New EU Chemicals Strategy Published Amid Concerns on EU-UK Policy

- Strengthen the principles of “no data, no market” and the “polluter-pays” under REACH, by requiring compliance of all registration dossiers and revoking the registration numbers in case of non-compliance;
- Target known areas of high risk of non-compliance, in particular online sales, imported articles, classification and labeling and restrictions;
- Extend the scope of action of the European Anti-Fraud Office for coordination and investigation, to tackle the circulation of illicit chemical products in the EU;
- Under the Market Surveillance Regulation (2019/1020), establish uniform conditions and frequency of checks for certain products where specific risks or serious breaches of applicable Union harmonization legislation have been continuously identified.
– A comprehensive knowledge base on chemicals. Here the European Commission asserts that “the EU is still lacking a comprehensive information base on all substances placed on the market and on their overall environmental footprint.” To counteract this, the Commission wishes to further develop the science-policy interface while taking specific actions that include:
- Extending the duty of registration under REACH to certain polymers of concern;
- Assessing how to best introduce information requirements under REACH on the overall environmental footprint of chemicals, including on emissions of greenhouse gases;
- Amending REACH information requirements to enable an effective identification of substances with critical hazard properties, including effects on the nervous and the immune systems; and
- Amending REACH information requirements to enable identification of all carcinogenic substances manufactured or imported in the EU, irrespective of the volume.
– Setting the example for the globally sound management of chemicals. Advocacy is probably the key word to characterize the European Commission’s thoughts on this: it wants to see existing international instruments better implemented while leading by example, for instance by ensuring that hazardous chemicals banned in the EU are not produced for export, including by amending relevant legislation as needed. Concerns of Industry Various trade associations at the pan-European and national levels have responded to the publication of the strategy, giving praise while also signaling concerns in press releases and other communications. Broadly, it would appear that the new compliance, enforcement and innovation proposals documented within the strategy are welcomed. This stands to reason: responsible, law-abiding businesses will always want a level playing field when it comes to regulation, also for those who flout the law to be caught and punished. Innovation is of perennial appeal, particularly when the financing is there to make R&D projects viable, and at scale. However, significant concerns have been voiced, particularly on the thorny subject of potential EU-UK regulatory divergence. Speaking as a witness at the European Parliament Environment Committee’s public hearing on “Prospects and perils for the environment, public health and food safety in the future EU-UK relationship” before the strategy went public, Cefic Director General Marco Mensink asserted that introducing more demanding EU chemicals regulation to coincide with the end of the Brexit transition period would mean “Brexit starts with different chemicals regulations, which is actually the worst scenario.” Looking ahead to 1 January 2021, Mensink foresees “two different systems on the day we start” unless the European Commission, in implementing its newly published strategy, “change the rules by first maybe cooperating with the UK so we keep the rules for as long as possible the same.” Outlook Regardless of ongoing EU-UK trade deal negotiations, the European Commission’s new chemicals strategy is here to stay and will see legislative revisions in, for example, REACH, CLP and GPSD, while the Sustainable Products Initiative looks set to be a vehicle for EU chemicals regulation in the years ahead too. This is all interesting and fairly clear-cut. What happens with UK REACH and Britain’s approach to chemicals management, including whether it is politic to run in accord with – or else depart from – the EU’s strategy is, however, a different matter. We wait and see. For further information, see:
- Chemicals Strategy for Sustainability Towards a Toxic-Free Environment
- Cefic Welcomes New Enforcement And Innovation Proposals In New Chemical Strategy For Sustainability But Warns ‘Missed Opportunity’ And Uncoordinated Approach Risk Undermining EU ‘Green Deal’ And Climate Goals
- ENVI Hearing: Prospects and Perils for the future EU-UK relationship
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