The European REACH Directive in a Nutshell

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The European REACH Directive in a Nutshell 20.07.2006 ESTAL Congress in Innsbruck (5-6 October 2006) Dr. Uwe H. Wolfmeier Clariant International

Content Clariant Group overview REACH in a nutshell REACH still controversial positions REACH legislation: state of the play REACH duties and obligations for M/I and DUs REACH and substances in preparations & articles Slide 2 REACH and Clariant Copyright Clariant. All rights reserved.

Clariant Group overview Clariant is a global leader in the field of specialty chemicals It has some 23 000 employees and posted annual sales of about CHF 8.2 billion for 2005 The group operates worldwide with more than 100 companies on five continents It is domiciled and headquartered in Muttenz near Basel/Switzerland The products and services of its five divisions are based on innovative specialty chemicals These products and services play a decisive role in our customers manufacturing processes and upgrade their finished products Slide 3

REACH is the acronym for Registration, Evaluation and Authorization of Chemicals Slide 4 Registration: For all substances produced or imported in quantities of 1 ton or more per year, manufacturers and importers must prepare a registration dossier to be submitted to the European Chemicals Agency Evaluation: Dossier evaluation: The Member States authorities can check the compliance of any registration dossier with the requirements of REACH, and examine and endorse the testing proposals provided by the industry. Substance evaluation: The Member State authorities are allowed to examine registration dossiers in order to evaluate whether a substance presents a risk to human health or the environment Authorization: Authorisation will be required for each use of substances of very high concern:- CMRs, PBTs, vpvbs etc. identified as causing serious and irreversible effects on humans and the environment. Authorisation will be granted for these uses if the manufacturer or importer is able to demonstrate that risks can be adequately controlled.

Slide 5 Short description of REACH principles Planned EU regulation for Registration, Authorization and Evaluation of Chemicals Leading principle: reversal of burden of proof from authorities to industry Chemicals include all substances & substances in preparations manufactured, imported or used downstream Encompasses (at least) approx. 30.000 substances on the EU market Aims at improving safety to health & environment by filling data gaps, demanding authorization for chemicals of concern and fostering substitution Data requirements mainly tonnage triggered: 4 volume bands >1 <10 t/a; >10<100 t/a; >100<1.000 t/a; >1.000 t/a + substances of very high concern (SVHC) Exemptions for groups like polymers and limited requirements e.g. for intermediates Data sharing mandatory among all registrants of a substance

Different positions on REACH: a) The European Commission REACH objective This Regulation should ensure a high level of protection of human health and the environment as well as the free movement of substances, on their own, in preparations and in articles, while enhancing competitiveness and innovation. Preface of REGULATION (EC) No /2006 OF THE EUROPEAN PARLIAMENT AND OF THE COUNCIL Slide 6

b) Alliance of Small and Medium Enterprises Countless jobs are at stake in our companies and in those of our customers in other EU member states. If no workable solution for SMEs can be found, REACH will result in the disappearance of many substances from the market, will seriously impact innovation efforts and thus restrict our future know-how the essence of life for our industry. And if no practicable registration and authorisation regulations are put in place, we strongly expect REACH to have a counterproductive effect with regard to the protection of the environment, consumers and occupational health even for animal experiments. [September 2006] Slide 7

c) Greenpeace 2006 [May 2006] Slide 8

Relevant steps in legislation 2006/7 until EIF *) Slide 9 June 2006: common position of the European Council adopted September 11: deadline for proposed amendments by the European Parliament (EP) October 10: voting by EP Committee Environment (ENVI) November: 2 nd reading by the European Parliament: EP can approve common position: REACH is adopted Reject REACH: REACH is not adopted propose amendments (absolute majority required) December: 2 nd reading by The Council Council can approve amendments: REACH is adopted Council does not approve amendments: conciliation procedure Conciliation committee (only if required): Agrees on joint text: REACH is adopted Does not agree on joint text: REACH isnot adopted *) EIF = entry into force April 2007 (or later?): expected REACH entry into force

