Information on the Upcoming Registration Deadline for Chemical Substances in South Korea — June 30, 2019
The South Korea amendment to the Act on Registration and Evaluation, etc of Chemical Substances (K-REACH) came into effect on January 1, 2019. All existing chemical substances (i.e., substances that are listed on the existing chemical inventory in South Korea) manufactured in or imported to South Korea at greater than or equal to one ton per year are now subject to registration.
Existing chemical substances must be pre-registered prior to registration and pre-registration must be completed by June 30, 2019. Pre-registered substances benefit from registration grace periods that allow existing chemical substances to be imported without full registrations.
Substance Type | Registration Deadline |
>1000 t/y existing substances >1 t/y CMR substances | December 31, 2021 |
100-1000 t/y existing substances | December 31, 2024 |
10-100 t/y existing substances | December 31, 2027 |
1-10 t/y existing substances | December 31, 2030 |
Who needs to pre-register?
Any person manufacturing or importing existing chemical substances greater than or equal to one ton per year. Foreign manufacturers/producers who export existing chemicals to South Korea may appoint an Only Representative, as the legal entity, to pre-register chemical substances on their behalf.
How do you determine if you have an existing chemical substance?
Substance status can be determined by searching the Korea Existing Chemicals List (KECL). If the substance is not listed, is considered priority existing, or is exempt, it is not eligible for pre-registration.
What happens if pre-registration is not complete by the June 30, 2019, deadline?
If a substance is not pre-registered by the June 30, 2019, deadline, the grace period is inapplicable. Substances absolutely need to be registered before manufacture or import. Substances that are not pre-registered or registered are subject to suspension of manufacture/import/use/sales.
What information is needed to pre-register?
To register an existing chemical, the following information is necessary:
- The name of the chemical substance;
- Expected annual manufacture/import quantity;
- Classification and labels of the substance;
- Use details;
- Name/contact information of the manufacturer or importer; and
- Any other information specified under the Ordinance of the Ministry of Environment.
For more information on important issues in the international chemical space, please consult The Acta Group’s (Acta®), and its consulting affiliate Bergeson & Campbell, P.C.’s (B&C®), Forecast for U.S. Federal and International Chemical Regulatory Policy 2019. In this richly detailed document, the legal, scientific, and regulatory professionals of Acta and B&C distill key trends in U.S. and global chemical law and provide our best informed judgment as to the shape of key developments we are likely to see in 2019.