Removing Regulatory Roadblocks
Expediting Market Access
> Any act on fine and punishment if do not comply with the regulations?
> Which column on the “Importation Declaration” should I refer to for “Goods Name”?
> Would more than one accounts for a company be allowed on CCIP IT platform?
> The importing goods/commodities render the same chemical substances and composition while having different “Goods Names”. Under such circumstances, do I need to file pre-confirmations respectively for each good or do I only need to file a pre-confirmation once?
> To ensure the importing goods/commodities comply with the registration rules under TCSCA and the Regulation of New and Existing Chemical Substances Registration, the business are responsible to offer information of “registered” new and existing chemical substances. However, why the information for “Chemical substances not subjected to the registration requirement” should also be provided? What is the regulation base for business to provide such information?
> When shall I complete declaration and confirmation on CCIP IT platform? Is there any official deadline for people to complete the pre-confirmation on CCIP IT platform?
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?
What hazardous chemicals need to go through legal inspection?
Is Singapore's label mandated in English?
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