Fragrance requirements in Nordic Ecolabelling criteria
|
|
|
- Jayson Butler
- 9 years ago
- Views:
Transcription
1 1 Fragrance requirements in Nordic Ecolabelling criteria Written by: Karen Dahl Jensen, Criteria Manager for the chemical technical product groups Introduction In March, the Nordic Ecolabelling Board (NMN) raised questions about the general guidelines for setting requirements concerning fragrance in Nordic Ecolabelling criteria, since the board was being asked to approve criteria documents with two different requirements and background justifications regarding fragrance in two criteria documents (hand dishwashing detergents and disposables for food). NMN therefore asked the Criteria Manager for the chemical technical product group to draw up a discursive presentation of when and how to set requirements for fragrance, which each national board could then use as the basis for its own discussions before the matter was returned to NMN for consideration in late. The discursive presentation is structured as follows: Previous discussions on fragrance within Nordic Ecolabelling are examined The facts and problems associated with fragrance are introduced: When is a substance a fragrance, where is it used, the environmental and health effects of fragrance A brief summary of the requirements set by the authorities and the industry The development of requirements for fragrance in the chemical technical product group is outlined via the criteria for hand dishwashing detergents The document concludes by considering the principles that might dictate when Nordic Ecolabelling prohibits/permits fragrance and what requirements should be set regarding fragrance in the future. This section includes a proposal to tighten requirements concerning allergenic fragrances. Fragrance discussions within Nordic Ecolabelling over the years There are very few subjects that have been discussed as much as fragrance over the 23-year life of the Nordic Ecolabel. Here is a short summary of the highlights from the past 10 years: In 2001, NMN agreed that there should be a multidisciplinary project on fragrance to ensure better underlying data regarding fragrance in chemical technical products, based on their health and environmental effects. The project was approved at the secretariat leaders meeting (SLM) in November 2002, and involved a thorough RPS for setting fragrance requirements, plus guiding questions to encourage the right requirement level for fragrance in criteria development processes. As part of the consideration of the proposal for revised criteria for hand dishwashing detergents at the SLM in May 2005, a decision was taken on a matter of principle: Nordic Ecolabelling shall try to help ensure that
2 2 fewer people develop allergies. Requirements should therefore be set that limit quantities of allergens, instead of focusing on information on/declaration of allergenic fragrances (which is primarily of benefit to people who already have an allergic and know what they are allergic to). Fragrance was then discussed again in conjunction with the development of version 2 of the chemical technical guidelines (2009/2010 adopted at the SLM in May 2010). The desire to avoid involuntary exposure to fragrance was made explicit at this point. Facts about fragrance i What is fragrance Fragrance is generally defined as a mix of fragrant ingredients that can be experienced over a set period. Fragrance is created by chemical synthesis or physical processing of synthetic/artificial, fossil or natural raw materials. The originating materials include aromatic chemicals, essential oils, natural extracts, distillates, extractions and so on. There are more than 2,000 different fragrances. Around 80% of the synthetic fragrance ingredients derive from terpenes, toluene, benzene, cresol or phenol. Fragrance tends to be diluted with ethanol. Fragrances are organic substances that necessarily must be liquid in order to be experienced (sensed). The number of fragrant ingredients in a finished fragrance may range from just a few to several hundred. ii Fragrances can also be extracted from certain plant families. The majority of these plants are from tropical or subtropical regions. Fragrance exists in quite small quantities in the plants (not only in the flowers, but also in the leaves, stems, bark and roots) either as liquid oils or as complex sugar compounds (glycosides). The oils from plants normally contain many different ingredients. When is a substance a fragrance? There is no particularly precise definition of the word fragrance. Many fragrances also have other characteristics as well as their scent. Some also taste as well, and are therefore added to products as flavourings (for example peppermint oil). Other substances have moisturising/conditioning properties (such as rose oil). In 2002, the multidisciplinary document concluded that in practice it was perfectly possible to define fragrance within Nordic Ecolabelling, even though grey areas may arise. However, the criteria for cosmetics have shaken this assertion. Experience from dealing with cosmetics cases shows that it is not easy to define when something is a fragrance. Often the person dealing with the cosmetics case will have to make a decision on whether a substance is a fragrance or an additive with a different characteristic, which leads to inconsistencies in the requirements. It has been necessary to apply a general interpretation on this point: that we rely on, and base case decisions on, what the applicant gives as the function of the substance. For example, if the applicant states that a substance that has a scent and can function as a fragrance is added as a flavouring, it is the requirements regarding flavourings that are to be fulfilled.
3 3 Where is fragrance used? Fragrance is added to many different chemical technical products, such as cosmetics, washing powder and cleaning products. However, the use of fragrance spreads far beyond the chemical technical product group. We encounter fragrance in many more products than people might think: erasers, felt-tip pens, toys, plastics, kitchen towel, graphic paper and textiles are just some of the places where fragrances are added. There are also a whole host examples of fragrances being used in open spaces: air fresheners in toilets and cars, the aroma of freshly baked bread outside the bakers, fragrances in specific parts of department stores, that new car smell, etc. Most products contain fragrance in very small quantities see Table 1: Table 1: Correlation between product groups and fragrance content. Product group Shampoo % Fragrance content Dishwashing detergents % Universal cleaning products % Liquid laundry detergents % The data in Table 1 is from an analysis conducted by Nordic Ecolabelling in Our knowledge of products today suggests that the concentrations in Table 1 remain relevant, but that Nordic Ecolabelled products often contain lower concentrations than this. The use of fragrances varies in Europe. In the Nordic region it is much more common to use non-fragranced products, and fragranced products often contain less fragrance, than in southern Europe. However, within the Nordic region itself, the focus of fragrance in products varies. The debate on allergenic fragrances is highly active in Denmark, and on the Danish consumer market there is a clear link between products being promoted as good for the environment and health and also being fragrance free. A similar link and active debate about fragrances cannot be seen in countries such as Sweden and Finland, where the Nordic Ecolabel is considered more purely as an environmental label, with other labels dominating in the field of health. Known environmental and health problems associated with fragrances Environmental effects More and more fragrance producers have begun to present detailed environmental and health information about their fragrances, and these show that fragrance ingredients are not uncommonly classified as R50/53 (H400 and H410), R51/53 (H411) or R52/53 (H412), which means that they have a long-term effect on the environment. This closely reflects what we have learned from water treatment plants, which is that waste water tends to smell of cleaning products when it is released after treatment.
4 4 When it comes to chemical technical products that end up in an aquatic environment after use, Nordic Ecolabelling applies the Critical Dilution Volume calculation to determine that the poor environmental profile of fragrances has an impact on the environmental profile of the whole product. Even in small quantities, added fragrance contributes considerably to an increased CDV, and fragranced products thus need to work harder to achieve a good environmental profile for the other chemical additives in order to meet the CDV requirement. In the event that it is not possible to source information on a fragrance s environmental profile, the fragrance is judged to be a worst case example in Nordic Ecolabelling s case management. It is thus reasonable to conclude that several fragrance ingredients can have a significant environmental impact and, due in particular to their environmental toxicity, Nordic Ecolabelling is focused on limiting the use of fragrances. However, with the very small concentrations of added fragrance it is not always the case that fragrance weighs heavily on a product s total environmental impact, seen from a life cycle perspective. One example of this might be where quite a small amount of fragrance is added to the cardboard roll of toilet paper, in which case the production of the paper far outweighs the environmental impact caused by the fragrance in each roll of toilet paper. Health effects Fragrances can have various effects on health, of which the most serious classifications are carcinogenic and toxic to reproduction. Via its ban on CMR substances Nordic Ecolabelling has ensured that such fragrances are not included in Nordic Ecolabelled products. Allergies are considered to be the most common health effects from fragrances. Fragrance causes 30-45% of the allergic reactions from cosmetics in eczema patients and is the most common cause of contact allergies from cosmetics. Two out of three patients with fragrance contact allergies notice, before diagnosis, that they cannot tolerate fragranced products on their skin. In general, the number of people allergic to fragrances has risen in Europe. If you are already allergic to one or two fragrances, you will typically become allergic to more over time 1. Tests have shown that lowering the concentration of the allergens allows many sensitive individuals to tolerate exposure even for prolonged periods 1. Studies tend to be conducted on individual substances and do not examine what might happen with blends of fragrances, which is how they most commonly appear 1. 1 Jeanne Duus Johansen, 2002: Contact Dermatitis Environmental and Occupational Dermatitis. Contact Allergy to Fragrances: Clinical and Experimental Investigations of the Fragrance Mix and its Ingredients.
