EURegulatory Compliance: Challenges and Solutions, EU CLP Regulation Overview.



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EURegulatory Compliance: Challenges and Solutions, EU CLP Regulation Overview. Chris Sowden 3E Company

3E Company Provider of EH&S compliance and risk information management solutions Global EH&S domain knowledgebase Professional EH&S expertise Rich content across multiple databases Unique EH&S business rules and best practices Service provider offering: Broadest range of services Delivered in multiple formats and platforms That meet the unique needs of our diverse customer base of more than 7,000 customers across 75,000 global locations 24-7 365 Global capabilities and presence

Chris Sowden Sr. MSDS Author Consultant Product Classification and Labelling MSDS Authoring Project Manager Education: BSc (hons) Chemistry, University of Bristol. 13 years experience in chemical product safety. With roles in the chemical manufacturing, hazardous waste and consulting sectors.

Presentation Overview Background to CLP regulations UN GHS Implementation of CLP in Europe Transition periods C&L notification requirements What? When? How? Impact on MSDS REACH Annex II regulation changes

Background to CLP European implementation of UN Globally Harmonized System of classification (GHS) Adopted in EU December 2008, came into force from January 2009 Regulation EC1272(2008) on Classification, labelling and packaging of substances and mixtures (CLP) Repeals directives 67/548/EEC (dangerous substances directive) and 1999/45/EC (dangerous preparations directive) Some amendments to Regulation EC1907/2006 (REACH)

Basic CLP requirements Companies Manufacturers, importers and downstream users to classify chemicals Suppliers of chemicals to label and package products before placing them on the EU market Manufacturers and importers to notify the European Chemicals Agency (ECHA) on the classification and labelling of each substance Regulator Establish and maintain a list of substances with mandatory (harmonized) classification and labeling Establish a classification and labeling inventory

Why Introduce GHS? Substance LD50 257mg/kg Pre GHS EU: Harmful US: Toxic Canada: Toxic Australia: Harmful New Zealand: Hazardous Japan: Toxic China: Not dangerous GHS Acute toxicity Toxic Hazard class 3

GHS Benefits Consistent underlying infrastructure which can be used to build national chemical safety programs. One system worldwide, therefore consistent and clear information for all who need to use it.

Global GHS Development GHS legislation or standards have been passed in: Asia Pacific: New Zealand (2001) Japan (2006) Korea (2008) Taiwan (2008) Singapore (2008) Vietnam (2008) China (2009) Indonesia (2009) Europe EU (2008) Serbia (2009) Russia (2009) Middle East & Africa South Africa (2008) Abu Dhabi (2009) Americas Brazil (2009) Uruguay (2009) Transportation - SOLAS (International Convention for the Safety of Life at Sea) (2009) But there will always be transition periods from the old system

Global GHS Development/cont Draft regulations on GHS published: USA Australia Malaysia India Preparation activities Canada GHS compliant SDS accepted with reference to WHMIS MERCOSUR countries (Argentina, Brazil, Paraguay, Uruguay) SDS standards ANDEAN Community (Bolivia, Colombia, Ecuador and Peru, Ecuador) National Plan, capacity building Croatia, Turkey Philippines Thailand UNITAR/ILO Global GHS Capacity Building Programme: Cambodia, Gambia, Laos, Nigeria, Senegal, Zambia

Comparison of CLP Classification to GHS CLP adopts GHS format for data interpretation and labeling GHS building block approach allows for selection of appropriate hazard classes and categories only CLP has not included the GHS categories Flammable liquids category 4 Skin corrosion irritation category 3 Acute toxicity category 5 Aspiration hazards category 2 Acute aquatic toxicity category 2 and 3 Retains consistency with existing EU classification systems

Comparison of CLP Classification to GHS GHS also allows for national cut off levels to be selected from 2 options for the following classifications Respiratory or skin sensitiser CLP selects 1% cut off solid liquid, 0.2% gas -for classification Carcinogenicity Category 1, CLP selects 0.1% cut off Category 2, CLP selects 1.0% cut off Reproductive toxicity Category 1, CLP selects 0.3% cut off Category 2, CLP selects 3.0% cut off Affects on or via lactation, CLP selects 0.3% cut off

Comparison of CLP Classification to GHS Specific target organ toxicity (Single exposure) CLP selects 10% cut off option Specific target organ toxicity (Repeated exposure) CLP selects 10% cut off option

Comparison of GHS label to CLP Label requirements follow those of UN GHS Supplemental Information Annex II, 1.1 and 1.2 phrases eg. EUH014 Reacts violently with water, EUH201A Warning! Contains lead Supplemental hazard statements assigned in AnnexVI If classified for ozone depletion Signal word, H and P statements Biocidal proucts(91/414/eec) additional phrase required Label info required by other regulations Other relevant information from the supplier

CLP implementation -Timings Regulation came into force January 2009, including transition periods for implementation Separate timelines for substances and mixtures Substances Classification: Must be classified according to CLP by December 1 st 2010 Labelling: Labels to reflect CLP classification by December 1 st 2010 Existing product eg. already in a distribution warehouse, have an additional 2 years before CLP labels must be used Safety Data Sheet:Must use CLP classification from December 1 st 2010 Until June 1 st 2015 sections 2 and 3 to show both old and new classifications

