REACh R egistration,
E valuation and
A uthorisation of
Ch emicals

Explanation for the implementation of

for the Registration, Evaluation, Authorisation and restriction of Chemicals (=REACh)

Herewith we explain our point of view to the activities demanded within REACh and/or the currently necessary activities as follows:

REACh contains the following regulations:

  1. Manufacturers of substances, importers of substances, on their own, or of substances in preparations into the European Community (EC) and the European Economic Area (EEA) must register these substances with the European Chemical Agency as of June 1, 2008 if these substances are manufactured or imported in quantities of at least 1 t/a and are not exempted from the registration requirement. Phase-in-substances, e.g. those listed in the EINECS inventory of existing substances can be pre-registered from June 1, 2008 to December 1, 2008. Pre-registered substances do not have to be registered until later, depending on the manufactured / imported quantity.

  2. Suppliers of substances and preparations must provide users with either a safety data sheet or safety information. In certain cases, the safety data sheet will include an annex with relevant exposure scenarios ("extended safety data sheet").

  3. Manufacturers and importers of products that contain more than 0.1% by mass of a substance on the "candidate list" per product (Art. 33) must upon request provide sufficient information to the professionals and other downstream users in order to safely use the product, but at least the name of the product. If there is also more than 1 t/a of the substance in all of these products, this must be reported to the European Chemical Agency (EchA) at the earliest beginning June 1, 2011.

  4. Downstream users of chemicals (substances and preparations) must meet additional requirements as of June 1, 2008 but only after receiving an extended safety data sheet. Downstream users can support the manufacturers and importers of substances and preparations by providing them with relevant information for the registration.
WECO manufactures excludingly non-chemical products (finished goods), from which no material is released under normal and reasonably foreseeable terms of application. Thus, WECO is neither subject to a compulsory registration (No.1) nor to the obligation for the issue of data sheets (No.2).

In accordance with article 33 of the regulation, we will send you the necessary infomation if applicable, as soon as the appropriate data from the supply chain are available.

Conflict Minerals Reporting
English, XLSX
Certificate of Compliance and Material Declaration
English, PDF
Status: July 16, 2019