Removing Regulatory Roadblocks
Expediting Market Access
> What does "REO" stand for? the authority of annual report?
> Who should be doing the annual reporting? Local importer, local manufacturer? What about overseas manufacturer exporting into Korea? Do overseas manufacturer need to do annual reporting since the local importer will be reporting? or should the overseas manufacturer do the reporting together with the local importer?
> What information should be included in annual report?
> Why do new chemical substances having obtained low-volume exemption under TCCA (new chemical substances <0.1t/y are exempt) still need annual reporting? It is quite difficult to identify the substance of low-volume. In addition, it is not easy to obtain relevant information from manufactures.
> New chemical substances regardless of volume are subject to annul reporting under K-REACH, including the volume and uses etc. For new chemical substances having obtained low-volume exemption under TCCA (new chemical substances <0.1t/y are exempt), is annul reporting required under K-REACH?
How to determine the hazard classification of mixtures?
What chemicals need to be registered?
If the new chemical substances has already been notified under SEPA Order 17 (predecessor of MEP Order 7), is it necessary to comply with the scientific research record notification under MEP Order 7?
Is registration needed if paint is imported, sub-packaged as commodities, and sold to downstream companies for direct selling in the market?
What hazardous chemicals need to go through legal inspection?
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