5 5 Fragrance requirements set by the authorities and the industry The Detergents Regulation The Detergents Regulation relates to all washing and cleaning products that are covered by the Cosmetics Directive 76/768/EEC. The Detergents Regulation sets out requirements on the declaration of ingredients in washing and cleaning products, and fragrances must always be declared, whatever the quantity, as parfum. In addition, the 26 fragrances that are on the list of potential allergens must be declared by name if concentrations are >0.01%. Otherwise, there are no requirements relating to fragrances in the Detergent Regulation. The list of 26 fragrances has been compiled on the basis of a previous SCCS opinion from 1999/2000, in which they concluded from studies that 24 known fragrances were so allergenic that they should be named on the products. Two other substances (plant extracts) were later added to the list, and it should be mentioned that it took several years (3-4 years) from SCCS making this recommendation before it was actually implemented in cosmetics and detergents legislation. Cosmetics Directive/Cosmetics Regulation The Cosmetics Regulation has entered into force and will take over from the Cosmetics Directive when the directive expires on 11 July The Cosmetics Directive gives a long list of substances that must not be included in cosmetic products or may only be included in limited quantities or for limited applications. The directive also gives a positive list, for particular groups of substances, of which substances are allowed. In addition to these lists (which can be found in the annexes to the directive), there is a general ban on substances that are classified in CMR categories 1 and 2 (H340, H350, H350i, H360F, H360D, H360FD, H360Fd, H360fD). (CMR cat 3 (H341, H351, H361f, H361d, H361fd) is also excluded in principle, but dispensation may be given for substances which have been subject to a risk assessment by SCCS.) The list of substances that must not be used includes substances such as hormones, metals, biocides, named CMR substances, certain natural oils and extracts, medical substances and colouring agents. Some fragrances are also stated by name, e.g. musk ambrette, musk and musk tibetene. The list currently contains 1,369 stated substances or groups of substances which are not permitted in cosmetic products. Fragrances are marked so that they can easily be identified in this list. The Toy Safety Directive The EU s Toy Safety Directive (2009/48/EC) contains a list of 55 fragrances that must not be used in toys sold in the EU (for list of the 55 fragrances, see annex 2). Of the 55 fragrances in the Toy Safety Directive, 39 are banned under IFRA s rules (see below) and 15 of these overlap with the list of the 26 fragrances stated in the Detergents Regulation, which otherwise contains 11 more substances than are stated in the Toy Safety Directive list. IFRA s rules IFRA (the International FRagrance Association) represents the perfume industry. They carry out safety assessments of fragrances and blends and have public standards/guidelines for the use of fragrances. IFRA s guidelines limit or prohibit the use of certain fragrances in various product types.
6 6 SCCS opinion on fragrance allergens in cosmetic products, June In June, the EU s Scientific Committee on Consumer Safety (SCCS) issued an opinion on the risk of a long list of fragrances causing allergies. One focus was on investigating whether the 26 fragrances implemented in the Detergents Regulation are relevant, and whether any other fragrances also have known allergenic effects and therefore should be considered for ranking alongside the 26. The report indicates that setting requirements for the 26 fragrances remains highly relevant, since several scientific studies show that these have caused allergic reactions in people. At the same time, SCCS found that the list of fragrances which have several scientifically documented allergic effects is much longer than the 26. In fact, SCCS found that as many as 54 individual chemical fragrances and 28 natural extracts (82 substances in all) may be considered as scientifically documented allergens for people, on the same footing as the 26. (Note that the 26 fragrances are included in the 82 substances). In addition, SCCS reported that for a further 45 fragrances there was also evidence that these may cause allergic reactions (evidence via testing on animals or via combined evidence). SCCS recommends that all the fragrances for which they have evidence of possible allergens, both the 82 with recorded results on humans and the 45 for which other scientific results indicate allergenic properties, should be declared by name on the cosmetic product. This list thus totals 127 fragrances in all, of which 26 are already restricted in the Detergents Regulation and 20 have a hazard classification of R43 (H317). The full list of the fragrances that SCCS gives as potential allergens can be seen in appendix 1 to this document. SCCS refrains from recommending definite max limits for content of fragrances in cosmetic products, but states that the general limit of 100 ppm is tolerated by most consumers, and will guard against the development of new allergy sufferers among both generally tolerant and sensitive individuals. The recommendation is therefore for 100 ppm as a declaration level. Development of Nordic Ecolabelling requirements for fragrances in the chemical technical product group In order to gain an overview of how the Nordic Ecolabelling requirements for fragrances have developed in the chemical technical product group, the fragrance requirements are described below as they have appeared in the versions of the criteria for hand dishwashing detergents. Hand dishwashing detergents have been chosen because the product group contains both professional and consumer products within the same criteria and can be considered relatively representative of the way that Nordic Ecolabelling has approached fragrance requirements over the years. It should be noted that the details below only focus on requirements relating specifically to fragrances. As new versions have been developed, there has also been a tightening of requirements concerning CDV and substances classified as environmentally hazardous, which has proven to have an extremely limiting impact particularly on the amount of fragrance in products (see section Known environmental and health problems associated with fragrances. Environmental effects above).
7 7 Version 1 of the criteria for hand dishwashing detergents was adopted in The only specific fragrance requirement was for compliance with IFRA s rules. Version 2 of the criteria for hand dishwashing detergents was adopted in The perfume requirements were now expanded into the following: A ban on the use of fragrances in professional products Compliance with IFRA s rules 5 nitro musk compounds were banned on the grounds of being carcinogens In the case of 13 fragrances (which were later included in the list of 26 fragrances), there was a requirement that these should be declared on the label under the title fragrances There were no requirements about the content of allergenic substances or CMR classified substances. Version 3 of the criteria for hand dishwashing detergents was adopted in It included a ban on substances that were classified as CMR, and a max limit for allergenic substances (R42 (H334) and R43 (H317)) (max 0.1% in the product) was introduced, which consequently limited the use of fragrances. In addition, there were the following specific requirements concerning fragrances: A ban on the use of fragrances in professional products Compliance with IFRA s rules 7 nitro musk compounds were banned on the grounds of their carcinogenic effect The Detergents Regulation s list of 26 fragrances was incorporated in the following requirements: Either addition in a max concentration of 100 ppm per substance, or declared on the label in concentrations over 10 ppm. It was also explicitly stated in the criteria that the declaration option would be deleted in the next revision Version 4 of the criteria for hand dishwashing detergents was adopted in The perfume requirement was amended only on one point compared with version 3: The Detergents Regulation s list of 26 fragrances: addition in a max concentration of 100 ppm per substance. Version 5 of the criteria for hand dishwashing detergents was adopted in. In addition to the above requirement, it was specified that fragrances from plant extracts are included in the perfume requirement. Another addition is that constituent substances in a fragrance classified as allergenic (R42 (H334) and/or R43 (H317)) may be max 100 ppm in the finished product, which is a tightening by a factor of 10 compared with the previous version. The fragrance requirements were thus tightened in each revision, with various loopholes closed regarding the use of substances harmful to the environment and to health, and the requirements have largely been based on existing legislation and known rules/guidelines. It should be mentioned that, over several rounds, Nordic Ecolabelling has tried to implement a fragrance ban in several chemical technical product groups through its introduction in the consultation documents (the latest example is the criteria for cleaning products, which were sent out for consultation in summer
8 8, where we attempted a total ban on fragrances in professional products). Each time there has been a strong reaction from several parties, particularly licensees and the rest of the chemicals industry. The arguments are often that users want fragrances, they are used as an indicator of cleanliness and some brands are identified by consumers via their scent, making the scent a more important part of the brand than the Nordic Ecolabel. Listening to the consultation responses is a key part of Nordic Ecolabelling s criteria work and therefore the finished criteria do not always end up containing complete bans. Discussion: Nordic Ecolabelling s attitude to fragrances in the future The principles for Nordic Ecolabelling setting requirements regarding fragrances are stated in bold in the text below. The environmental toxicity of fragrances is handled on the same footing as other substances As described above, fragrances can have a poor environmental profile, being classed as having lasting effects on the environment. The Nordic Ecolabel handles fragrances on the same footing as other chemical substances when it comes to environmental requirements. This means that fragrances are not exempt from environmental requirements and are handled based on the fragrance s environmental profile in these requirements just as with other substances. In the event that it is not possible to source information on a perfume s environmental profile, the perfume is judged to be a worst case example. Since several fragrances have an environmental hazard classification, and in order to comply with the principal described in the next section, it does however happen that limit values for amount of environmentally harmful substances in Nordic Ecolabelled products are set so that it is possible to add small quantities of fragrance. Proportion of fragranced products on the market and fragrance in the product s RPS For each individual product group it is important to analyse the market within which we are setting requirements, in order to ensure as great a potential for environmental improvements as possible in that market. This is also the case for fragrances! It means in practice that if the market share of fragrancecontaining products in the product group is high, it is not necessarily possible/a good idea to introduce a ban on fragrances. Other conditions within the product group must also be taken into account, and in particular there should be an assessment of which areas have a high RPS for the product group in question. In a product group with a high proportion of fragrance-containing products on the market, a ban on fragrances would mean that a very high proportion of the products on the market would not be able to achieve the Nordic Ecolabel, on the basis of one requirement that is not necessarily the most important environmental parameter for the product group. The consequence might be that we miss the opportunity to improve the environmental profile in those areas with a high RPS for a large proportion of the market s products.
