{"id":1278,"date":"2011-04-05T12:03:32","date_gmt":"2011-04-05T17:03:32","guid":{"rendered":"http:\/\/blogs.edf.org\/nanotechnology\/?p=1278"},"modified":"2024-02-12T11:01:13","modified_gmt":"2024-02-12T16:01:13","slug":"ripples-of-reach-chemicals-policy-changes-in-japan-turkey-and-south-korea","status":"publish","type":"post","link":"https:\/\/blogs.edf.org\/health\/2011\/04\/05\/ripples-of-reach-chemicals-policy-changes-in-japan-turkey-and-south-korea\/","title":{"rendered":"Ripples of REACH: Chemicals policy changes in Japan, Turkey and South Korea"},"content":{"rendered":"<p><em>Allison Tracy is a Chemicals Policy Fellow. <\/em><em>Richard Denison, Ph.D.<\/em><em>, is a Senior Scientist. <\/em><\/p>\n<p>The November 31<sup>st<\/sup> deadline for the first batch of registrations under REACH (the European Union\u2019s Regulation for <span style=\"text-decoration: underline\">R<\/span>egistration, <span style=\"text-decoration: underline\">E<\/span>valuation, <span style=\"text-decoration: underline\">A<\/span>uthorization and Restriction of <span style=\"text-decoration: underline\">Ch<\/span>emicals) may have passed, but life is far from dull on the international scene of chemicals policy.\u00a0 As discussed in a <a href=\"http:\/\/blogs.edf.org\/nanotechnology\/2011\/03\/21\/one-solid-step-for-reach-one-giant-leap-for-chemicals-policy\/\">previous post<\/a>, chemicals policy enhancements are ramping up across the globe, many of them mirroring the innovations introduced under REACH.<\/p>\n<p>In this post, we\u2019ll discuss significant advances in Japan, Turkey and South Korea that drive home the message that the ripples from REACH are ever-widening.\u00a0 <!--more--><\/p>\n<p><strong>Japan<\/strong><\/p>\n<p><a href=\"http:\/\/www.meti.go.jp\/policy\/chemical_management\/english\/files\/setsumeisiryou_eng.pdf\">Japan\u2019s enhanced system<\/a> for collecting hazard and use data, which came into full effect on April 1<sup>st<\/sup> of this year, improves the government\u2019s ability to determine the potential risks posed by both existing and new chemicals.\u00a0 The new system was mandated by the country\u2019s <a href=\"http:\/\/www.meti.go.jp\/policy\/chemical_management\/english\/files\/Act%20on%20CSCL_provisional.pdf\">Chemical Substances Control Law (CSCL)<\/a>, amended in 2009, which required companies to report hazard and use information for chemicals manufactured in or imported into Japan.\u00a0 The reporting threshold of one tonne (i.e., one metric ton or 2,200 lbs) per year per company is the same as the threshold under REACH, and is far lower than the <a href=\"http:\/\/www.epa.gov\/iur\/pubs\/guidance\/basic.html\">25,000 lbs per year per site threshold of the Inventory Update Reporting (IUR) rule<\/a> in the United States.<\/p>\n<p>Japanese authorities will use the new information to prioritize certain chemicals for risk assessment and request further exposure and hazard information from the companies that manufacture or import those substances.\u00a0 Chemicals found to be of highest concern will be virtually prohibited, with prior permission required to continue any specific uses \u2013 quite similar to REACH\u2019s authorization process.<\/p>\n<p><a href=\"http:\/\/www.meti.go.jp\/policy\/chemical_management\/english\/files\/setsumeisiryou_eng.pdf\">Guidance from Japan\u2019s Ministry of Economy, Trade and Industry<\/a> states that companies \u201care obliged to make utmost efforts to disclose information,\u201d but the law only requires companies to report information that is available to them, including unpublished data as well as new data as they become available.\u00a0 \u00a0(Additional detail and links to guidance documents are available in <a href=\"http:\/\/chemicalwatch.com\/6526\/japan-issues-guidance-on-changes-to-chemicals-control-law\">this article in <em>Chemical Watch<\/em><\/a> (subscription required).)<\/p>\n<p>Japan will require annual reporting, which, if production and import in Japan are anything like they are in the U.S., will be essential to capture the <a href=\"http:\/\/www.regulations.gov\/#!documentDetail;D=EPA-HQ-OPPT-2009-0187-0069\">substantial year-to-year fluctuation<\/a> in chemical manufacture.\u00a0 In this regard, REACH takes a different tact by requiring registrants to update their registrations whenever there is a significant change in a chemical\u2019s status or when the next highest production volume tier in its four-tier system is reached.\u00a0 In contrast, <a href=\"http:\/\/www.epa.gov\/iur\/pubs\/guidance\/basic.html\">the current IUR<\/a> requires reporting only once every five years, and then only for a single year\u2019s production.