The REACH registration timeline after EIF Slide 10 April 2007: expected date for REACH entry into force (EIF) + 12 months: European Chemical Agency (ECA) in Helsinki operational + 6 months: deadline for pre-registration: All substances per legal entity manufactured or imported small set of information per substance ation of all pre-gistered substances via Internet Information to all common users of a substance (= SIEF members) +18 months: deadline for registration: All substances > 1.000 t/a + substances of very high concern Chemical safety assessment + chemical safety report required if not exempted / waived + 36 months: deadline for registration: All substances > 100 < 1.000 t/a Reduced set of information required compared to substances > 1.000 t/a + 60 months: deadline for registration: All substances > 1 < 100 t/a Reduced set of information required compared to substances > 100 t/a 11 years period to fully implement REACH

Duties & obligations of a manufacturers Slide 11 Pre-register all phase-in substances subject to REACH per legal entity Collect all information available for these substances Prepare registration dossier according to requirements depending on volume band or risk potential Enter substance data into IUCLID 5 (deadlines defined by volume bands or risk potential Share information with all participants of the SIEF (Scientific Information Exchange Forum): OSOR (= one substance, one registration) principle Participate in consortia to fill gaps (option) Register via consortium or on your own

Duties & obligations of an importers...are principally the same as those of the manufacturer but: Slide 12 The importer has some options: Ask the supplier outside EU to register via a third party natural or legal person (EU resident) Switch to a EU manufacturer who is a registrant Manufacture himself in EU instead of importing and register on his own Stop using substance in EU.

REACH exemptions Pharmaceuticals, pesticides, and radioactive materials Substances that enter Europe only in transit to another location Non-isolated intermediates (substances that are produced only in the course of creating another substance and never leave the factory) Substances that are formed as byproducts, or that result from an incidental chemical reaction, such as exposure of certain chemicals to sunlight a variety of natural substances e.g. oils, fatty acids, natural gas, crude oil and coal. Minerals, ores, or substances occurring in nature are exempted if they are not chemically modified during their manufacturing and not dangerous. Slide 13

The 6 key tasks of Downstream Users (I) 1. DUs may be any industrial user of chemicals, whether formulators of preparations (e.g. paint producers) or users of chemicals such as oils and lubricants in other industrial processes 2. DUs are required to consider the safety of their uses of substances, based primarily on information from their suppliers, and to apply appropriate risk management measures. 3. DUs will need to communicate effectively with their manufacturers or importers, to get the information they need in the safety data sheet supplied to them. Slide 14 Most of ESTAL members probably are (also) DUs

The 6 key tasks of Downstream Users (II) Slide 15 4. DUs have the right to make their uses known to their manufacturers or importers so that the manufacturers or importers can include these uses in their chemical safety assessments as identified uses 5. A downstream user can also choose to keep his use confidential or decide to use a substance outside the conditions described in an exposure scenario communicated to him. In these cases he will have to perform a chemical safety assessment himself 6. If a downstream user is using a substance in quantities starting at 1 t/a per year outside the conditions described in the exposure scenario communicated to him in the safety data sheet he will need to report his use in a brief general description to the Agency.

Substances in articles (I) Slide 16 Definition: "Article means an object which during production is given a special shape, surface or design which determines its function to a greater degree than its chemical composition;" (REACH, Article 3(3)) Article 7 of REACH means the registration is obligatory only for substances in articles and for which the following conditions are met: The substance is intended to be released during normal and reasonable foreseeable conditions of use The total amount of the substance present in the articles exceeds 1 t/a per producer or importer The substance has not yet been registered for that use Notification is required for substances of very high concern (SVHC) present in articles and for which the following conditions are met: The substances are present in those articles in a concentration above 0.1% The total amount in those articles exceeds 1 t/a per producer or importer

