Chemical Safety FAQs

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In June 2015, the Safety Data Sheets (SDSs) and product labels for all our chemical consumable products  changed. In particular, the familiar ‘CHIP’ orange boxes with black warning symbols change to the new ‘CLP’ red and white diamonds. These changes have affected all chemical products that you buy as a business and also those that you buy as a consumer.

As an example: white Spirit is a common organic solvent for use in painting and decorating and can be found in most home improvement stores.

White spirit used to carry two CHIP hazard warning symbols and its classification was:

  • Xn – Harmful – R65
  • N – Dangerous for the environment – R51/53

The product now carries four CLP pictograms and its classification is now:

  • Flammable liquid – Category 3 – H226
  • Aspiration toxicity – Category 1 – H304
  • Specific target organ systemic toxicity (single exposure) – Category 3 – H336
  • Chronic aquatic toxicity – Category 2 – H411

The point to note here is that the white spirit in the bottle is no more dangerous now than it was before December 2010, even though the label has changed. This point is the same for all chemical products manufactured and supplied by Magnaflux EMEAR.

White spirit with CHIP labelExample of white spirit with CHIP labelling.
Image credit: www.chaucersolutions.co.uk

White spirit with CLP labelExample of white spirit with GHS labelling.
Image credit: www.amazon.co.uk

Understanding the changes to our Safety Data Sheets and labels – CLP

Are there differences between the SDSs from different Magnaflux manufacturing sites?

Yes, there are likely to be differences. Whilst GHS is a global framework for classification and labelling, it has been implemented using different ‘building blocks’ in different geographic areas. Within Europe, it is has been implemented under the CLP (Classification Labelling and Packaging) regulation (European Regulation (EC) 1272/2008).

As examples under this regulation:

  • You will come across unique EUH phrases that only apply under the CLP regulation.
  • European chemical classifications have been made in accordance with the European REACH regulations.

Why is there a difference between the precautionary statements listed in Section 2.2 of some product Safety Data Sheets and those found on the product label?

Under the CLP regulations, normally not more than six precautionary statements shall appear on a product label, unless it becomes necessary to include further statements to reflect the nature and severity of the hazards. The selection of the most appropriate precautionary statements is largely at the discretion and ingenuity of the supplier. Guidance on the selection of precautionary statements is given within CLP-2008-1272 Annex IV, Part 1.

What you therefore see within Section 2.2 of a Magnaflux EMEAR Safety Data Sheet is both the precautionary statements derived from the hazard classification and also supplementary precautionary statements. For the product label, it is not a requirement to list the supplementary precautionary statements as these do not directly relate to the hazards associated with the product. Typically, these relate to best practise in using the material, which is described in detail within the Safety Data Sheet – for example, in relation to the use of personal protective equipment and storage of the product.

What are the CLP requirements regarding product labelling?

Under the CLP regulations, a substance or mixture classified as hazardous must bear a label that includes the following elements:

  • Name, address and telephone number of the supplier.
  • The nominal quantity of the substance or mixture in the package where this is made available to the general public, unless this quantity is specified elsewhere on the package.
  • Product identifiers – the product name.
  • Hazard pictograms, where applicable.
  • The relevant signal word, where applicable.
  • Hazard statements, where applicable.
  • Appropriate precautionary statements, where applicable.
  • A section for supplementary information, where applicable.
  • Hazard determining components.

What languages do you provide on your product labels?

The issue with product labels is one of space and there are a restricted number of languages thatr can fit on the product labels. In each case, you will find six languages, chosen based on volume of products sold by country. To help provide more information,we have quoted the specific H and P references for the Hazard and Precautionary statements so you can cross-check these with the Safety Data Sheet or on the DHI website.

What language versions of Safety Data Sheets are available?

Using the Magnaflux EMEAR website, you can download:

PLEASE NOTE: when using Google Translate, you – the user – accepts the legal implications of any shortcomings or differences in the translation. Click here to read the disclaimer.

If you require a literal translation of a SDS in a language other than English, German or Swedish, please contact your local distributor.

How do I obtain Safety Data Sheets for products that have been withdrawn?

Following withdrawal of a product, the SDS at the time of manufacture will be available via the EMEAR website for a period of one year. After this, any previous versions of SDSs for withdrawn products will be available on request by email.

How do I obtain an older version of a Safety Data Sheet for a product that was made prior to an SDS change?

