ChemSec has stored on the Registered Party. The Registered Party always has the right to question the processing of the Registered Party’s data insofar as the legal basis for processing rests on a weighing of interest.

The Registered Party has the right to have his or her personal data deleted as provided by Swedish law. This right does not apply if there another legal basis exists for processing or if ChemSec is otherwise legally obliged to process personal data. The Registered Party has the right to request that ChemSec’’s processing of the Registered Party’s personal data be restricted. However, this could affect the Registered Party’s opportunity to participate in ChemSec’s business activities.

The Registered Party has the right to rectify wrong, incomplete or misleading information. The Registered Party has the right to obtain personal information that affects him or her in a structured commonly used and digital format and to have the information transferred from ChemSec to another entity similarly responsible for personal data. The Registered Party has the right to revoke consent previously given. If a revocation is implemented, processing of the Registered Party’s personal data must cease immediately. The Registered Party shall have the means and right to complain to a national authority (Data Inspectorate) if the Registered Party feels that ChemSec is managing the personal information wrongfully.

Cookies policy

Our website uses cookies. By using our website and agreeing to this policy, you consent to our use of cookies in accordance with the terms of this policy. If you do not agree please leave the site. Cookies do not contain any information that personally identifies you, but personal information that we store about you may be linked, by us, to the information stored in and obtained from cookies. This site uses Google Analytics, a web analytics service provided by Google. Google Analytics sets a number of cookies in order to evaluate your use of the site and compile reports for us on activity on the site.

Contact information for the entity responsible for personal data

Contact person: ChemSec data protection officer // Email:GDPR@chemsec.org

Telephone number:+46 31 711 04 95// Address: Första Långgatan 18, 413 28 Göteborg

REACH and SVHCs (2024)

FAQs

What is the REACH limit for SVHC? ›

Individual substances and articles within products may not contain an SVHC over the allotted 0.1 percent weight by weight threshold.

Is REACH the same as SVHC? ›

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 a SVHC statement? ›

Substances that may have serious and often irreversible effects on human health and the environment can be identified as substances of very high concern (SVHCs). If a substance is identified as an SVHC, it will be added to the Candidate List for eventual inclusion in the Authorisation List.

What is the SVHC right to know? ›

Under this classification, consumers have a legal right to know whether a product contains any Substances of Very High Concern, known as 'SVHC right to know'. However, to find out this information, a consumer must submit a formal request to the suppliers of the product and may have to wait up to 45 days for a response.

What is the threshold for REACH? ›

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.

How often is the REACH SVHC list updated? ›

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

Is BPA on the SVHC list? ›

The Candidate List of substances of very high concern (SVHC) contains three bisphenols. BPA and BPB have been identified as endocrine disruptors for the environment and human health. BPA is additionally toxic for reproduction. 2,2-bis(4'-hydroxyphenyl)-4-methylpentane has been identified as toxic for reproduction.

What are the two types of REACH? ›

Generally, Facebook's reach is divided into two types: post reach and page reach. Post reach enables you to know the number of users who saw a particular post of your brand in their news feed. Page reach is the number of users who see your page.

What falls under REACH? ›

REACH is a European Regulation and is an acronym for the Registration, Evaluation, Authorisation and Restriction of Chemicals. The overall aims of REACH are to: Provide a high level of protection of human health and the environment from the use of chemicals. Allow free movement of substances on the EU market.

How many substances are there in the SVHC list? ›

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? ›

Candidate list of substances of very high concern. This list is referred to as the "candidate" list because all substances placed on it are candidates for inclusion in Annex XIV of REACH. If a substance is added to Annex XIV, it is given a "latest application date" and a "sunset date".

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 are the requirements for SVHC reporting? ›

Communication Requirement: If any SVHC on candidate list is present in your product with a concentration above 0.1% (w/w), you are obliged to inform the recipients of the article along the supply chain about the chemical name(s) and how the article can be safely used.

What is the REACH Regulation 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.

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 REACH registration limit? ›

REACH Fundamentals. In general, REACH requires the registration of chemical substances manufactured or imported into the EU in quantities exceeding 1 metric ton per year.

What is the lead limit for REACH? ›

REACH restrictions

The use of lead in jewellery is restricted. This restriction forbids jewellery articles that contain more than 0.05 % of lead by weight from being placed on the market.

What is the REACH Regulation requirement? ›

The REACH Regulation: requires manufacturers and importers of chemical substances to gather hazard information and assess risks; can require the use of some particularly high-risk substances to be authorised; restricts the marketing and use of certain hazardous chemicals and mixtures.

What is the REACH standard of compliance? ›

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.

References

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