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Subject: Re: [DCHAS-L] A new home for C&EN in the ACS Publications Division

Date: Mar 3, 2023 16:34 UTC

Author: Robert Stevenson <RLSTEVEN**At_Symbol_Here**COMCAST.NET>

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Subject: Re: [DCHAS-L] Question about dirty snorkel

Date: Mar 3, 2023 18:35 UTC

Author: Richard Palluzi <000006c59248530b-dmarc-request**At_Symbol_Here**LISTS.PRINCETON.EDU>

From: Info <info**At_Symbol_Here**ILPI.COM>

Subject: Re: [DCHAS-L] Question about EU REACH intermediate end use registration

Date: Mar 3, 2023 16:49 UTC

Reply-To: ACS Division of Chemical Health and Safety <DCHAS-L**At_Symbol_Here**Princeton.EDU>

Message-ID: <414DD146-CDA9-4E48-BDFC-E21B568AA9F2**At_Symbol_Here**ilpi.com>

In-Reply-To: <PH0PR01MB610488911FF37D808FAE84BF90AC9**At_Symbol_Here**PH0PR01MB6104.prod.exchangelabs.com>

Demystify: 
Disclaimer: I am not an attorney and this is not legal advice.

REACH is an EU regulation. The European Union has no jurisdiction within the US any more than, say, China or Russia. You are correct, the PI is under no obligation to comply. However...

This is strictly a guess: If Fisher got the chemical from a European chemical producer and the EU regulations require that producer to document the end users, then the manufacturer may have contracturally required Fisher to document the end user. If the PI doesn’t want to sign it, that’s fine, but in this case Fisher wouldn’t be able to sell it to the PI and  be in compliance with their sales/purchase agreements.  So it’s not the regulations/regulators throwing this at you, but lawyers and contracts.

I would consider crafting a statement to the effect of “The end use of this chemical is within the United States of America and is not under the  jurisdiction of the European Union or REACH.” if you have an objection to signing the Fisher statement.  Or find a different supplier.

General info on REACH here: http://www.ilpi.com/msds/ref/reach.html 

Info on REACH user obligations: https://www.prc.cnrs.fr/reach/en/user_obligations.html 

Downstream users at ECHA: https://echa.europa.eu/regulations/reach/downstream-users  

Best wishes,

Rob Toreki


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On Feb 28, 2023, at 5:51 PM, Chung, Amanda <Amanda.Chung**At_Symbol_Here**UNT.EDU> wrote:

Hello All,
A PI had emailed me asking about information on the EU REACH intermediate end use registration that they had to sign in order to get a chemical delivered from Fischer. From the information I’ve seen online, I do not think EU REACH applies here in the US, but just wanted to make sure as I could not find information in regards to this for the US. The PI asked for protocols for EU REACH but we do not have this and I do not think they need any (beyond the already established laboratory protocols for handling the chemical). Any information and insight on this would be appreciated.  
 
Thank you,
Amanda
 
Amanda Chung, Ph.D. (she/her)
Chemical Hygiene Officer, Environmental, Health, and Safety
UNT Risk Management Services
940.565.4196
 
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