9 9 Cleaning products: In cleaning products, the most important point environmentally is to ensure correct dosing, effective products, optimal use of packaging and that the chemicals used in large quantities (such as tensides) have as low an effect on the aquatic environment as possible. With stringent requirements for this, Nordic Ecolabelling ensures that the product group focuses on benefiting the environment. On the other hand it is important to remember that Nordic Ecolabelling is multi-criteria based, and thus also makes sure that other parameters than those that crop up in life cycle analysis are taken into account, including the issue of health. The market for cleaning products, particularly the consumer market but also certain parts of the professional market, features fragrance-containing products. The proportion of products with fragrances far exceeds the proportion of products without, and this is attributed in particular to a consumer desire for such products to be scented. Consumers do not necessarily want to ignore environmental considerations simply because they want scented products. However, it is likely that the choice between scent and no scent carries greater weight than environmental considerations for many consumers, since the scent gives the user the desired instant feedback from the product, while environmental consideration is a more abstract effect of purchasing the product. It is therefore much more possible to influence the fragrance-buying section of the customer segment to choose something that is better for the environment if we give them a choice of fragrance-containing products. In product groups with a high proportion of fragrance-containing products on the market, where perfume is not the only/most important environmental parameter in the product, it is the task of Nordic Ecolabelling to ensure a focus on the most relevant environmental parameters and on ecolabelled products with the best environmental profile, which is not necessarily the same as a total ban on fragrances. But at the same time, Nordic Ecolabelling should also safeguard consumers and the environment by ensuring that only the fragrances that are least harmful to the environment and health are added to the product. In product groups with a low proportion of fragrance-containing products on the market, Nordic ecolabelling may introduce a total ban on fragrances, on the grounds of the environmental and health problems of fragrances, in the same way that other undesirable substances that are harmful to the environment and health are banned. This is not necessarily related to whether a ban on fragrances has a high RPS for the product. This is because the Nordic Ecolabelling has good potential to influence the market with strict environmental requirements, giving a high RPS in the product group, while also ensuring a focus on health via a fragrance ban. Examples: Disposable items: Fragrances have a relatively low RPS in disposable items, since environmentally it is much more important to look at recycling, production and waste processing for the core materials in the product, such as plastic and paper. At the same time, the proportion of and demand for fragrance-containing products is very small, although they do exist. In this case, there is no problem in Nordic Ecolabelling imposing a ban on fragrances, while at the same time being sure that the Nordic Ecolabel can benefit the environment in the product group via the other requirements (with high RPS) that are set. Here a ban on fragrances can, to a large extent, be seen as a signal requirement.
10 10 Risk groups and exposure In addition to the above assessment of the market and the RPS, which largely has a focus on the product s overall environmental profile, Nordic Ecolabelling should also take account of health in the Nordic Ecolabel criteria. When setting requirements for fragrances that have a poor health profile, there should therefore be a focus on risk groups and exposure to the fragrances. Due to the harmful effects that fragrances have on health, Nordic Ecolabelling should ensure that particularly vulnerable population groups, such as children, are protected from fragrances via a ban on fragrances in products for children. Nordic Ecolabelling should ensure that people are not exposed to fragrances involuntarily, which is particularly the case if you have no influence over the purchase of products, and so over whether the product contains fragrances. This is the situation, in many cases, for professional users, where others are responsible for purchasing. At the same time, Nordic Ecolabelling must also recognise that there are occasions where the user voluntarily buys/chooses a fragrance-containing product. This may include chemical technical consumer products such as hand dishwashing detergent, hand soap, shampoo, cleaning products and so on. In these cases, it is Nordic Ecolabelling s task to ensure that only the fragrances that are least harmful to the environment and health are added to the product. The market for fragrance-containing product is not the same in all Nordic countries Nordic Ecolabelling comprises five countries, and it is important that the requirements function in all the Nordic countries, which is why there is a need to recognise that the Nordic markets are not always the same. Demands from consumers, the focus of the media and politicians, the attitudes of producers and retailers are not always uniform, and fragrances are a case in point. It is important in the discussions on fragrances to consider the national situation, and work towards solutions that can function in all the Nordic countries, accepting that there will have to be compromises. It is however even more important that discussions on the criteria retain a focus on the Nordic Ecolabel encouraging as much environmental improvement as possible, since that is the primary objective of Nordic Ecolabelling. Fragrance requirements of the future within Nordic Ecolabelling Nordic Ecolabelling should not introduce a total ban on fragrances in all product areas. Instead, Nordic Ecolabelling should set fragrance requirements based on the principles marked in bold in the discussion section above. Nordic Ecolabelling already has a ban on fragrances in products for children, and practically all product groups where the market share of fragrance-containing products is low have a ban on fragrances. This policy will remain in place.
11 11 Nordic Ecolabelling also has a focus on limiting fragrances in products for professional users, and has come a long way with bans on fragrances in many professional products. However, for professional products too there are certain areas where market share and demand for fragrance-containing products is high, and here Nordic Ecolabelling will constantly examine the scope for benefiting the environment by introducing a requirement to ban or limit fragrances. Proposal for tougher requirements concerning allergenic fragrances: SCCS s report from June on allergenic fragrances in cosmetic products shows that the list of 26 fragrances cannot be seen as sufficient to cover fragrances with scientifically documented allergenic effects. Nordic Ecolabelling will push for the list of fragrances that are excluded/limited due to allergenic effects (currently a list of 26 substances) to be expanded to contain the 127 fragrances for which SCCS has found scientific documentation of allergenic effects (see list of substances in appendix 1). Nordic Ecolabelling will hereby take account of the latest scientific information and adopt the precautionary principle with regard to the negative health effects of fragrances. The fragrance producers industry body appears to have recognised SCCS s report (see IFRA press release, Brussels, 31 July ) and the industry body for chemicals producers has indicated to Nordic Ecolabelling that it expects the results of SCCS s report to lead to a change in the law on fragrances in the near future. At the current time it is extremely difficult to judge the consequence of a ban/limitation on the 127 allergenic fragrances for each product group, but it is clear that many well known fragrances are on the list, and therefore Nordic Ecolabelled fragrance-containing products will be affected. For this reason, implementation of the 127 allergenic fragrances should be carried out with due common sense. Criteria in which we implement a ban/limitation on the 127 fragrances should be sent out for consultation and be tested in the market before such changes are implemented in any criteria. This kind of change cannot be made without consultation. In addition, it should be possible to introduce the ban gradually, depending on the product group. Since Nordic Ecolabelling s criteria have different lifetimes and thus not all chemical technical criteria with fragrance requirements are due for revision now, implementation of this will take a few years (until around 2016). The goal is that in the future 127 fragrances, rather than 26 fragrances, will be limited/banned based on their allergenic effect. Inspiration for future fragrance discussions In future discussions on fragrance requirements, consideration might be given to whether the idea of safeguarding people against involuntary exposure to fragrances should be expanded, such that people are not exposed to fragrances in public spaces. Nordic Ecolabelling has already come a long way on this in the form of requirements for a high proportion of Nordic Ecolabelled cleaning products and other products in criteria for Nordic Ecolabelled services, where fragrance is either prohibited or severely restricted. This reduces the risk that, for example, hotel guests at a Nordic Ecolabelled hotel get a room that smells strongly of fragranced cleaning products.
