Centre Testing International Group Co., Ltd. (CTI) is a market leader in testing, inspection, certification, calibration, audit, training & technical services; building trust between governments, enterprises, and consumers.
Sustainability is deeply rooted in CTI’s business model, by delivering science-based solutions and verification services, to increase transparency and traceability throughout the global value chain. CTI is a proponent of carbon neutrality and sustainable development.
Centre Testing International Co., Ltd. (CTI) is the pioneer and leader in the TIC Industry which provides one-stop solutions on testing, inspection, certification, calibration, audit, training & technical services.
Our service capabilties cover the upstream and downstream of the supply chain including textile and apparel,toys,electronic appliances,medical health,food...andother industries.
Our service capabilties cover the upstream and downstream of the supply chain including textile and apparel,toys,electronic appliances,medical health,food...andother industries.
Comprehensively guarantee quality and safety, promote compliance and innovation, demonstrate brand competitiveness, and achieve higher quality, healthier, safer, and greener sustainable development.
We have established a clear governance structure in accordance with listing requirements and national regulations and policies to deal with internal and external challenges and achieve sustainable development.
Ensuring the basic rights and benefits of employees;
Providing professional skills training to promote employees’ growth;
Carrying out various kinds of activities to balance employees’ work and life.
Following the judgement of the Court of Justice, ECHA has published a quick update to its Guidance on requirements for substances in articles On 17 December 2015.
Latest Developments
Following the judgement of the Court of Justice of 10 September 2015 in case C-106/14, ECHA has now updated its guidance on requirements for substances in articles. This quick update corrects the parts of the guidance with references to the 0.1% limit that are no longer consistent with the conclusions of the court's judgement.
The court's judgement clarified the scope of the notification and communication obligations of companies in relation to articles containing substances included in the Candidate List of substances of very high concern in a concentration above 0.1% weight by weight. According to the ruling, the legal obligations also apply to articles that are present in complex products (i.e. products composed of several articles) as long as these articles keep a special shape, surface or design or as long as they do not become waste.
A more comprehensive update of the guidance will follow in 2016. It is foreseen to include a general update and re-structuring of the document, new examples that are aligned with the court's judgement and a review of the current examples against the experience gained and questions received by ECHA since the guidance was first published.
Document History
Version | Changes | Date |
Version 1 | First edition | May 2008 |
Version 2.0 | Second edition - revised structure and updated content | April 2011 |
Version 3.0 | Fast-track update to make “quick” corrections to the parts with references to the 0.1% limit that are no longer consistent with the conclusions of the judgement of the Court of Justice of 10 September 2015 in case C-106/14. Reformatted to current ECHA corporate image. Updated reference to toy safety directive (Directive 2009/48/EC). | December 2015 |
Further Information
Judgment of the Court of Justice:https://curia.europa.eu/juris/liste.jsf?language=en&td=ALL&num=C-106/14
Guidance on requirements for substances in articles:https://echa.europa.eu/guidance-documents/guidance-on-reach?panel=sia#sia
Obligations related to Candidate List substances in articles:https://echa.europa.eu/regulations/reach/candidate-list-substances-in-articles
CTI Suggestion
Most articles, however, are assembled from some or many other articles. Application of the limit with respect to assembled articles in this Guidance document is based on the “Once an article – always an article” approach. Mostly, it is easy to distinguish articles in product components. For clearly defined components, the 0.1% limit should be applied to the whole components. But,it is difficult to distinguish between articles and mixture, its determinant standard depends on its production process.
Enterprises need focus on the new trends of this Judgment, suggest that manufacturers and importers assess the SVHC concentrations in each article of a complex product and, in turn, meet the communication, notification and authorization obligations based on this determination.