REACHLaw delivers compliant chemical regulatory solutions to the major metals producing companies to helping them in their market position and overall business performance by meeting the regulatory market access requirements.
|Organisation name||Johnson Controls, Germany|
|Services offered||REACH & CLP Out-Tasking and Support Services|
Maintaining REACH & CLP Regulatory compliances is becoming increasingly time-consuming and demanding due to regulatory changes, new interpretations and constantly updating reporting software and IT solutions. Keeping up and maintaining an organisation to manage these is resource demanding and costly, without the possibility of optimization as most regulatory tasks are unique. This is the case with the chemical supplier, too many REACH & CLP compliance issues to follow and compliance tasks to maintain.
Although a unique issue for the chemical supplier, managing compliances is not unique for REACHLaw and this is why we offered the chemical supplier with a REACH & CLP Out-Tasking and Support Service that, amongst others, maintains dossier compliance and follows and alerts of regulatory changes affecting the products of the chemical supplier. The supplier is still in control of overall compliance but REACHLaw provides a service that takes care of the technical and special compliance tasks that need special competence which otherwise would be costly and resource demanding to maintain within the company. Problem solved!
|Organisation name||One of the leading mining and metallurgical companies in the world|
|Sector||Mining and metallurgical sector|
|Services offered||Compliance with Turkish chemicals regulations|
In the past few years Turkey has adopted new CLP and SDS Regulations (“SEA” and “GBF” respectively) imposing new obligations on the companies that are placing their chemicals on the local market. Under SEA the C&L notifications are to be completed by June 1, 2015. The GBF regulation requires companies to prepare compliant SDSs in Turkish language by a locally certified expert (a license is required) and submitted to the Turkish Ministry for substances by June 2015 and for mixtures by June 2016. Our Customer requested to provide all the required services to comply with new obligations relevant for a non-Turkish manufacturer.
REACHLaw has classified all Customer’s substances under SEA, prepared and submitted the notifications to the Turkish Ministry by the deadline. Since Customer is a non-Turkish manufacturer, REACHLaw subsidiary in Turkey was appointed as Legal Representative to complete the notifications. As required under GBF, a duly authorised REACHLaw specialist has prepared all Customer’s SDSs and certified them in the Section 16.
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