12 12 However this is highly complex task that is not as easy to resolve as it might sound, since other aspects enter the picture when it comes to exposure to scents in open spaces. One example of the problems that arise is the fact that bouquets of flowers in hotel receptions give off natural floral scents that some people may be allergic to. Should flowers therefore no longer be allowed in reception? It is clearly a complicated matter that should be carefully thought through and worked on in order to create a sound foundation for requirements in the Nordic Ecolabelling criteria.
13 13 Appendix 1. Tables of fragrances as proven of or suspected to be allergenic to humans from SCCS opinion on fragrances allergenes in cosmetic products, June. Table 13-1: Established contact allergens in humans. For categorisation of importance (+ to ) see chapter 7.1. Allergens of special concern are substances where between 100 and 1,000 cases (+) and more than 1,000 () have been published. These are set in bold. Fragrance substances identified as allergens in the 1999 opinion of SCCNFP (1) are marked with an asterisk. ox. = oxidised; non-ox. = non-oxidised; r.t. = rarely tested (see chapter 7) Substance marked in gray are classified with hazardous R43 (H317) according to the SCCS report INCI name (or, if none exists, perfuming name according to CosIng) CAS number Human evidence: see text Individual chemicals ACETYLCEDRENE AMYL CINNAMAL* AMYL CINNAMYL ALCOHOL* AMYL SALICYLATE trans-anethole (r.t.) ANISE ALCOHOL* BENZALDEHYDE BENZYL ALCOHOL* BENZYL BENZOATE* BENZYL CINNAMATE* BENZYL SALICYLATE* BUTYLPHENYL METHYLPROPIONAL * CAMPHOR / (r.t.) 49-3 beta-caryophyllene (ox.) Non-ox.: +, ox.: + CARVONE / (r.t.) 40-1 / CINNAMAL* CINNAMYL ALCOHOL* CITRAL* CITRONELLOL* / / COUMARIN* (DAMASCENONE ) ROSE KETONE (r.t.)
14 14 alpha-damascone (TMCHB) / cis-beta-damascone delta-damascone DIMETHYLBENZYL CARBINYL ACETATE (DMBCA) EUGENOL* FARNESOL* GERANIOL* HEXADECANOLACTONE (r.t.) HEXAMETHYLINDANOPYRAN HEXYL CINNAMAL* HYDROXYISOHEXYL 3-CYCLOHEXENE CARBOXALDEHYDE (HICC)* / HYDROXYCITRONELLAL* ISOEUGENOL* alpha-isomethyl IONONE* (DL)-LIMONENE* (non-ox.); + (ox.) LINALOOL* (non-ox.) + (ox.) LINALYL ACETATE (non-ox.) (ox.) MENTHOL / / METHYL COUMARIN METHYL 2-OCTYNOATE* METHYL SALICYLATE METHYL-5-(2,2,3-TRIMETHYL (r.t.) CYCLOPENTENYL)PENT-4-EN-2-OL alpha-pinene and beta-pinene and , resp. PROPYLIDENE PHTHALIDE (r.t.) SALICYLALDEHYDE alpha-santalol and beta and SANTALOL , resp. SCLAREOL TERPINEOL (mixture of isomers) alpha-terpineol / Terpinolene
15 15 TETRAMETHYL ACETYLOCTAHYDRONAPHTHALENES TRIMETHYL-BENZENEPROPANOL (Majantol) / / / VANILLIN Natural extracts CANANGA ODORATA and Ylangylang ; + oil CEDRUS ATLANTICA BARK OIL ; CINNAMOMUM CASSIA LEAF OIL (r.t.) CINNAMOMUM ZEYLANICUM BARK OIL CITRUS AURANTIUM AMARA ; FLOWER / PEEL OIL CITRUS BERGAMIA PEEL OIL (r.t.) EXPRESSED CITRUS LIMONUM PEEL OIL EXPRESSED CITRUS SINENSIS (syn.: AURANTIUM DULCIS) PEEL OIL EXPRESSED CYMBOPOGON CITRATUS / SCHOENANTHUS OILS ; ; ; EUCALYPTUS SPP. LEAF OIL ; EUGENIA CARYOPHYLLUS LEAF / FLOWER OIL EVERNIA FURFURACEA EXTRACT* EVERNIA PRUNASTRI EXTRACT* JASMINUM GRANDIFLORUM / OFFICINALE ; ; JUNIPERUS VIRGINIANA ; LAURUS NOBILIS ; ; LAVANDULA HYBRIDA (r.t.) LAVANDULA OFFICINALIS MENTHA PIPERITA ; MENTHA SPICATA MYROXYLON PEREIRAE ; NARCISSUS SPP. diverse
16 16 PELARGONIUM GRAVEOLENS ; PINUS MUGO/PUMILA / POGOSTEMON CABLIN ; ROSE FLOWER OIL (ROSA SPP.) Diverse SANTALUM ALBUM ; TURPENTINE (oil) ; ; VERBENA ABSOLUTE Table 13-2: Fragrance substances categorised as established contact allergens in animals. INCI name (or, if none exists, perfuming name according to CosIng) CAS number Individual chemicals Human evidence: see text Allyl phenoxyacetate none 3,1 p-tert none 4,3 Butyldihydrocinnamaldehyde CYCLAMEN ALDEHYDE none 22 Dibenzyl ether none 6,3 2,3-DIHYDRO-2,2, limited 7,5 TRIMETHYLBENZALDEHYDE trans-2-hexenal none 2,6 2-Hexylidene cyclopentanone none 2,4 HEXYL SALICYLATE negative 0,18 p-isobutyl-α-methyl none 9,5 hydrocinnamaldehdye Isocyclocitral none 7,3 α-methyl cinnamic aldehyde none 4,5 METHYLENEDIOXYPHENYL none 16,4 METHYLPROPANAL METHYLUNDECANAL none 10 2-Methoxy-4-methylphenol none 5,8 4-Methoxy-α-methyl none 23,6 benzenpropanal METHYL OCTINE CARBONATE limited 2,5 Perillaldehyde p-mentha-1,8-dien none 8,1 al PHENYLACETALDEHYDE limited 3 Jasminum Sambac Flower CERA / Extract / Water Natural extracts none 35,4 EC 3 value (min; %)
17 17 Table 13-3: Fragrance substances categorised as likely contact allergens by combination of evidence. INCI name (or, if none exists, perfuming name according to CosIng) CAS number Human evidence: see text EC 3 value (min; %) SAR AMBRETTOLIDE limited none + CARVACROL limited none + Citrus paradisi none R43 n.a. CUMINALDEHYDE limited none + CYCLOPENTADECANONE limited none + trans-trans-delta-damascone limited none + 2,4-dimethyl-3-cyclohexen none R43 + carboxaldehyde DIMETHYLTETRAHYDRO limited none + BENZALDEHYDE ETHYL VANILLIN limited none + HELIOTROPINE limited none + ISOAMYL SALICYLATE limited none ISOLONGIFOLENEKETONE limited none + Longifolene none R43 + Mentha arvensis none R43 n.a. METHOXYCITRONELLAL limited none + METHYL CINNAMATE limited none METHYLIONANTHEME limited none + 5-METHYL-alpha-IONONE limited none + MYRCENE limited none MYRTENOL limited none + NEROL limited none Nerolidol (isomer not specified) limited none NOPYL ACETATE limited none + PHYTOL limited none + RHODINOL limited none + trans-rose KETONE limited none Substances/natural mixtures were classified as R43, according to the submission by IFRA. The evidence on which this classification was based was not available to the SCCS, so the validity of classification cannot be assessed. Nevertheless, the four substances/substance mixtures should be treated as likely contact allergens. n.a.: not applicable (natural mixture)
