Opened 2 years ago
Closed 23 months ago
#29 closed enhancement (fixed)
New category Reported 10kg
Reported by: | Mike Dewhirst | Owned by: | Mike Dewhirst |
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Priority: | medium | Version: | 1.x |
Keywords: | 10kg reported rules | Cc: |
Description (last modified by )
AICIS published new rules in late November for a Reported category for chemicals with an annual volume of 10kg or less.
The main effect is relaxation of the rigour surrounding provision of information; low volume being recognised as reducing absolute risk.
The chemical does need to be categorised as Reported 10kg.
Some extra characteristics are declared such as not containing Fluorine or being an inorganic salt and not being on the banned or restricted EU or USA lists of cosmetic ingredient lists.
These will give rise to specific tickets here.
This ticket will remain open as a summary of the changes until all work is done. Further study will result in edits hereto.
Change History (4)
comment:2 by , 2 years ago
Description: | modified (diff) |
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comment:3 by , 2 years ago
Description: | modified (diff) |
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Owner: | set to |
Status: | assigned → accepted |
comment:4 by , 23 months ago
Resolution: | → fixed |
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Status: | accepted → closed |
All sub-tickets of this ticket are now closed and so this ticket is now complete.
REPORTED10KG
Subsection 27(6) (new subsection relaxes rigour by using the word "known")
The word "known" implies that the person introducing the chemical would say so if the characteristic of interest to AICIS was known to pertain.
For example, if the software did not independently detect mutagenicity, carcinogenicity or reprotoxicity then it can be accepted as not known by the introducer to be so. This is because the user can add such hazards and the software would thereby "know" such a characteristic exists.
Program flow
There is no difference in categorisation program flow because the new rules start with the Reported category.
At that point, if the total volume is <= 10kg auto-categorisation as REPORTED10KG should commence.
For REPORTED10KG category, the software must ensure:
and
and
and
Section 42A (relaxes rigour by using the word "reasonably")
Identification is identical with all other introductions. The difference is relaxed rigour in providing it - or not if "reasonably practicable" to find out only when asked.
Section 46 - record keeping
We only need a useful link pointing to the AICIS record keeping checklist for REPORTED10KG.
Section 56A - specific records to retain
A relaxed rigour around the actual name of the chemical. The "known" names.
No relaxed rigour around the product names and chemical volumes introduced.
In summary, AICIS is not going to follow up on any of this unless something goes wrong.