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READY FOR REACH ?
2007 through 2010 will be key strategic years for all companies that are producing, importing and using chemicals in the EU. The implementation of the high-impact legislation REACH (and in parallel GHS) requires companies to prepare for and manage a huge number of internally and externally focused activities. These range from raw material and chemical products review, data and testing gap analysis, current and future classification & labelling, identification of all uses of a substance, up to the proceeding of the strategic planning.
The latter includes identifying opportunities for exemption from REACH, obtaining derogations from testing due to low concern or exposure, or justifying chemical groupings and read-across strategies for specific environmental behaviour, exposure scenarios or toxicological endpoints and to develop an efficient strategic consortium approach. Moreover, pre-registration and registration is required and the completion of Chemical Safety Assessments and Reports.

We, as CHEMSERVICE, provide our clients with strategic and technical support to be READY for REACH! Our portfolio includes:

Strategic & Technical Support
Strategic Consulting for better Decision-Making
Review of product portfolio
Exemption and authorisation determination
Regulatory status assessment of substances, preparations and articles

Data gap assessment and evaluation of possible cost for registration

Testing strategy proposals - tailor made to optimize costs

Placing and monitoring of studies

Reviewing test reports to check for conformance with relevant guidelines

Pre-registration and Registration

Dossier preparation
Compilation of CSRs and SDSs

Exposure assessment

PBT/vPvB evaluation

Support on Authorization

Only Representative Service -
your legal representation in the EU
We act for manufacturers outside the EU as ‘Only Representative’ and cover fully the registration and pre-registration obligations and act as importer.

The importers of that non-EU manufacturer would have no longer duties as importers but will be regarded as downstream users, and only one registration would need to be made by the ‘Only Representative[PDF].

We act as well as “Only Representative” for Non-EU manufacturers of articles [PDF], which intentionally release substances or include substances of very high concern.

We can act as well for you as Third Party Representative (of a Community Entity) according to REACH Article 4. Any manufacturer, importer, or where relevant downstream user, may, whilst retaining full responsibility for complying with his obligations under this Regulation, appoint a third party representative for all proceedings under Article 11, Article 19, Title III and Article 53 involving discussions with other manufacturers, importers, or where relevant downstream users. In these cases, the identity of a manufacturer or importer or downstream user who has appointed a representative shall not normally be disclosed by the Agency to other manufacturers, importers, or, where relevant, downstream users.

Furthermore, we can operate on your behalf IUCLID 5 and conduct all data entry and data management.

CHEMSERVICE S.A.
51, Route de Mondorf
L-5552 Remich, Luxemburg
Tel.: +352-2666-4923
Fax: +352-2666-4924