Summary:
Anyone who has been following the events surrounding the authorisation of chromium trioxide under the REACH Regulation must realise that the discussion about applications for authorisation in the surface sector has become difficult to understand. Especially the so-called upstream authorisations of large consortia are facing altered requirements compared to the beginning of the process. In the document enclosed ZVO gives its point of view. CETS aisbl is supporting the content of the press release of ZVO, dated 23/11/2023.
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