18 18 Appendix 2: Fragrances from Toys directiv, 2009/48/EC Name on fragrances Cas-No. Alanroot (Inula helenium) Allylisothiocyanat Benzylcyanid tert-Butylphenol Chenopodiumolie Cyclamenalkohol Diethylmaleat Dihydrocoumarin ,4-Dihydroxy-3-methylbenzaldehyd ,7-Dimethyl-2-octen-1-ol(6,7-Dihydrogeraniol) ,6-Dimethyl-8-tert-butyl-coumarin Dimethylcitraconat ,11-Dimethyl-4,6,10-dodecatrien-2-on ,10-Dimethyl-3,5,9-undecatrien-2-on Diphenylamin Ethylacrylat Fig leaf, fresh and preparations (Ficus carica) Trans-2-Heptenal Trans-2-Hexenaldiethylacetal Trans-2-Hexenaldimethylacetal Hydroabietylalcohol Ethoxyphenol
19 19 6-Isopropyl-2-decahydronaphtalenol Methoxycoumarin Methoxyphenol (p-Methoxyphenyl)-3-buten-2-on (p-Methoxyphenyl)-1-penten-3-on Methyl trans-2-bytenoat Methylcoumarin Methylcoumarin Methyl-2,3-hexanedion Costusrodolie (Saussurea lappa Clarke) Ethoxy-4-methylcoumarin Hexahydrocoumarin Perubalsam, raw (Exudat af Myroxylon pereirae (Royale) Klotzsch) Pentyliden-cyclohexanon ,6,10-Trimethyl-3,5,9-undecatrien-2-on Verbenaolie (Lippia citriodora Kunth) Musk ambrette (4-tert-Butyl-3-methoxy-2,6-dinitrotoluene) Phenolbut-3-en-2-on Amyl Cinnamal Amylcinnamyl Alcohol Benzyl Alcohol Benzyl Salicylate Cinnamyl Alcohol Cinnamal Citral Coumarin
20 20 Eugenol Geraniol Hydroxycitronellal Hydroxyisohexyl 3-cyclo-hexencarboxaldehyde (Lyral) / Isoeugenol Evernia prunastri extract (Oak moss) Evernia furfuracea extract (Tree moss) i The content of this section is based on general knowledge of fragrances, as already described in Nordic Ecolabelling s multidisciplinary project on fragrances vers 1.0, 12. November 2002, and its supplements. ii Jeanne Duus Johansen, 2002: Contact Dermatitis Environmental and Occupational Dermatitis. Contact Allergy to Fragrances: Clinical and Experimental Investigations of the Fragrance Mix and its Ingredients
A list of 26 substances that have to be identified on products to inform consumers was established in 1999.
http://ec.europa.eu/health/scientific_committees/policy/opinions_plain_language/index_en.htm page 1/9 Source document: Perfume Allergies SCCS (212) Summary & Details: GreenFacts Context - More than 2,5
Level 2 - Details on Perfume Allergies 1. Introduction...2 2. What kind of skin problems are known to be caused by fragrance ingredients?...
page 1/14 Source document: Perfume Allergies SCCS (212) Summary & Details: GreenFacts Level 2 - Details on Perfume Allergies 1. Introduction...2 2. What kind of skin problems are known to be caused by
Report 340301002/2009 J. Ezendam J.D. te Biesebeek S.W.P. Wijnhoven. The presence of fragrance allergens in scented consumer products
Report 340301002/2009 J. Ezendam J.D. te Biesebeek S.W.P. Wijnhoven The presence of fragrance allergens in scented consumer products RIVM letter report 340301002/2009 The presence of fragrance allergens
MATERIAL SAFETY DATA SHEET
1. IDENTIFICATION OF SUBSTANCE / PREPARATION AND COMPANY PRODUCT NAMES : SUPPLIER : Imperial Leather - Handwash (UK) Japanese Spa Cotton Soft Citrus Burst Jasmine Touch Chamomile Care PZ CUSSONS (UK) LIMITED
ENJEUX SANITAIRES ET RÉGLEMENTAIRES : FAUX PROBLÈMES ET VRAIES QUESTIONS. Françoise AUDEBERT Aurore BOUDET MOUFAREK 9 avril 2013
ENJEUX SANITAIRES ET RÉGLEMENTAIRES : FAUX PROBLÈMES ET VRAIES QUESTIONS Françoise AUDEBERT Aurore BOUDET MOUFAREK 9 avril 2013 PERFUME & REGULATORY ISSUES IN EUROPE 1. Definition Fragrance ingredient
ALLERGENS IN PERFUMES: GAS CHROMATOGRAPHY^ MASS SPECTROMETRY
1974 III / ALLERGENS IN PERFUMES: GAS CHROMATOGRAPHY^MASS SPECTROMETRY ALLERGENS IN PERFUMES: GAS CHROMATOGRAPHY^ MASS SPECTROMETRY S. C. Rastogi, National Environmental Research Institute, Rokilde, Denmark
www.cropwatch.org E: [email protected] T: ++44 (0)7771 872 521 THE FIRST TRULY INDEPENDENT WATCHDOG FOR THOSE WORKING WITH NATURAL AROMATIC MATERIALS
www.cropwatch.org THE FIRST TRULY INDEPENDENT WATCHDOG FOR THOSE WORKING WITH NATURAL AROMATIC MATERIALS E: [email protected] T: ++44 (0)7771 872 521 Cropwatch Claims Victory Regarding 26 Allergens Legislation.
Specimen Memo Fragrance Use
Specimen Memo Fragrance Use Our firm is concerned about an issue that is very important to the health of some of our staff. We hope by providing you with comprehensive information, you will be better able
Help Note for Dermatologists
Cosmetic Products Ingredient Labelling Help Note for Dermatologists Cosmetic Ingredient Labelling The legislation that regulates cosmetic products in the UK is the Cosmetic Products (Safety) Regulations
Application of TargetView software in the fragrance industry: Accurate identi cation of allergens with fast GC
Application Note: ANTV12 Application of TargetView software in the fragrance industry: Accurate identi cation of allergens with fast GC Introduction The need to screen consumer products for speci c organic
The Increasing Regulatory World for Candles Global Key Issues. World Candle Congress 2016
The Increasing Regulatory World for Candles Global Key Issues World Candle Congress 2016 Knowing when to act, Keeping Candles Out of the Regulatory Spot Light! Confidential and proprietary business information
Reference: HSHARP2IN1 Creation date: 27 November 2002 Page 1 of 7
MATERIAL SAFETY DATA SHEET Reference: HSHARP2IN1 Creation date: 27 November 2002 Page 1 of 7 1 IDENTIFICATION OF THE PRODUCT AND THE COMPANY PRODUCT : HARPIC TOILET BOWL CLEANER 2 IN 1 Company Reckitt
MATERIAL SAFETY DATA SHEET Finished Product.