In most cases, the latest SDS will detail the information for the product that you have, as the changes are not normally associated with a formulation change. However, previous versions of SDSs for products are available on request by email.

In order to be able to send you the right version, you will need to provide the batch number of the product. The batch number for our aerosol products is located on the base of the can, and for our bulk products it can be found on the product label.

What is the legal position within the EU under REACH regarding notification of when a Safety Data Sheet has been updated?

Under Article 31 (9) of REACH the stipulated requirement within the EU is that:

“Suppliers shall update the Safety Data Sheet without delay on the following occasions:

  • As soon as new information which may affect the risk management measures, or new information on hazards becomes available;
  • Once an authorisation (REACH authorisation) has been granted or refused;
  • Once a restriction (REACH restriction) has been imposed.

The new, dated version of the information, identified as “Revision: (date)”, shall be provided free of charge on paper or electronically to all former recipients to whom they have supplied the substance or preparation within the preceding 12 months. Any updates following registration shall include the registration number”.

Within this statement there are some key points of note:

  • Only the changes according to Article 31 (9) of REACH give rise to a legal obligation to provide updated versions.
  • There is a difference between the ‘provision of a Safety Data Sheet’ and ‘ making a Safety Data Sheet available’. For example, receiving an electronic copy of an SDS from a Magnaflux EMEAR distributor represents ‘provision of a Safety Data Sheet’, whereas downloading the latest version of an SDS from the Magnaflux EMEAR website represents ‘making a Safety Data Sheet available’.
  • There is a difference between compliance with Article 31 (9) of REACH and the updates that Magnaflux EMEAR makes to its Safety Data Sheets because of, for example, a change arising from the withdrawal and replacement of a raw material. The key difference is that, with the latter, there is no legal obligation to ‘provide’ updated versions’.
  • Magnaflux EMEAR sells its products via a distributor network. Using this channel-based approach, we have no knowledge of who our end-users are. For this reason, it is only possible for us to provide our Safety Data Sheets to our distributors or any direct customers of Magnaflux EMEAR.

With this in mind:

  • When a Magnaflux EMEAR SDS is updated under the conditions specified in Article 31(9) of REACH, the new EU SDS will be provided to our EU distributors and any EU direct customers to whom Magnaflux EMEAR have supplied the product within the preceding 12 months.
  • Updated versions of SDSs which are not specifically required by Article 31(9) of REACH, will be communicated through our website, where you will find a list of all our products and the current SDS version number.
  • You can check that you have the latest version of an SDS here. At any point where a Magnaflux EMEAR SDS is updated, you will be able to obtain it: from
    • your Magnaflux distributor in electronic or hard copy format.
    • Via the Magnaflux EMEAR website in electronic format.

If you are struggling to obtain the latest version of an SDS, please email us at support.eu@magnaflux.com

How do I know what parts of a Safety Data Sheet have been updated?

When an SDS is updated, the information detailing what has changed is summarised in Section 16 (i). On the English, German and Swedish SDSs, vertical lines on the left-hand side of the document indicate where an amendment has been made from the previous version.

What policy does Magnaflux EMEAR have for updating Safety Data Sheets?

Magnaflux EMEAR SDSs are only updated when:

  • There are regulatory changes that we are required to implement.
  • There are changes to information within the SDSs that have been provided to us by our raw material suppliers – for example, REACH registration number updates.
  • There are changes that come about as a result of a change to a raw material – for example, if a raw material is discontinued.

How do I know that I have the latest version of a Safety Data Sheet?

All SDSs on the Magnaflux EMEAR website are the latest versions. To check whether you have the latest version, consult our table here.

Magnaflux EMEAR operates under a system of version control for its SDSs to ensure that it is clear to our downstream stakeholders that which version of an SDS they are referring to. Our system identifies the version of the SDS by the year and the issue number in that year – for example 17.1 would be the second version released in 2017. The revision date and a description of the changes are also described within the SDS. The revision date is included at the top and bottom of the SDS and the description of changes is included at the bottom of the document.

To check you have the latest version of a Safety Data Sheet for a Magnaflux EMEAR product, please click here.

Can I issue my own version of a Magnaflux EMEAR Safety Data Sheet?

There is no reason why you should need to issue your own version of a Magnaflux EMEAR SDS. However, if you choose to do this, we cannot accept responsibility for its content or the accuracy of its content. As such, we would ask that all references to Magnaflux – for example, our logo and company details as the supplier of the product – are removed. If you are a Magnaflux distributor and you want to create your own set of SDSs, please contact us.