CLP Implementation -Timings Mixtures Classification: Must be classified according to CLP by June 1 st 2015 Labelling:Labels to reflect CLP classification by June 1 st 2015 Again existing products have additional 2 years before CLP labels must be present SDS: Must show CLP information from June 1 st 2015 If product classified and labelled according to CLP before June 1 st 2015 Sections 2 and 3 must show classification from both systems (CLP and DPD) CLP classification can be shown on the SDS before 2015 even if label reflects old (DPD) classification

Notification of CLP Classification Where does the requirement come from? CLP Title V Harmonisation of classification and labelling of substances and the classification and labelling inventory Chapter 2, Articles 39 42 Which substances have to be notified? Substances subject to registration under REACH (both hazardous and non-hazardous) All substances that are considered hazardous according to CLP regulation Note: no tonnage threshold! Hazardous polymers Certain product types covered in other regulations eg. cosmetics, medicines fall out of scope of CLP regulations Notification not required if REACH registration completed

C&L Notification Scope Who has to register? Manufacturer Importer Group of manufacturers or importers Consortia SIEF s No impact on downstream users, distributors. Articles not included

C&L Notification Scope What information has to be registered? Identification of the notifier Identification of the substance CLP classification of the substance Where substance is classified in some but not all hazard classes, an indication of why. Lack of data, inconclusive data, data proves that no classification is required Specific concentration limits or M factors Label information

C&L Notification Scope When does notification have to take place? Substances placed on the market on or after December 1 st 2010 shall be notified within one month 1 st notification deadline for substances on the market on December 1 st was January 3 rd 2011 3.1 million notifications submitted covering 107,067 substances Update notification whenever there is a change to C&L

Notification Process Notification made to European Chemicals Agency (ECHA) through their REACH IT website Tools for preparing data for submission IUCLID 5.2 CLP C&L data can be entered into IUCLID 5.2 then submitted to ECHA Information for each substance submitted separately XML files Enables bulk transfer of data (more than one substance) On-line notification Aimed at those notifying a small number of substances and not using IUCLID Option for SME s No charge from ECHA for C&L notification

C&L Inventory CLP regulation Article 42 ECHA will produce a database of C&L information including: Classification and label data Indication whether classification is harmonised Indication when classification has been agreed by more than one supplier Database will be publically available Database will be updated when new C&L information is received

Amending the MSDS SDS need to adjust from showing DSD/DPD classifications to CLP Classification New Annex II describes process Different timelines for substances and mixtures Main challenge in sections 2 Hazards Identification and 3 Composition/Information on Ingredients

SDS -in transition (1) The SDS follows the label Deadline - Additional 2 years if the product is already on the market The Safety Data Sheet until 1 December 2010 until 1 June 2015 until 1 June 2015 from 1 June 2015 shall contain the classification of a substance according to DSD. However, if a substance is already classified, labelled and packaged according to CLP, the Safety Data Sheet for the substance shall also contain the CLP classification of the substance. shall contain the classification of a substance according to DSD. After 1 December 2010 the CLP classification shall also be provided. shall contain the classification of a mixture according to DPD. However, if a mixture is already classified, labelled and packaged according to CLP, it shall also contain the CLP classification of the mixture. shall contain substance and mixture classifications according to CLP.

SDS in transition (2) Mixture: DPD label Until 1 June 2015 Section 2: DPD classification -mandatory Section 3: DSD classification for substances mandatory Also CLP if available Section 16: CLP classification optional Mixture: CLP label Until 1 June 2015 Section 2: DPD and CLP classifications mandatory Section 3: DSD and CLP classification for substances mandatory

SDS Major changes (1) Section 1: Supplier, national supplier, non-community manufacturer Registration number for pure substance Identified uses and uses advised against Operating hours for emergency call centers Section 2: Label elements Result of classification also if not classified Result of PBT and vpvb assessment

SDS Major changes (2) Section 3: Different structure for substances and mixture Declaration of PBT and vpvb substances Indication of OEL, PBT, vpvb substance if substance is not classified New thresholds limits for declaration for certain substances Section 4, 6, 8, 14: New sub-headings New contents for some sub-headings

SDS Major changes (3) Section 15: No label elements Reference to the Community legislation (restrictions, authorization) Reference to national legislation specified Reference to Chemical Safety Assessment Section 16: Indication of changes made if it is a revision Abbreviations used through SDS, including wording of R-phrases and H-statements Indication of classification method for mixture calculation or testing References

Extended SDS The addition of Exposure Scenario (ES) information from the REACH registration dossier to the SDS Impacts substances that are REACH registered, supplied at > 10Te per year and are hazardous For registering company, exposure scenarios must be included as an annex to the SDS Where exposure scenarios are received from suppliers for substances formulated into your own products these must either be annexed to the SDS, or the data be included in the standard 16 sections of the SDS

Extended SDS Exposure scenarios can be very long (over 80 pages per substance) Creates translation issues. Standard formats and phrasing has not been used in exposure scenarios Further guidance is expected imminently from ECHA / Industry Organizations. Many suppliers waiting for this before committing to process for dealing with ESDS

Thank you for your attention! Any questions? Chris Sowden csowden@3ecompany.com