• <blockquote id="sqo4s"></blockquote>
  • <rt id="sqo4s"><kbd id="sqo4s"></kbd></rt>
  • <td id="sqo4s"></td>
    Chemicals
    CIRS Group
    Chemicals
    Cosmetic
    Food
    Medical Devices
    Agrochemicals
    CIRS Testing
    Carbon Neutrality
    Search

    The UK Just Proposed Its First New SVHCs Since Brexit – Why This Matters

    from CIRS by

    On March 11, 2026, the UK Health and Safety Executive (HSE) launched its first public consultation on adding Substances of Very High Concern (SVHCs) to the UK REACH Candidate List since Brexit.

    The consultation includes 15 proposed SVHCs, and companies have until April 20, 2026, to submit comments or supporting information.

    For companies placing chemicals on the market in Great Britain, this is a meaningful signal of how UK REACH is evolving.

    Why This Update Matters

    When the UK left the EU, and UK REACH came into force on January 1, 2021, the UK REACH Candidate list mirrored the EU REACH Candidate List.

    Since then, the EU has added 42 substances, while the UK has not made any additions, creating uncertainty about how the UK would develop its own regulatory pathway.

    This consultation demonstrates that the UK is now actively building and updating its own SVHC framework.

    The Proposed Substances

    All 15 substances in this first consultation already have mandatory harmonized classifications under GB CLP, particularly for:

    • Carcinogenicity
    • Mutagenicity
    • Reproductive toxicity

    This suggests the UK is taking a structured, risk-based approach, starting with substances where hazard profiles are already well established.

    Companies have until April 20, 2026, to submit technical comments, supporting data, and feedback on hazard properties.

    After the consultation closes:

    • If no comments are submitted, the substance will be added automatically
    • If comments are received, the HSE will review them and make a decision within 45 days.

    What Being on the Candidate List Means

    It is easy to underestimate the impact of the Candidate List, especially for companies not directly involved in REACH registration.

    However, once a substance is included, it can trigger:

    • Additional communication requirements in the supply chain
    • Obligations for substances in articles
    • Increased regulatory scrutiny

    It can also be the first step towards future authorization requirements and stricter regulatory control.

    Part of a Bigger Regulatory Shift

    This consultation also reflects a broader strategic shift in how the UK approaches SVHC identification. A recent notice from the HSE indicated that it intends to:

    • Draw more from regulatory decisions in other jurisdictions;
    • Maintain closer alignment with major trading partners, especially the EU; and
    • Reduce unnecessary complexity for industry.

    At the same time, the UK retains the ability to propose additional SVHCs independently when a substance meets regulatory criteria.

    A second SVHC consultation is expected in June 2026, and substances have already been listed in the UK Registry of Intentions, giving companies an early indication of what could be coming next. So, rather than a one-off event, this suggests that it will become a more regular process.

    What Companies Should Be Thinking About

    As the UK begins to actively update its Candidate List, companies may need to reassess how they manage substance compliance across their portfolios and supply chains.

    In particular, companies should consider:

    • Whether any of the proposed substances are in their portfolio
    • Whether comments or technical input should be submitted
    • What potential Candidate List inclusion could mean for supply chain obligations.

    Supporting activities might include:

    • Evaluating SVHC notification requirements;
    • testing articles for the presence of SVHCs; and
    • Preparing and submitting SVHC notifications where required.

    Even if none of these 15 substances are directly relevant to your business, this consultation is still important. It signals how quickly the UK may begin updating its Candidate list and how supply chains will need to respond in the future.

    About CIRS

     

    Established in 2007, the CIRS Group is a leading product safety and regulatory consulting firm. CIRS has branch offices in the Republic of Ireland, South Korea, the United States, the United Kingdom, Japan and China. CIRS Group utilizes its technical expertise, various resources, and international network to provide one-stop compliance services from regulatory compliance, laboratory testing, R&D to data services across multiple industries. This includes chemicals, cosmetics, food and food beverages, medical devices, agrochemical products, disinfectants, and consumer goods. It helps clients gain a competitive advantage by reducing business risks associated with regulatory affairs.

     Our Services

     

    • Downstream User Import Notification/Full Registration (DUIN)
    • Only Representation for non-GB based companies
      • Set up UK REACH-IT account
      • File & Submit the dossier to the HSE
      • Update dossier with new information
      • Preparation for inspection by HSE
    • Communication within Substance Group
    • Review/Prepare Substance Identity Report
    • Prepare & Submit Inquiry Dossier to the HSE
    • Classification, Authoring/Review SDS & Labels for UK CLP

    If you would like to discuss how these developments may affect your products or supply chain, feel free to contact the team via service@cirs-group.com

      

    We have launched a LinkedIn newsletter to keep you up to date on the latest developments across the chemical industry including food and FCMs and personal and home care.

    Contact Us
    +353 1 477 3710 (EU)
    +44 20 3239 9430 (UK)
    +1 703 520 1420 (USA)
    +86 571 8720 6574 (CN)
    +82 2 6347 8816 (KR)
    +81 070-9365-8022 (JP)
  • <blockquote id="sqo4s"></blockquote>
  • <rt id="sqo4s"><kbd id="sqo4s"></kbd></rt>
  • <td id="sqo4s"></td>
    丝瓜视频