Substances in articles (II) Slide 17 Among the objective of REACH is to prevent the import of articles containing substances with potential negative impact on human health and/or environment At the same time manufacturers located in the EU shall not suffer competitive disadvantages through the import of articles containing dangerous substances not registered within REACH However analytical proof can be extremely difficult esp. for very low concentrations A producer outside EU may use a variety of substances non compliant with REACH and therefore less expensive and thus get competitive advantage over EU manufacturers Problem still unsolved by legislators

Slide 18 Substances in preparations (I) REACH knows only the terms SUBSTANCES and SUBSTANCES in PREPARATIONS Not products, chemicals, compositions etc. Phase-in substances are those already registered in EINECS Non-phase-in substances are new chemicals not regsitered in EINECS or ELINCS A preparation in the wording of REACH means a mixture or solution of two or more substances Example: If a company manufactures / imports a preparation with say 50 individual substances added on purpose 50 (pre-)registrations are necessary If the manufacturing of preparations leads to another substance / other substances via reaction(s) also that substance(s) have to be (pre-)registered

Substances in preparations (II) Slide 19 If you buy a preparation from a manufacturer or importer located in the EU the individual substances in the preparation will have to be registered by your supplier when it exceeds the 1 t/a threshold If you buy a preparation from a downstream user or a distributor located in the EU the substances (> 1 t/a) in the preparation will have to be registered by the M/I at the origin of the European supply chain If you import a preparation yourself you will first have to pre-register phase-in substances and register each substance of the preparation if the volume of the substance exceeds 1 t/a (per legal entity) taking into account exemptions/exclusions and deadlines for registration In all cases the usage (or use / exposure) category has to be registered

REACH means: No data no market! [REACH proposal, Council common position, Chapter 2, Article 4a] Slide 20

Clariant s position in the supply chain as defined by REACH Clariant is Manufacturer Inside / outside EU Importer e.g. for raw materials, traded or toll manufactured goods Downstream user e.g. for raw materials and substances in preparations Slide 21

Clariant REACH Organization scheme Steering Committee Support Operating Committee Functionalteam A Crossfunctional team A Functionalteam B Crossfunctional team B Slide 22 Functional team C Crossfunctional team C

Clariant s active contribution to REACH Slide 23 Internal organization: REACH Steering & Operating committees Expert teams Cooperation in chemical federations & associations: Cefic: REACH Industry Preparation Working Group national federations like VCI, SCGI, FEIQE, UIC, CIA, etc. Industry branch organizations: ETAD, Tegewa, HERA, etc. Participation in REACH related Projects RIP: REACH Implementation Projects SPORT: Strategic Partnership on REACH Testing : 8 companies tested the registration procedure Communication along the supply chain: Information exchange with downstream users (customers) & suppliers Discussions with stakeholders: Continual contacts to MEP (Members of European Parliament) of all fractions in different countries

Cefic REACH Industry Preparation Letters: a strongly recommended support! Slide 24

REACH: at the end also a chance for industry? Slide 25 Knowledge about products will increase: Should reduce potential liability claims in the long run REACH approved may become a certificate-like status: e.g. compared with Oeko-Tex 100 label in textiles Impact on worldwide chemical legislation: Trend to more rigid implementation of national regulations e.g. in parts of Asia Partnerships along the supply chain could be strengthened: e.g. mutual information on uses, applications, exposure scenarios perception of the chemical industry and partners: REACH could contribute to a better image (hopefully!)

20.07.2006 Thank you!

Disclaimer In this presentation reference is made to the European Council s common position of REACH of 12 June 2006 [English version] This presentation will be updated if necessary until 5 October depending on the state of the play of the legislation process The information contained in this presentation is intended for guidance only and whilst the information is provided in utmost good faith and has been based on the best information currently available, is to be relied upon at the user s own risk. No representations or warranties are made with regards to its completeness or accuracy and no liability will be accepted for damages of any nature whatsoever resulting from the use of or reliance on the information. Slide 27