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不朽情缘试玩网址app下载中心 澳门宝马线上娛乐城 澳门宝马线上娛乐城 澳门宝马线上娛乐城 澳门宝马线上娛乐城

澳门宝马线上娛乐城 requires all companies manufacturing or placing a substance on the 澳门宝马线上娛乐城 market in quantities greater than one tonne per year (1t/year) to register that substance with the European Chemicals Agency (ECHA). For legal reasons, only companies with a legal entity in Europe are allowed to submit a registration under 澳门宝马线上娛乐城. However, non-澳门宝马线上娛乐城 companies may submit a 澳门宝马线上娛乐城 registration by appointing an 澳门宝马线上娛乐城-based 澳门宝马线上娛乐城 澳门宝马线上娛乐城 (澳门宝马线上娛乐城) to register on their behalf, in which case their importers will be regarded as downstream users and do not need to carry out registrations.

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  • Relieve importers of their obligations to register and obtain continued market access in the 澳门宝马线上娛乐城 (many 澳门宝马线上娛乐城 importers will try to avoid registrations by purchasing 澳门宝马线上娛乐城-registered chemicals).
  • Avoid dependence on a single importer and keep market access should one 澳门宝马线上娛乐城 importer cease trading.
  • Gain advantages over other non-澳门宝马线上娛乐城 suppliers who do not appoint an 澳门宝马线上娛乐城 to register their substances.

Note: Importers will be exempt from 澳门宝马线上娛乐城 registration if their non-澳门宝马线上娛乐城 suppliers have registered. However, importers need to confirm with their suppliers' 澳门宝马线上娛乐城 that they are included in the inventory of importers and that their tonnage and uses are covered by the 澳门宝马线上娛乐城. This can be done by asking for a 澳门宝马线上娛乐城 Certificate of Compliance and Tonnage Coverage Certificate from the 澳门宝马线上娛乐城 of their suppliers before they put chemicals on the 澳门宝马线上娛乐城 market.

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An 澳门宝马线上娛乐城 must be an 澳门宝马线上娛乐城-based legal entity that has sufficient background in the practical handling of substances and the information related to them required by the 澳门宝马线上娛乐城 regulation Article 8(2). To be more specific, an 澳门宝马线上娛乐城 shall:

  • have the ability/expertise to understand and implement the responsibilities of an importer that 澳门宝马线上娛乐城s take on under the provisions of 澳门宝马线上娛乐城 (including pre-registration, registration, and authorization);
  • be capable of keeping an up-to-date list of 澳门宝马线上娛乐城 importers within the same supply chain of the non-澳门宝马线上娛乐城 manufacturer it represents;
  • have a record-keeping system with data on imported quantities and all uses covered; and
  • be capable of keeping the latest information on the supply of safety data sheets.

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In accordance with Article 8 of 澳门宝马线上娛乐城, the 澳门宝马线上娛乐城 takes on the obligations of importers under 澳门宝马线上娛乐城, in which case importers will be regarded as downstream users (thus do not need to register).

Those obligations include:

  • Maintaining pre-registration data (including company identity and annual tonnage) submitted to ECHA through 澳门宝马线上娛乐城-IT;
  • Represent your company in the SIEF/Consortium after pre-registration and keep you informed of the latest progress of the SIEF/Consortium;
  • Supply Safety Data Sheets (SDSs) or transmit SDSs along the supply chain and keep information on the supply of the latest update of the SDS;
  • Communicate with 澳门宝马线上娛乐城 importers and regulatory authorities and issue necessary documents to ensure 澳门宝马线上娛乐城 compliance;
  • Keep an up-to-date list on the inventory of importers and the tonnage covered for each of these importers and keep the above information for at least ten years and provide it to enforcement authorities upon request;
  • 澳门宝马线上娛乐城, notification, and authorization of substances (additional contract needed).

How to Change a 澳门宝马线上娛乐城 澳门宝马线上娛乐城?

Perhaps your existing 澳门宝马线上娛乐城 澳门宝马线上娛乐城 has not communicated SIEF/consortium information to you, has not recorded customers sold to and quantities imported, has not completed adequate supply chain communications, does not have the capability to complete a 澳门宝马线上娛乐城 registration, or charges you too much for their 澳门宝马线上娛乐城 service. If so, and if you are unsatisfied with your existing 澳门宝马线上娛乐城 or you wish to transfer from your existing 澳门宝马线上娛乐城, it is possible to appoint the CIRS Group as your new 澳门宝马线上娛乐城.

Non-澳门宝马线上娛乐城 companies have the right to change 澳门宝马线上娛乐城 if they are unsatisfied. If the non-澳门宝马线上娛乐城 manufacturer nominates a new 澳门宝马线上娛乐城, the newly appointed 澳门宝马线上娛乐城 can benefit from the pre-registration done by the previous 澳门宝马线上娛乐城 if ECHA is informed about the change. Normally the agreement shall be reached with the previous 澳门宝马线上娛乐城, new 澳门宝马线上娛乐城 and the non-澳门宝马线上娛乐城 company that the previous 澳门宝马线上娛乐城 agrees to terminate the 澳门宝马线上娛乐城 relationship and transfer all its liabilities and obligations under 澳门宝马线上娛乐城 to the new 澳门宝马线上娛乐城. The power of attorney between the new 澳门宝马线上娛乐城 and non-澳门宝马线上娛乐城 company shall be reached for 澳门宝马线上娛乐城 appointment, and the 澳门宝马线上娛乐城 transfer shall be done in 澳门宝马线上娛乐城-IT.

About the CIRS Group

The Chemical Inspection and Regulation Service (CIRS) Group is a leading product safety and chemical management consulting firm providing valued product regulatory compliance services, tailored solutions, and original information to help clients gain a competitive advantage by reducing business risks associated with regulatory affairs and removing barriers to entry. We have provided cost-effective regulatory support to over 3,000 companies while doing business in both the 澳门宝马线上娛乐城 and China. The CIRS Group is the largest 澳门宝马线上娛乐城 澳门宝马线上娛乐城 in the world.

Since 2007, we have:

  • pre-registered over 10,000 substances;
  • registered over 1,000 substances;
  • served as the lead registrant for over 100 substances;
  • prepared over 5,000 澳门宝马线上娛乐城 SDSs and classification, labelling and packaging (CLP) labels to date;
  • acted as the 澳门宝马线上娛乐城 for over 3,000 non-澳门宝马线上娛乐城 companies;
  • served clients in more than 25 countries;

The CIRS Group is a recommended service provider by China Inspection and Quarantine Bureau, the US Mission to the 澳门宝马线上娛乐城, and IDA. We are also a member of Helsinki 澳门宝马线上娛乐城 Centre.

Contact

CIRS Ireland (CIRS 澳门宝马线上娛乐城):

CIRS, Regus Harcourt Centre D02 HW77, Dublin, Ireland
Tel :+353 1 477 3710