Modular Solution for Cosmetics Compliance
Check the Conformity of your Formulas
Secure your regulatory documents for each zone
Optimize on-site risk management
Manage your Safety Data Sheets efficiently
Automate your regulatory monitoring
Ensure the traceability of your substances
Maintain good HSE risk management
Managing cosmetic regulatory data across the U.S., Canada, and Europe is no longer just a compliance issue. It is a data management challenge that directly impacts consistency, risk, and scalability for cosmetic brands.
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The draft regulation ends pre-Registration validity for phase-in substances by December 31, 2019, requiring an inquiry application for future registrations. From 2020, companies must use the previous year's market quantities for registration, and data-sharing remains encouraged.
Learn the definitions of cosmetics, drugs, and natural health products in Canada. Find out how to classify your product and register it with Health Canada. Discover the banned ingredients and requirements for Canadian cosmetic products.
Starting January 1st, 2020, companies must provide detailed information on nanoforms in substances' registration dossiers under REACH regulation. Despite new clauses, a precise definition for nanomaterials is still pending. The inclusion of nanomaterial clauses aims to enhance risk control, but some believe it falls short. For more on REACH Registration and nanomaterial provisions, read the full article.
Learn about the first manual check required by South Korean authorities for companies outside of Korea wishing to pre-register substances. Anticipate delays and ensure compliance to avoid fines or jail sentences.
Learn about the South-Korean OR certificate and K-REACH pre-Registration requirements. Avoid fines and imprisonment by pre-registering your substances in South Korea before 30th June 2019. Find out how to proceed and meet the deadlines for definitive registrations.
British companies with EU REACH Authorisations must obtain UK REACH Authorisations post-Brexit. They need to inform the HSE within 60 days and provide technical information. Downstream users must also notify HSE.