Removing Regulatory Roadblocks
Expediting Market Access
> It is mentioned in the regulation that the composition of the ingredients shall be included in the inventory of hazardous chemicals submitted to the Director General. Are there any provisions for confidential business information? (I.e. can we submit only the content of hazardous chemicals contributing to the classification of a product?)
> Does the inventory of hazardous chemicals need to follow certain format?
> I understand submission of chemical inventory is the obligation of Malaysian importers and manufacturers. But is it possible for a foreign company to do the registration/submission, via a designated third party or representative in Malaysia for example?
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?
ChemLinked Chemical Portal was created to provide chemical regulatory information for China and
the rest of the Asia Pacific region to meet the growing demand for clear and concise regulatory
advice and market intelligence.
ChemLinked is based in China, our office hour is 9:00 - 17:30 GMT+8 Beijing time.
Skype: ChemLinked Official
Phone: +86 (0) 571 8710 3812
© 2012-2017 ChemLinked
Term of Use