MATERIAL SAFETY DATA SHEET Finished Product. SECTION 1 - CHEMICAL SUBSTANCE/PRODUCT AND COMPANY IDENTIFICATION Finished Product Name: Fine Fragrances Eau de Toilette Natural Spray Products Applicable Brands
Allergens of Special Interest
Chapter Allergens of Special Interest Jeanne Duus Johansen, Jean-Pierre Lepoittevin, David Basketter, John McFadden, Heidi Søsted Contents.1 Fragrances................... 507 Jeanne Duus Johansen, Jean-Pierre
Hand Dishwashing Detergents
Good Environmental Choice Australia Managers of the Australian Ecolabel Program Final Standard No: GECA 15-2006 Issued: January 2006 The Australian Ecolabel Program Australian Voluntary Environmental Labelling
Brussels, XXX [ ](2015) XXX draft ANNEX 1
EUROPEAN COMMISSION Brussels, XXX [ ](2015) XXX draft ANNEX 1 ANNEX EN EN ANNEX 'ANNEX VIII HARMONISED INFORMATION RELATING TO EMERGENCY HEALTH RESPONSE AND PREVENTATIVE MEASURES 1. Application PART A
European Respiratory Society (ERS), The European Lung White Book Respiratory Health and Disease in Europe, 2013. 3
EFA response to the European Commission public consultation on fragrance allergens in the framework of Regulation (EC) No. 1223/2009 of the European Parliament and of the Council on cosmetic products The
1. Ingredients from list A forming the major compositional components (95-100%) of the final product for any restrictions see individual entry
Product Category - Lip Balms Formulation Details 1. Ingredients from list A forming the major compositional components (95-100%) of the final product for any restrictions see individual entry 2. The addition
Sepawa Nordic 2014-05-06. perfumes in fabric care
perfumes in fabric care Modern perfumery Started towards the end of the 19th century First synthetics made their appearance (coumarin, heliotropine, vanillin, ionone, aldehydes ) Olfactive revolution!
OPINION on Fragrance allergens in cosmetic products
Scientific Committee on Consumer Safety SCCS OPINION on Fragrance allergens in cosmetic products The SCCS adopted this pre-consultation opinion at its 13 th plenary meeting of 13-14 December 2011 About
Preservatives and fragrances in selected consumer-available cosmetics and detergents
Contact Dermatitis Original Article COD Contact Dermatitis Preservatives and fragrances in selected consumer-available cosmetics and detergents Kerem Yazar, Stina Johnsson, Marie-Louise Lind, Anders Boman
Fast Analysis of Cosmetic Allergens Using UltraPerformance Convergence Chromatography (UPC 2 ) with MS Detection
Fast Analysis of Cosmetic Allergens Using UltraPerformance Convergence Chromatography (UPC 2 ) with MS Detection Jane Cooper, 1 Michael Jones, 1 and Stéphane Dubant 2 1 Waters Corporation, Wilmslow, UK
Rbg Paris, Lilyrose, eau de parfum
SAFETY DATA SHEET According to regulation (EC) N 1907/2006 (as amended) This Safety Data Sheet cancels and replaces all preceding SDS for this product. 1) IDENTIFICATION OF THE STUBSTANCE/PREPARATION AND
MATERIAL SAFETY DATA SHEET Finished Product.
MATERIAL SAFETY DATA SHEET Finished Product. SECTION 1 - CHEMICAL SUBSTANCE/PRODUCT AND COMPANY IDENTIFICATION Finished Product Name: Fine Fragrances After Shave, Eau de Parfum, Eau de Cologne, Eau de
DETERGENTS REGULATION
European Commission Enterprise Directorate-General DETERGENTS REGULATION Regulation (EC) No 648/2004 Stephen Pickering Chemicals Unit, G.2 Enterprise and Industry Directorate-General Explanatory part of
Nordic Ecolabelling of Alternative Dry Cleaning
rdic Ecolabelling of Alternative Dry Cleaning Version 1.6 23 March 2006 31 March 2018 rdic Ecolabelling Content What is rdic Ecolabelled alternative dry cleaning? 3 Why choose the rdic Ecolabel? 3 What
EU ECOLABEL FOR ABSORBENT HYGIENE PRODUCTS
EU ECOLABEL FOR ABSORBENT HYGIENE PRODUCTS BEUC and EEB position on proposal to be voted on 14 th of March 2014 Contact: Blanca Morales [email protected] & [email protected] Ref.: X/2014/014-05/03/2014
How To Comply With The New Toy Directive
An Expert s View of the Implications of the Intertek, Centre Court, Meridian Business Park, Leicester LE19 1WD UK [email protected] +44 (0)116 263 0330 www.intertek.com Implications of the
SAFETY DATA SHEET Easy Aloe Vera Non-Bio Washing Powder
Revision Date 04/12/2013 Revision 1 SAFETY DATA SHEET SECTION 1: IDENTIFICATION OF THE SUBSTANCE/MIXTURE AND OF THE COMPANY/UNDERTAKING 1.1. Product identifier Product name Internal Id R1511 Container
FOOD ALLERGENS PRESENT/ABSENT AMOUNT
FOOD ALLERGENS PRESENT/ABSENT AMOUNT Dairy, milk and milk products (including lactose) Egg and egg containing products Fish or fish derivatives Molluscs, Shellfish, Crustaceans Peanuts Soybean and soybean
Survey of Chemical Substances in Consumer Products. Analysis of chemical hair-removal products. Survey no. 31 2003
Survey of Chemical Substances in Consumer Products Survey no. 31 2003 Analysis of chemical hair-removal products Anette Ejersted and Annette Orloff, the Danish Environmental Protection Agency 4 Contents
L 94/16 Official Journal of the European Union 30.3.2012
L 94/16 Official Journal of the European Union 30.3.2012 REGULATION (EU) No 259/2012 OF THE EUROPEAN PARLIAMENT AND OF THE COUNCIL of 14 March 2012 amending Regulation (EC) No 648/2004 as regards the use
Comment (Position Paper) OPINION. Fragrance allergens in cosmetic products
Comment (Position Paper) on Scientific Committee on Consumer Safety SCCS OPINION on Fragrance allergens in cosmetic products The SCCS adopted this opinion at its 15th plenary meeting of 26-27 June 2012
Work Health and Safety Regulations: Classification and labelling for workplace hazardous chemicals
code* word Class Category Code* Text Unstable explosive H200 Unstable explosive Division 1.1 H201 Explosive; mass explosion hazard Division 1.2 H202 Explosive; severe projection hazard Explosives Division
: Febreze Cotton Fresh
PROFESSIONAL Febreze Cotton Fresh Date of issue: 23/02/2011 Revision date: Version: 1.0 SECTION 1: Identification of the substance/mixture and of the company/undertaking 1.1. Product identifier Chemical
: Fairy Professional Original Washing Up Liquid 5L
PROFESSIONAL Fairy Professional Original Washing Up Liquid 5L Date of issue: 17/11/2011 Revision date: Version: 1.0 SECTION 1: Identification of the substance/mixture and of the company/undertaking 1.1.
Bold Lavender & Camomile Liquitabs Safety Data Sheet according to Regulation (EC) No. 453/2010 Date of issue: 28/12/2011 Revision date: Version: 1.