<\/p>\n<p>Fortunately, the U.S. EPA is in the process of amending the IUR to require more frequent reporting and to lower the reporting threshold for at least certain chemicals; the <a href=\"http:\/\/www.reginfo.gov\/public\/do\/eAgendaViewRule?pubId=201010&amp;RIN=2070-AJ43\">final rule is pending approval by the White House Office of Management and Budget (OMB)<\/a>, and will hopefully be released very soon for use in this year\u2019s reporting cycle.<\/p>\n<p><strong>Turkey<\/strong><\/p>\n<p>Turkey\u2019s \u201c<a href=\"http:\/\/www.crad.com.tr\/en\/reach.php?id=mevzuatlar\"> Regulation on the Inventory and Control of Chemicals<\/a>,\u201d adopted in 2008, requires companies to submit information on existing chemicals manufactured or imported in quantities over one tone, the same as the threshold under REACH.\u00a0 It also requires notifications for new chemicals within nine months of their first manufacture or import.<\/p>\n<p>Companies have just submitted notifications for new and existing chemicals in response to a March 31<sup>st<\/sup> deadline.\u00a0 <a href=\"http:\/\/chemicalwatch.com\/7137\/firms-race-to-meet-turkish-notification-deadline\">Preliminary counts<\/a> reported in a <em>Chemical Watch<\/em> article (subscription required) show that roughly 2,000 companies submitted approximately 40,000 notifications.<\/p>\n<p><em>Chemical Watch<\/em> has published a comprehensive guide to the Turkish regulation that can be found <a href=\"http:\/\/chemicalwatch.com\/5975\/deadline-looms-for-turkish-notifications?q=Turkey\">here<\/a> (subscription required). \u00a0In brief, data are required to accompany notifications and vary depending on the tonnage band of the substance, as is the case under REACH, but with only two tonnage bands: \u00a01-1,000 tonnes\/year and over 1,000 tonnes\/year. \u00a0Each notification must include the uses, production volume, and classification and labeling of the substance.<\/p>\n<p>Notifications for substances in the higher tonnage band must also include intrinsic physical and chemical properties, environmental impact, and toxicity data.\u00a0 However, for these additional categories, companies need only submit data that already exist and are available through \u201creasonable efforts.\u201d \u00a0The Ministry of Environment and Forestry can request additional information after reviewing the submission. \u00a0<a href=\"http:\/\/chemicalwatch.com\/3312\">Another <em>Chemical Watch<\/em> article<\/a> (subscription required) indicates that additional regulations are in the pipeline that would add \u201cobligations to provide missing test data and information on use, exposure and risk management measures.\u201d<\/p>\n<p>According to a 2010 <a href=\"http:\/\/www.khlaw.com\/showpublication.aspx?Show=3928\">publication by Keller and Heckman LLP<\/a>, the regulation also requires updates to notifications in the case of certain changes in status, including new uses or safety-related information.\u00a0 <a href=\"http:\/\/www.khlaw.com\/showpublication.aspx?Show=3109\">Turkey has also mirrored REACH<\/a> by establishing a priority list to expedite assessment and management for certain substances.<\/p>\n<p>Turkey\u2019s regulation requires companies to substantiate all confidential business information (CBI) claims by proving that disclosure \u201cmight industrially or commercially harm\u201d the company. \u00a0The ministry is required to review all claims and approve only those that meet the standard. \u00a0The new regulation mandates publication of a list of the substances that exceed the 1,000 tonnes per year threshold.\u00a0 Notably, companies are not permitted to claim results of animal tests as CBI, in an effort to reduce animal testing.<\/p>\n<p>Most interestingly, Turkey indicated it launched its chemicals management program to avoid becoming a dumping ground for unsafe chemicals.\u00a0 <a href=\"http:\/\/chemicalwatch.com\/3312\">According to <em>Chemical Watch<\/em> (subscription required)<\/a>:\u00a0 \u201cThe Turkish government is aware that the introduction of new restrictions on the use of certain substances in the EU could result in companies adopting new marketing strategies and start exporting to Turkey instead. This would transfer the same hazards there unless similar restrictions are imposed.\u201d<\/p>\n<p><strong>South Korea<\/strong><\/p>\n<p>In February of 2011, the South Korean Ministry of the Environment released a draft of the \u201cAct on the Registration and Evaluation of Chemicals\u201d that would revise the South Korean <a href=\"http:\/\/eng.me.go.kr\/board.do?method=view&amp;docSeq=111&amp;bbsCode=law_law_law\">Toxic Chemicals Control Act<\/a>.\u00a0 The proposed legislation would regulate both existing and new chemicals.\u00a0 <em>Chemical Watch<\/em>\u2019s summary of the draft Act can be found <a href=\"http:\/\/chemicalwatch.com\/issue\">here<\/a> (subscription required), and a summary by Keller and Heckman LLP is <a href=\"http:\/\/www.khlaw.com\/showpublication.aspx?Show=4251\">here<\/a>.