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Regulatory Trends
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Japan Releases Implementation Plan for Global Framework on Chemicals, Moving Towards a World Free from Chemical Harm
Feb 21, 2025
Ethiopia Seeks Exemption for UV-328 in Aerospace for Specific Uses
Feb 20, 2025
South Korea to Upgrade Chemical Regulation! K-REACH Amendment to Take Effect in August
Feb 19, 2025
ECHA Adds 15 New Substance Testing Proposals
Feb 18, 2025
Japan Tightens Food Container Standards, Bans High-Risk Chemical Substances
Feb 17, 2025
Taiwan Revises List of Dangerous Goods Which Are Transported by Air
Feb 14, 2025
ECHA to Assess Harmful Chemicals in Packaging
Feb 13, 2025
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GB 30000.1- 2024 Specification for classification and labelling of chemicals— Part1: General rules
File Language:
En
$
319
Application Specifications for Safety Information Codes of Hazardous Chemicals
File Language:
En
$
319
Amendment No.1 to "Occupational Exposure Limits for Hazardous Agents in the Workplace— Part 1: Chemical Hazardous Agents"
File Language:
En
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19
Q&As
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Q
Our facility is a designated Foreign Trade Zone (FTZ). Does this status have any impact on TSCA 8(a)(7) reporting requirements?
Q
A certain mixture paste contains 10% dibenzoyl peroxide. According to the classification criteria for organic peroxides in GB 30000.16-2013, the calculated effective oxygen content and hydrogen peroxide content in the mixture do not exceed 1, leading to the conclusion that it is not classified as an organic peroxide. Additionally, it does not contain any other chemical substances listed in the 2015 version of the Catalogue of Hazardous Chemicals. The overall GHS classification of the mixture is only Skin Sensitizer Category 1 and Serious Eye Damage/Eye Irritation Category 1. Does this mixture fall under the hazardous chemicals listed in the 2015 version of the Catalogue of Hazardous Chemicals or does it fall under the hazardous chemicals determined by the principle of inclusion?
Q
For enterprises that already have a valid hazardous chemical registration certificate, if they import new varieties of hazardous chemicals not listed in the existing registration catalog, should they refer to Article 15 of the "Measures for the Administration of Registration of Hazardous Chemicals"? That is, is it compliant with regulatory requirements to submit a change application within fifteen working days after the import of the new variety of hazardous chemicals following the change in "registered varieties"? Or is it necessary to complete the "registration change" process in advance, add the new variety, and obtain an updated "catalog of hazardous chemical registration" before the import is allowed?
Q
Is there an exclusion for federal entities, such as the Department of Defense?
Q
Is a permit required for the production of chemicals that exhibit the hazardous characteristics described in the definition and determination principles of hazardous chemicals listed in the "Catalogue of Hazardous Chemicals", but are not included in the "Catalogue of Hazardous Chemicals"? If so, what is the specific permit basis?
Q
Is alcohol-based fuel classified as a Category 3 hazardous chemical? Which version of the Catalogue of Hazardous Chemicals is currently in effect?
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