downstream registration shaw

To facilitate this process, you can provide your suppliers with generic exposure scenarios that you or your sector organisation have generated and provide to customers, and request that your supplier covers them. While there is no cable TV service in your area, you can still sign up for satellite TV. Welcome to the ECHA website. Downstream users (DU) have 12 months to fulfil their duties related to the exposure scenario (ES) attached to a safety data sheet (SDS). If, for example, they come in contact with the chemical by transferring or diluting it, they are downstream users. Alternatively, a DU can use a substance for the purpose of PPORD under his own responsibility and initiative. Downstream users have to provide all the information as required by Article 38 of the REACH Regulation.Section 1.3 of IUCLID is where you provide the supplier's registration number for the substance, as required by Article 38(2)(b). A downstream user report is a report by a DU to ECHA when: A downstream user can make a testing proposal. Look around and discover what we can do for you. Biocidal Products Committee opinions on active substance approval, National authorisation and mutual recognition, Understanding the Waste Framework Directive, Tools to prepare and submit SCIP notifications, List of substances subject to the POPs Regulation, Draft recommendation for inclusion in the Authorisation List and consultation, Submitted restrictions under consideration, Harmonised classification and labelling targeted consultations, Consultations on ECHA Executive Director’s requests, PACT - Public Activities Coordination Tool, Information on Candidate List substances in articles, Candidate List of substances of very high concern for Authorisation, Registry of restriction intentions until outcome, Registry of SVHC intentions until outcome, Table of harmonised entries in Annex VI to CLP, Occupational exposure limits - Activity list, Harmonised classification and labelling (RAC),, How to prepare a downstream user chemical safety report, How downstream users can handle exposure scenarios,, How to prepare a classification and labelling notification, How to prepare registration and PPORD dossier,, Applications for authorisation consultations, Harmonised classification and labelling consultations, ECHA Executive Director’s requests related to the CLH process, Consultation on potential candidates for substitution, Consultation on derogation to the exclusion criteria, ECHA's Executive Director Requests to the Committees, Consultation on a draft recommendation for amendment of Authorisation List entries, Consultations in the authorisation process, Occupational exposure limits - Call for comments and evidence, Occupational exposure limits - Previous calls for comments and evidence, Occupational exposure limits – Consultations on OEL recommendation, Derogations for the protection of cultural heritage, ECHA's current activities on restrictions, ECHA's completed activities on restriction, Information on Candidate List substances in articles table, Information from the Existing Substances Regulation (ESR), PBT/vPvB assessments under the previous EU chemicals legislation, Adopted opinions and previous consultations on applications for authorisation, Adopted opinions on restriction proposals, Mapping exercise – Plastic additives initiative, Occupational exposure limits substance evaluations, List of substances subject to POPs Regulation, Small and Medium-sized Enterprises (SMEs), Practical examples of chemical safety reports. Re-fillers: transfer substances or mixtures from one container to another, generally in the course of repackaging or rebranding. Manufacturers and importers of a substance on its own or in a mixture are encouraged to communicate with the downstream users or distributors of the substance with regard to whether and by when they intend to register the substance to enable the downstream user or distributor to seek alternative sources of supply if necessary. What is the Classification and Labelling Inventory?

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The POPs Regulation bans or severely restricts the production and use of persistent organic pollutants in the European Union. What are my downstream user obligations when my use is not covered by the eSDS? If a substance is subject to authorisation (Annex XIV): If a substance is subject to restrictions (Annex XVII): Suppliers must include information on authorisation and restriction in Section 15 of the safety data sheet or in other information provided in accordance with Article 32 of the REACH Regulation. For the majority of our customers, the Internet experience is unaffected by our traffic management policies and both upstream and downstream bandwidth will be available to ensure the full operation of any application. The Downstream Leadership Forum is the only place to connect with digital innovators, marketing strategists and tech decision-makers in today’s “new normal”. This is taken to refer to all of his suppliers. This is unique source of information on the chemicals manufactured and imported in Europe. Once the substance has been registered, there is an obligation for the supplier to communicate the registration number down the supply chain either in the safety data sheet according to Article 31 or, if applicable, according to Article 32 of REACH. Transporting activities (including loading and unloading) by transport companies are not "uses" under REACH. During such instances Shaw may deploy fair shaping of Internet traffic to provide an equal amount of bandwidth to all customers. If a downstream user uses the substance (as such or in a mixture) under conditions that are not communicated by the supplier in the extended safety data sheet (eSDS), or the use is not covered at all in the eSDS, they may choose one of the following options: If a downstream user holds information that puts into question the hazard or risk management information received from the supplier, they should communicate such information upstream to the supplier. However, if there is lengthy information, you can refer to your original report where the information is the same. Compared to that, the site-related activities before loading and after unloading will often be "uses" under REACH, which may need an exposure scenario and a chemicals safety assessment. What is the difference between a downstream user chemical safety report and a downstream user report? ECHA examines this proposal and decides on appropriate testing in accordance with Article 40 of REACH. How do I document that my suppliers have appointed an only representative? Downstream users can use substances, irrespectively of whether they have been registered or not. 340/2008 (Fee Regulation). Welcome to the ECHA website. This website uses cookies to ensure you get the best experience on our websites. If a safety data sheet (SDS) is required for your substance, you will continue to receive it. Producers of articles: incorporate substances or mixtures into or onto materials to form an article. We do provide services in your area. Please take the following steps: If the report was submitted using the webform, it is necessary to submit a new downstream user report. A tutorial is available on using the webform. The Waste Framework Directive aims to protect the environment and human health from the generation and management of waste and to improve efficient use of resources. you use the substance in total less than 1 tonne per year; or.

Can downstream users continue to use a substance, if it has not been registered? Downstream users are users of chemicals  under REACH and CLP. update to downstream channels that will not lock due to dBmv and SNR problems. This site is not fully supported in Internet Explorer 7 (and earlier versions). If as a downstream user you receive information from your customers intended for the purpose of making a use known, you should forward this information to the supplier up the supply chain or assess if the use is covered in the existing exposure scenario for the preparation and eventually carry out your own downstream user Chemical Safety Assessment (CSA). Find another supplier who can provide the substance with a safety data sheet and an exposure scenario covering your use.

When the downstream use takes place outside industrial sites (such as construction sites, office blocks, craft workshops) the term "widespread use by professional workers" is applied. Examples include textiles, industrial equipment, household appliances and vehicles (both components and finished goods). A DU, who is listed in a PPORD notification submitted by the manufacturer or importer as one of the customers, operates under the responsibility of his supplier and must respect any conditions set in accordance with Article 9(4) of REACH and/or communicated to him by his supplier. If you as a downstream user hold information that puts into question the hazard or risk management information received from a supplier, you should communicate this information to the supplier. If agreement is not reached, the Agency shall designate one of the parties to perform the test on behalf of all. Formulators: produce mixtures, which are usually supplied further downstream. Therefore, it is advised to follow the instructions included in the manual How to prepare a downstream user report.

Occupational exposure limit (OEL) values are derived within two legal frameworks that form an integral part of the EU’s mechanism for protecting the health of workers. Something went wrong and we couldn't check your service area.


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