<\/p>\n<p>The initial step of the registration process requires companies to submit production volume information to the government, which then uses the information to prioritize certain chemicals.\u00a0 During registration, manufacturers and importers must identify their chemical as belonging to one of seven categories in order to continue using the chemical. \u00a0Submissions for chemicals produced above 100 tonnes\/year, the higher of two tonnage bands, must include risk assessment information.<\/p>\n<p>South Korea further incorporates the approach of REACH by including an \u201cevaluation\u201d process.\u00a0 Evaluation includes hazard evaluation by the government and approved laboratories and may lead to a risk assessment.\u00a0 Companies may be asked to submit more data for both steps.\u00a0 Evaluation may ultimately lead to prioritization for authorization, restriction or prohibition.<\/p>\n<p>In regards to these latter steps, South Korea departs slightly from REACH by allowing the Ministry to unilaterally designate a chemical as a candidate for authorization.\u00a0 Such chemicals include Carcinogenic, Mutagenic or Reproductive toxicants (CMRs), very persistent or very bioaccumulative chemicals (vPs or vBs), or chemicals that may cause \u201cequivalent concern\u201d (PBTs appear not to be separately delineated).\u00a0 These criteria are virtually the same used to identify chemicals for REACH\u2019s Candidate list, and Korea\u2019s resulting list is required to be published as well.\u00a0 Restriction or prohibition proceeds from a determination that a substance poses a serious risk to human health or the environment, according to either South Korea or an international body.<\/p>\n<p><strong>What does this all boil down to?<\/strong><\/p>\n<p>It\u2019s looking like more and more of the globe is falling under coverage of REACH-like policies, with the notable exception, of course, of the U.S.\u00a0 And two major drivers appear to be at play:\u00a0 First, the desire of other governments to enhance the protections afforded their people in a manner that reflects and is harmonized with the \u201cbest practices\u201d emerging from the EU.\u00a0 And second, a fear that, if they don\u2019t do so, they may well become the recipient of chemicals and chemical products that can\u2019t be sold elsewhere because they don\u2019t meet increasingly global chemical safety standards.<\/p>\n<p>Meanwhile, here at home, Nero continues to fiddle.<\/p>\n","protected":false},"excerpt":{"rendered":"<p>Allison Tracy is a Chemicals Policy Fellow. Richard Denison, Ph.D., is a Senior Scientist. The November 31st deadline for the first batch of registrations under REACH (the European Union\u2019s Regulation for Registration, Evaluation, Authorization and Restriction of Chemicals) may have passed, but life is far from dull on the international scene of chemicals policy.\u00a0 As &#8230;<\/p>\n","protected":false},"author":5106,"featured_media":0,"comment_status":"open","ping_status":"closed","sticky":false,"template":"","format":"standard","meta":{"_acf_changed":false,"footnotes":""},"categories":[44,109],"tags":[5016,39155,39153,446,39166,39190,39172,39156,39202,39203],"coauthors":[],"class_list":["post-1278","post","type-post","status-publish","format-standard","hentry","category-policy","category-international","tag-carcinogenic-mutagenic-or-toxic-for-reproduction-cmr","tag-cbi","tag-data-requirements","tag-reach","tag-iurcdr","tag-japan","tag-office-of-management-and-budget-omb","tag-persistant-bioaccumulative-and-toxic-pbt","tag-s-korea","tag-turkey"],"acf":[],"aioseo_notices":[],"_links":{"self":[{"href":"https:\/\/blogs.edf.org\/health\/wp-json\/wp\/v2\/posts\/1278","targetHints":{"allow":["GET"]}}],"collection":[{"href":"https:\/\/blogs.edf.org\/health\/wp-json\/wp\/v2\/posts"}],"about":[{"href":"https:\/\/blogs.edf.org\/health\/wp-json\/wp\/v2\/types\/post"}],"author":[{"embeddable":true,"href":"https:\/\/blogs.edf.org\/health\/wp-json\/wp\/v2\/users\/5106"}],"replies":[{"embeddable":true,"href":"https:\/\/blogs.edf.org\/health\/wp-json\/wp\/v2\/comments?post=1278"}],"version-history":[{"count":1,"href":"https:\/\/blogs.edf.org\/health\/wp-json\/wp\/v2\/posts\/1278\/revisions"}],"predecessor-version":[{"id":12625,"href":"https:\/\/blogs.edf.org\/health\/wp-json\/wp\/v2\/posts\/1278\/revisions\/12625"}],"wp:attachment":[{"href":"https:\/\/blogs.edf.org\/health\/wp-json\/wp\/v2\/media?parent=1278"}],"wp:term":[{"taxonomy":"category","embeddable":true,"href":"https:\/\/blogs.edf.org\/health\/wp-json\/wp\/v2\/categories?post=1278"},{"taxonomy":"post_tag","embeddable":true,"href":"https:\/\/blogs.edf.org\/health\/wp-json\/wp\/v2\/tags?post=1278"},{"taxonomy":"author","embeddable":true,"href":"https:\/\/blogs.edf.org\/health\/wp-json\/wp\/v2\/coauthors?post=1278"}],"curies":[{"name":"wp","href":"https:\/\/api.w.org\/{rel}","templated":true}]}}