Although the first REACH registration deadline has passed some details need further clarification.
Baerlocher is carefully observing the developments in these REACH interpretations.
We are committed to meeting our legal obligations under REACH and have started preparing for it (since 2003).
We have ensured that all of our manufactured or imported products entered the pre-registration to ensure the transition periods.
We are in close contact with our suppliers to ensure that the purchased materials are pre-registered and registered as well.
It is our intention to register our products as much as possible. If certain substances will be phased out, we inform our customers in due time.
Identified use: has to be communicated from the customers to the suppliers to prepare the necessary risk assessments accordingly.
Baerlocher is an active member of several consortia to prepare the necessary registration dossiers.
REACH registration deadlines
Pre-registration (1st June – 1st Dec. 2008)
Registration (1st Dec. 2010) for substances: manufactured/imported >1000 t/y CMR cat. 1A and 1B (>1 t/y) (carcinogenic, mutagenic, toxic to reproduction) classified with H400/H410 (>100 t/y) (very toxic to aquatic organisms)
Registration (1st June 2013) for substances: manufactured/imported >100 t/y
Registration (1st June 2018) for substances: manufactured/imported >1 t/y
Stabilizer systems under REACH
Lead
all lead substances manufactured or imported have been successfully registered
will require authorisation for sales within the EU; sunset date unknown yet (expected between 2010 and 2015); will probably require registration only for sales outside the EU;
authorisation after sunset date unlikely to be granted because a substitution plan (Vinyl 2010) exists and no socio-economic benefit; it is expected that annex XIV will be used as a black list by certain parties as soon as published and give additional pressure on substitution.
Tin
many tin substances have already been registered, some require registration 2013 or 2018
several substances will require authorisation; risk assessment showed no concern in rigid PVC applications; for the time being the EU Commission/member states are considering restrictions/use bans for certain applications; (decision expected in autumn 2008)
food contact applications are not affected by REACH.
Ca-based
only registration and evaluation is required.
Reach a challenge for the future of stabilisers (march 2009, english)