Fashy GmbH hereby explains
the REACH regulations which comprise four areas relevant to our company:
1. A regulation on substances. We do not deal with or produce substances within the meaning of REACH, thus we do not have any obligation resulting from it.
2. A regulation on preparations. We do not deal with or produce preparations within the meaning of REACH, thus we do not have any obligation resulting from it.
3. A regulation on release. The products (goods) traded by us do not contain any substances according to REACH which are intended to be released. So we do not have any obligation resulting from it.
4. A regulation on „substances of very high concern“. The link to Echa, to the list of substances known so far (presently 37 substances) was sent to all our producers and suppliers and they were obliged not to use these substances or not to have them used and to inform us immediately if one or several of such substances are contained in products traded by us. But in general these substances will not be present, so that we are not subject to obligations regarding these special substances. As a matter of principle, it must be noted that only someone who supplies a product containing more than 0.1 mass percent of one of these substances to a commercial consumer is obliged to communicate this to the customer and to give information, if available, on the safe use of the product. However, if we receive information concerning this matter from our suppliers or manufacturers, we will forward it to you immediately if the limit of 0.1 % by weight is exceeded. Finally, we plan to update the aforementioned position if this special list is extended by other substances of very high concern.
The currently valid list of „substances of very high concern” is provided at the link:
echa.europa.eu/chem_data/authorisation_process/candidate_list_table_en.asp
