Companies based in Germany will only properly fulfill their information obligations to ECHA under Section 16 f ChemG if they do so by submitting their data to the SCIP database. In its response to the “Kleine Anfrage” on “Taking Stock – Half a Year of the SCIP Database” (Drs. 19/32063), the German government clearly states […]
The SCIP database is coming! And with it the pressure on companies to critically examine the up-to-dateness and quality of their material data. At the moment, companies are still invested in meeting the requirements under Article 33 (1) of the REACH Regulation of the European Chemicals Agency. Under this provision certain companies are required to […]