Date of issue: 28/12/2011 Revision date: Version: 1.0 SECTION 1: Identification of the substance/mixture and of the company/undertaking 1.1. Product identifier Chemical type Trade name Product code : Mixture
GHS - GLOBALLY HARMONIZED SYSTEM
GHS - GLOBALLY HARMONIZED SYSTEM of Classification and Labelling of Chemicals GHS is a system proposed by the United Nations (UN) for the harmonised world-wide classification and labelling of chemical
Conforms to Regulation (EC) No. 1907/2006 (REACH), Annex II and Regulation (EC) No. 1272/2008 (CLP) - Europe. Bona Wood Floor Cleaner
Conforms to Regulation (EC) No. 1907/2006 (REACH), Annex II and Regulation (EC) No. 1272/2008 (CLP) - Europe 1. SAFETY DATA SHEET IDENTIFICATION OF THE SUBSTANCE/PREPARATION AND OF THE COMPANY/UNDERTAKING
SAFETY DATA SHEET ZANFEL VERSION 1.5.0
SECTION 1: IDENTIFICATION Product Name: Zanfel Synonyms: Zanfel Wash For Poison Ivy, Oak & Sumac (Urushiol), Zanfel Poison Ivy Wash Manufacturer/Supplier: Zanfel Laboratories, Inc. Address: 6901 N. Knoxville
SAFETY DATA SHEET EVO-STIK GRIPFILL SOLVENT FREE (Irl)
Revision Date December 2014 SAFETY DATA SHEET According to Regulation (EC) No 1907/2006 1 / 6 SECTION 1: IDENTIFICATION OF THE SUBSTANCE/MIXTURE AND OF THE COMPANY/UNDERTAKING 1.1. Product identifier Product
TITLE: Scent Sensitivity Procedure. SPONSOR: Vice-President, Finance & Administration
TITLE: Scent Sensitivity Procedure SPONSOR: Vice-President, Finance & Administration PREVIOUS VERSIONS: ACCOUNTABILITY: Office of Accountability: Safety and Risk Management Administrative Accountability:
Nordic Ecolabelling. Steps
Nordic Ecolabelling Steps 2001 Contents Introduction 3 1. The philosophical foundations of ecolabelling 4 The Vision 4 The road towards sustainability 4 2. Nordic Ecolabelling s strategy 6 The formulation
The new EU Regulation 1223/2009 on Cosmetic Products Everything you need to know! SCC Ontario March 25 th, 2014 Marie Roussel & Ariane Divetain
The new EU Regulation 1223/2009 on Cosmetic Products Everything you need to know! SCC Ontario March 25 th, 2014 Marie Roussel & Ariane Divetain INTRODUCTION TO THE REGULATION European Economic Area + European
Product Sheet Sustainable Procurement Guidelines for Cleaning Products
Product Sheet Sustainable Procurement Guidelines for Cleaning Products Basic sustainability criteria and verification instructions Basic sustainability criteria: these address the most significant environmental
EU chemical regulation- REACH Brief Overview and Q&A
EU chemical regulation- REACH Brief Overview and Q&A Jytte Syska, 3E Company 1 REACH Regulation (EC) No 1907/2006 of the European Parliament and of the Council of 18 December 2006 concerning the Registration,
Import volumes and unit values for a range of essential oil imports into the US are given in the Tables below.
US Imports of Essential Oils, 2009 to 2013 Part Two Import volumes and unit values for a range of essential oil imports into the US are given in the Tables below. Care is needed in assessing import price
Overview of Key Obligations Under Regulation (EC) No. 1272/2008 on the Classification, Labelling and Packaging of Substances and Mixtures (CLP)
Overview of Key Obligations Under Regulation (EC) No. 1272/2008 on the Classification, Labelling and Packaging of Substances and Mixtures (CLP) Summary This document examines the key aspects of the CLP
SAFETY DATA SHEET BOSTIK AQUAGRIP 536
Revision Date November 2014 1 / 6 SAFETY DATA SHEET BOSTIK AQUAGRIP 536 According to Regulation (EC) No 1907/2006 SECTION 1: IDENTIFICATION OF THE SUBSTANCE/MIXTURE AND OF THE COMPANY/UNDERTAKING 1.1.
GC-MS analysis of allergens in plant oils meant to cosmetics
F O N D A M E N T A L GC-MS analysis of allergens in plant oils meant to cosmetics Jacques KALOUSTIAN 1 Céline MIKAIL 1 Tarek EL-MOSELHY 2 Lydia ABOU 1 Henri PORTUGAL 1 1 Laboratoire de chimie analytique
This compound, which contains two carbon atoms with a C-OH structure on one end of the molecule is ethanol, commonly called ethyl alcohol.
ESTERS An Introduction to rganic hemistry Reactions 2006, 1990, 1982 by David A. Katz. All rights reserved. Reproduction permitted for educationa use provided original copyright is included. In contrast
German proposal for the restriction of PAHs in consumer products
Federal Institute for Occupational Safety and Health Dortmund, 04/06/2010 German proposal for the restriction of PAHs in consumer products 1. Introduction The government of the Federal Republic of Germany
Safety Data Sheet. (REACH Regulation (EC) No. 1907/2006 No. 453/2010)
Safety Data Sheet (REACH Regulation (EC) No. 1907/2006 No. 453/2010) Date of Issue : Nov. 23, 2009 Date of Revision : Apr. 14. 2014 Version : 2 SECTION 1. IDENTIFICATION OF THE SUBSTANCE/MISTURE AND OF
Steam Distillation of Lemongrass Oil
I. Introduction Steam Distillation of Lemongrass Oil When a mixture of cyclohexane and toluene is distilled, the boiling point of these two miscible liquids is between the boiling points of each of the
MATERIAL SAFETY DATA SHEET Finished Product.
MATERIAL SAFETY DATA SHEET Finished Product. SECTION 1 CHEMICAL SUBSTANCE/PRODUCT AND COMPANY IDENTIFICATION Finished Product Name: Ultra Sheen Extra Dry Hair Conditioner and Hair Dress (95460760) Company
T 465 Bucasan Pino Date of issue: 21. 2. 2014 Page 1 of 10
Date of issue: 21. 2. 2014 Page 1 of 10 1. Identification of the mixture and of the company / undertaking 1.1. Product identifier 1.2. Relevant identified uses of the mixture and uses advised against Water-dilutable
: MR MUSCLE Window & Glass Cleaner
1. IDENTIFICATION OF THE SUBSTANCE/MIXTURE AND OF THE COMPANY/UNDERTAKING Product information Product identifier : Relevant identified uses of the substance or mixture and uses advised against : Hard Surface
COSMETIC PRODUCT SAFETY REPORT
1 Antigonis str 14451 Metamorfosis, Athens, Greece Tel : +30-210-2934745 e-mail : [email protected] Fax : +30-210-2934606 web : www.qacs.gr COSMETIC PRODUCT SAFETY REPORT According to EC Regulation 1223/2009
SAFETY DATA SHEET. according to 1907/2006/EC, Article 31. Zenith 2B Machine Rinse Aid (020000, 020100)
SAFETY DATA SHEET according to 1907/2006/EC, Article 31 Page 1/5 date SECTION 1: Identification of the substance/mixture and of the company/undertaking 1.1. Product identifier Product name Product code
SAFETY DATA SHEET CLEENOL LIFT WAX FREE POLISH
Revision Date 18/06/2010 Revision 1 Supersedes date 18/06/2010 SAFETY DATA SHEET SECTION 1: IDENTIFICATION OF THE SUBSTANCE/MIXTURE AND OF THE COMPANY/UNDERTAKING 1.1. Product identifier Product name 1.2.
COSMETIC PRODUCT SAFETY REPORT
1 Antigonis str 14451 Metamorfosis, Athens, Greece Tel : +30-210-2934745 e-mail : [email protected] Fax : +30-210-2934606 web : www.qacs.gr COSMETIC PRODUCT SAFETY REPORT According to EC Regulation 1223/2009
The Management of Pharmaceuticals in the Environment (PIE) FAQ. Key questions and answers. Q: How do pharmaceuticals get into the environment?
