Some organizations have prioritized actions for the European Commission and EU member states to strengthen control of imports of both chemicals and commodities, including online marketplaces, and new restrictions are 100% enforceable. We have confirmed that and are calling for improved coordination and sharing of data between regulators and the private sector. The European Chemical Industry Council (Cefic) said in a press release that civil society can play a greater role in supporting enforcement measures.
There is ample evidence that the majority of goods containing banned or restricted chemicals are from outside the EU. This is a consumer safety issue as many of these products are purchased online by individuals. The cases of non-compliance reported through the EU’s “Safety Gate” are just the tip of the iceberg, and many more are often overlooked. Non-compliant products also reduce the competitiveness of producers and distributors in the EU who have invested millions of dollars in complying with EU Chemicals Act.
Enforcement of EU chemical safety and environmental legislation plays a central role in the implementation of the European Green Deal Agenda and Chemical Strategy for Sustainability. Execution is extremely important for the competitiveness of EU businesses. Products (articles, substances or mixtures) that do not comply with EU regulations must not enter the market.
Moreover, as long as banned chemicals enter the domestic market through non-compliant imports and then continue to enter the European recycling stream, the ambitious EU Circular Economy goals may not be met.
Ensuring the new limits means that enforcement authorities can check whether the representative samples contain restricted chemicals, harmonized and standardized control test methods, lab capabilities, budgets and It means that you need to have resources. Such a harmonious and standardized analytical method needs to be available before the restrictions are adopted. Otherwise, market observers and value chains will not be able to perform management checks. The chemical industry is ready to contribute to the development of such analytical methods.
In addition, more and more restrictions have such a wide range that it is difficult, if not impossible, to implement them. For example, future restrictions on skin sensitizers may impose checks on imported clothing for up to 1,000 different skin sensitizers, but market observers have the resources and capacity to do so. It is known that there is no. With the shift to a general approach to risk management announced in the Chemicals Strategy for Sustainability, future limitations may cover hundreds of substances in many different applications. This means that there is an urgent need for a new solution for checking compliance.
Proper enforcement of existing regulatory measures is equally important as it provides clarity and benefits the industry, especially SMEs. Enforcement efforts should also prioritize economic operators who already have a history of non-compliance. All mechanisms already in place can and should be used more efficiently to improve enforcement.
Creating a more efficient enforcement action toolkit will make a big difference between public health and the environment. Doubling enforcement will reassure those who comply with EU law and invest in sustainable chemistry and sustainable products that their competitiveness will continue to be protected. In addition, effective enforcement increases consumer confidence in EU law.
Fiber2Fashion News Desk (RR)
Enforcement of EU chemical law essential for European green deals
Source link Enforcement of EU chemical law essential for European green deals