An unregistered substance may be sold and imported on the European market only until May 2018, the deadline for the REACH Registration.
Nonetheless, some manufacturers manage to find a loophole by deliberately limiting their annual tonnage, thereby exempting themselves from Registration.
To find out how to calculate your tonnage bands, do not hesitate to consult our article.
If you create a new substance after 31 May 2018, you will have to start an Inquiry process with ECHA.
The latter states that "Companies planning to register a non-phase-in (new) substance or phase-in (existing) substance that has not been pre-registered, have a duty to inquire with ECHA whether a registration has already been submitted for that substance".
Your Inquiry dossier should contain specific and detailed information on the substance in question - such as the identity of the registrant and the identity of the substance as well as its analytical data.
Once your Inquiry dossier has been submitted, ECHA has 20 working days to give you an answer.
For more information on Inquiry, read our article on the subject.
In this case, you may be eligible for a REACH registration exemption.
As indicated by ECHA, "Substances used above one tonne a year for product and process orientated research and development (PPORD) can also be exempted from the obligation to register for a period of five years. To benefit from this exemption, a PPORD notification must be submitted to ECHA."
More information on the PPORD exemption, available here.
An unregistered substance may be sold and imported on the European market only until May 2018, the deadline for the REACH Registration.
Nonetheless, some manufacturers manage to find a loophole by deliberately limiting their annual tonnage, thereby exempting themselves from Registration.
To find out how to calculate your tonnage bands, do not hesitate to consult our article.
If you create a new substance after 31 May 2018, you will have to start an Inquiry process with ECHA.
The latter states that "Companies planning to register a non-phase-in (new) substance or phase-in (existing) substance that has not been pre-registered, have a duty to inquire with ECHA whether a registration has already been submitted for that substance".
Your Inquiry dossier should contain specific and detailed information on the substance in question - such as the identity of the registrant and the identity of the substance as well as its analytical data.
Once your Inquiry dossier has been submitted, ECHA has 20 working days to give you an answer.
For more information on Inquiry, read our article on the subject.
In this case, you may be eligible for a REACH registration exemption.
As indicated by ECHA, "Substances used above one tonne a year for product and process orientated research and development (PPORD) can also be exempted from the obligation to register for a period of five years. To benefit from this exemption, a PPORD notification must be submitted to ECHA."
More information on the PPORD exemption, available here.