The Management of Pharmaceuticals in the Environment (PIE) FAQ Key questions and answers Q: How do pharmaceuticals get into the environment? A: Like many foods and supplements that are consumed by humans
Material Safety Data Sheet
Material Safety Data Sheet Regulation (EC) No 1907/2006 Version 3.0 Revision Date 01/09/2014 Date 13.03.2015 1. IDENTIFICATION OF THE MIXTURE AND COMPANY IDENTIFICATION 1.1 Product Tags Product Name: MetZyme
Contact dermatitis and the effect of fragrance allergy. Vicki Ayliffe
Contact dermatitis and the effect of fragrance allergy Vicki Ayliffe Fragrance materials are among the most common causes of allergic contact dermatitis in the UK and the most common cause of cosmetic
SAFETY DATA SHEET. according to 1907/2006/EC, Article 31. Zenith 6E Glass & Stainless Steel Cleaner (070200, 072600)
SAFETY DATA SHEET according to 1907/2006/EC, Article 31 Page 1/6 date SECTION 1: Identification of the substance/mixture and of the company/undertaking 1.1. Product identifier Product name Product code
Health and Safety Guidance
Health and Safety Guidance Guidance on the Classification, Labelling and Packaging (CLP) Regulations GUIDANCE/29/CLP/11 This guidance is aimed at those handling hazardous chemicals; from single substances
Properties criteria - BETA
Properties criteria - BETA - according to Regulation (EC) No. 1272/2008 VALID FROM 01/06/2015 Introduction The BETA register is a part of the BASTA system. Products that are registered in the BETA register
INFORMATION FOR OBSERVERS. Project: Compliance Costs for REACH (Agenda Paper 3)
30 Cannon Street, London EC4M 6XH, United Kingdom Tel: +44 (0)20 7246 6410 Fax: +44 (0)20 7246 6411 E-mail: [email protected] Website: www.iasb.org International Accounting Standards Board This observer note
The Globally Harmonised System and Chemical Regulation: Challenges for the Cleaning Industry. Background of the new legislation
The Globally Harmonised System and Chemical Regulation: Challenges for the Cleaning Industry Background of the new legislation The Globally Harmonized System of Classification seeks to protect people and
: Henko all weather comp B
Revision date: 5-03-2014 : Version: 01.11 SECTION 1: Identification of the substance/mixture and of the company/undertaking 1.1. Product identifier Chemical type Trade name : Mixture Product code : 7236
Respecting and restoring the goodness of nature
Respecting and restoring the goodness of nature Respecting and restoring the goodness of nature. (Aloe vera) (Néroli) (Lamium album) Simplicity, authenticity and happiness are the key elements in the creation
SAFETY DATA SHEET. according to 1907/2006/EC, Article 31. Zenith 6B Toilet Cleaner (072200)
SAFETY DATA SHEET according to 190/2006/EC, Article 31 Page 1/5 Zenith 6B Toilet Cleaner (02200) SECTION 1: Identification of the substance/mixture and of the company/undertaking 1.1. Product identifier
Information leaflet Printing Inks for Food Packaging
Page 1 of 8 Information leaflet Printing Inks for Food Packaging 1. Introduction Food packaging is printed to provide information to the final consumer in accordance with Directive 2000/13/EC relating
Product Code: VLB4236 310ml cartridges. Substance Name EC No. CAS No. % by Wt Hazard Symbols n Butylacetate 123 86 4 10 30 10.
1 Product and company identification Supplier: The Vapormatic Co Ltd PO Box 58, Kestrel Way Sowton Industrial Estate, Exeter, EX2 7NB, England Phone Number: 00 44 (0)1392 435461 Fax Number: 00 44 (0)1392
Compilation of safety data sheets
GUIDANCE IN A NUTSHELL Compilation of safety data sheets The document aims to explain in simple terms the main principles and obligations relating to the compilation and provision of safety data sheets
SAFETY DATA SHEET RINSE AID
SAFETY DATA SHEET SECTION 1: Identification of the substance/mixture and of the company/undertaking 1.1. Product identifier Product name Product number Internal identification A031 EV Janitorial - Catering
SAFETY DATA SHEET. according to 1907/2006/EC, Article 31 CYTOFIXX (CYTOLOGICAL FIXATIVE)
SAFETY DATA SHEET according to 197/26/EC, Article 31 Page 1/5 SECTION 1: Identification of the substance/mixture and of the company/undertaking 1.1. Product identifier Product name 1.3. Details of the
: FAIRY ORIGINAL DISHWASHER TABLETS
PROFESSIONAL FAIRY ORIGINAL DISHWASHER TABLETS Date of issue: 25/11/2011 Revision date: Version: 1.0 SECTION 1: Identification of the substance/mixture and of the company/undertaking 1.1. Product identifier
Sodium Sulphite Anhydrous
Revision date 08-04-2016 1.1 Product identifier Sodium Sulphite Anhydrous Section 1: Identification of the substance/ mixture and of the company/ undertaking. Product name Other names Sodium Sulphite Anhydrous
Authorisation and Restriction Newsletter
Authorisation and Restriction Newsletter August 2010, N 1 The information contained in this document is intended for guidance only and whilst the information is provided in utmost good faith and has been
SAFETY DATA SHEET CLEENOL LIFT PEACH ORCHARD AIR FRESHENER
Revision Date 30/03/2011 Revision 2 Supersedes date 18/06/2010 SAFETY DATA SHEET CLEENOL LIFT PEACH ORCHARD AIR FRESHENER SECTION 1: IDENTIFICATION OF THE SUBSTANCE/MIXTURE AND OF THE COMPANY/UNDERTAKING
St Elizabeth Seton. Scent Free
St Elizabeth Seton Scent Free Mr Argent and Mrs Falls April 2016 EDMONTON CATHOLIC SCHOOLS ARE SCENT FREE St Elizabeth Seton Scent Free Edmonton Catholic Schools adopted a Scent Awareness Policy in January
SAFETY DATA SHEET ELEGANCE R.T.U.
SAFETY DATA SHEET SECTION 1: Identification of the substance/mixture and of the company/undertaking 1.1. Product identifier Product name Product number Internal identification A089 EV Janitorial - Washroom
SAFETY DATA SHEET CEMENTONE CEMENT RAPID SET
Revision Date July 2014 1 / 6 SAFETY DATA SHEET CEMENTONE CEMENT RAPID SET According to Regulation (EC) No 1907/2006 SECTION 1: IDENTIFICATION OF THE SUBSTANCE/MIXTURE AND OF THE COMPANY/UNDERTAKING 1.1.
DIAMOND POWDER - MICRON
SAFETY DATA SHEET REVISION: 08/28/2015 DIAMOND POWDER - MICRON 1. PRODUCT & COMPANY INFORMATION 1.1 PRODUCT IDENTIFIER(S) PRODUCT NAME: DIAMOND POWDER - MICRON MICRON 5 CARAT PART # 100 CARAT PART# MICRON
2,2,2 trifluoroethanol
GPS Safety Summary 2,2,2 trifluoroethanol Chemical Identity Brand names 2,2,2 trifluoroethanol CAS number 75 89 8 Chemical name (IUPAC) 2,2,2 trifluoroethanol Molecular formula CF 3 CH 2 OH Synonyms TFE;
Creation Date: 20.07.1999 Revision Date: 11.08.2009 Page: 1 of 7
Creation Date: 20.07.1999 Revision Date: 11.08.2009 Page: 1 of 7 1. Identification of Products Product Name: Guardex Chlor-Out Product Code: 20 35 568 010 Chemical Name: Sodium Sulphite Distributed by:
MATERIAL SAFETY DATA SHEET Page 1 of 5
Page 1 of 5 SECTION 1. PRODUCT AND COMPANY IDENTIFICATION TRADE NAME: MANUFACTURER S NAME: Zotos International Inc. EMERGENCY #: (800) 584-8038 - 24 hours ADDRESS (NUMBER, STREET, CITY, STATE, & ZIP CODE):
Table 1. Common esters used for flavors and fragrances
ESTERS An Introduction to rganic hemistry Reactions 2012, 2006, 1990, 1982 by David A. Katz. All rights reserved. Reproduction permitted for educationa use provided original copyright is included. In contrast
Synthesis of Aspirin and Oil of Wintergreen
Austin Peay State University Department of hemistry hem 1121 autions Purpose Introduction Acetic Anhydride corrosive and a lachrymator all transfers should be done in the vented fume hood Methanol, Ethanol
Globally Harmonized System Pictogram Reference Table
The following summarizes new label elements per the GHS classification guidelines. Each summary describes the previous label element compared to the new, and may include examples of the new elements. The
Having regard to the Treaty establishing the European Economic Community, and in particular Article 100 thereof;
DIRECTIVE 65/65/EEC Council Directive 65/65/EEC of 26 January 1965 on the approximation of provisions laid down by law, regulation or administrative action relating to medicinal products (OJ L No 22 of
Safety Data Sheet Avesta Neutralization Agent 502
Safety Data Sheet Avesta Neutralization Agent 502 This Safety Data Sheet contains information to help users understand the potential hazards relating to this product and provides advice for risk management.
Product Selection Fragrance and Flavor
Fragrance and Flavor Fragrance and Flavor 01F25 Alpha Terpinene P&F 1,3-Cyclohexadiene, 1-Methyl-4-(1- (F) 3558 (FL) 01.019 (C) 99-86-5 (E) 202-795-1 90% Min Used in a wide variety of flavor and fragrance
AIJN Guideline for Vegetable Juices and Nectars
AIJN Guideline for Vegetable Juices and Nectars 1. INTRODUCTION This guideline is applicable without prejudice to the national legislation of each Member State and/or Code of Practice and cannot be used
