From 2013: «Unauthorised myths» of Applications for authorisation. Hugo Waeterschoot Eurometaux Erwin Annys /Amaya Jánosi Cefic

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From 2013: «Unauthorised myths» of Applications for authorisation Hugo Waeterschoot Eurometaux Erwin Annys /Amaya Jánosi Cefic Seminar on Applications for Authorisation Helsinki 17 June 2013

To today: Overview of applicant s experiences Hugo Waeterschoot Eurometaux Erwin Annys /Amaya Jánosi Cefic Stock-taking conference on the implementation of REACH authorisation Helsinki, 13 14 November 2017

Experiences with the chromate applications for authorisations Representative for the process Based on a Monkey survey

REPRESENTATION Reasonably good coverage All levels of submission covered All levels of applicants (M/I/ORs/formulators/DUs) 4

Expectations versus outcome: Highly confident in the submission and 50 % happy about outcome, 25% not Quite an investment in financial and human resources, somewhat balanced with outcome

Applicants Risk Management: Dispersive answer on if practical RMM improved due to the AfA Contrary views on if it improved substitution strategy Applicants believe that another risk management option is more appropriate

Support to applicants: ECHA guidance appreciated as starting material ECHA support appreciated : PSIS as a tool to confirm to companies the suggested strategy of the involved consultants Trialogue: to debate the feasibility of the suggested alternatives and an platform to exchange questions/information with ECHA and rapporteurs Interactions during the Committee consultations

Learning process: The AfA drafting provided learning on proving minimised exposure and describing the uses better Consultants were helpful in identifying outstanding weaknesses Interesting to read the whole application

Submission and Submission model: Chosen based on sector needs recognising Review Period and strategic considerations Interactivity during process appreciated (PSIS, PC, Q s, Trialogues)

Handling in the Committees Data submitted felt recognised and final opinion clear and obvious BUT big discrepancies between applicants on how they see the effectiveness of the RAC and SEAC reviews Confidentiality remains assured

On potential reapplying learning lessons Better planning seems the main required improvement step Responsibilisation/interaction with the supply chain needs improvement Applicants/Consultants seem to have a clear view on what to improve but not fully in line with Committees recommendations for some conditions (eg. splitting uses, SEA, AoA, )

Final opinion: Format clear and content well described Criticism about setting the Review Period Relative understanding for the Conditions set but: In some cases questions if they are achievable (in time and consequences) How would they be enforced?

Open questions on re-applying How to fulfil criteria defined for the Review Period? How to implement conditions requested? techniques, timing, cost, feasibility,... How to get prepared to submit a review report? data collections, who to involve, by when,... Which kind of data would be useful to feed in the review report, in the reapplication?

The issue: upstream applications Gather data asap clarify what is needed from all actors Need time to set up inventory of uses Collect contextual data to better explain exposure scenarios Communicate more on the process clear communication plan Hire a communication expert checking the application Provide a more systematic way of working = better project management Don t loose efficiency due to confidential data Start first with standardised approach, then iterate Better explain consequences of remaining uncertainties

Let s avoid new myths? Measured exposure and appropriate description? Analysis of alternatives and availability for whom? Non-use scenario in the socio-economic analysis? How to reapply?