Do I need to check the product classification information?

No. We are confident that our classifications are accurate and there should be no need to check the classification unless there are, for example, specific local country rules that ask for specific requirements.

The only way to check the classification provided in Section 2 is to have access to the full product formulation. Product formulation details are strictly confidential information that cannot be shared externally without a legal agreement being in place.

We often use SDS information to derive our own chemical safety information. But when we do this we find we disagree with your classification. Why is this?

On an SDS information in section 3 is only given for the hazardous substances within a particular product. Coupled with this it is quoted in the form of a percentage range. Typically our products will contain chemical substances that do not need to be quoted in Section 3.

The overall classification of a product mixture (given in Section 2.1 of the SDS) will normally be based on the actual total concentration of all the ingredients. As such it may not reflect the total of all standard ranges quoted per substance in the SDS. Typically the classification will therefore be lower than the total of the maxima of each of the contributing ranges.

Where there is a change in classification, is this because Magnaflux EMEAR has changed its product formulations?

No. The changes that you are seeing to our SDSs and product labels have been brought about simply because the products are being classified under CLP and because CLP has different rules and ‘cut off limits’ around the classification of substances and mixtures.

By means of an example, products that were formerly classified as irritants may be seen to carry the new corrosive symbol, as these products are now seen as corrosive to the eye.

What are precautionary statements?

Precautionary statements (P statements) replace the old safety phrases (S phrases) and describe the recommended measures to minimise or prevent exposure to the product during use and disposal.

For example, P280: Wear protective gloves/protective clothing/eye protection/face protection.

P statements provide important information for conducting risk assessments and putting risk management measures in place.

What are hazard statements?

Hazard statements (H statements) replace the old risk phrases (R phrases) and describe the nature, severity and category of a product. Hazard statements are assigned to a hazard class and hazard category:

  • Hazard class – describes the nature of the physical (fire, corrosion)/health/environmental hazard.
  • Hazard category – criteria within each hazard class that specifies the hazard severity.

For example H412: Harmful to aquatic life with long lasting effects. This describes the nature of the hazard and also the degree of the hazard.

In addition the EU has introduced some supplementary statements, prefixed EUH, for example: EUH066: Repeated exposure may cause skin dryness or cracking. On our product labels these are identified in green.

What are signal words?

The signal word alerts the user to the severity of the hazard:

  • Danger indicates more severe hazards
  • Warning indicates less severe hazards
  • No signal word indicates low hazard although there may still be hazard statements

What GHS symbols/pictograms will I find on Magnaflux EMEAR products?

Magnaflux EMEAR products use five of the new GHS symbols/pictograms.

Click here for more information.

How do the new pictograms compare with the old hazard symbols?

The new symbols comprise nine pictograms that consist of red diamonds that contain a black symbol. Many look similar to the old symbols although they cover a different range of hazards. There are three completely new symbols. The symbol ‘X’ (harmful/irritant) is no longer used.

Click here for more information.

Some Magnaflux products now carry the GHS05 corrosive symbol; is this because the formulation for these products has changed, and does this mean that it should be treated as a corrosive liquid for transportation purposes?

The formulation for these products has not changed. However, under CLP, the boundaries for classification for eye irritation are much lower: where a product carries the hazard statement ‘H318 Causes serious eye damage’, there is a requirement to carry the GHS05 corrosive symbol for use of the product. However, from a transportation point of view the product is not classified as dangerous, and hence there is no requirement to carry the corrosive transportation symbol or for the product to be covered by a Dangerous Goods Note (DGN). Click here for a full list of CLP and transport classifications.

What if my product label is not the same as on my last delivery?

Magnaflux EMEAR Safety Data Sheets (SDSs) and product labels for product that is currently in production are required by law to carry the same information. The information for a product label comes from Section 2.2 (Label Elements) of the SDS. Magnaflux EMEAR Safety Data Sheets are only updated when:

  • There are regulatory changes that we are required to implement – for example the change from REACH CHIP 4 to GHS/CLP in June 2015.
  • There are changes to information within the SDSs that have been provided  to us by our raw material suppliers – for example REACH registration number updates.
  • There are changes that come about as a result of a change to a raw material – for example, a raw material discontinuation.

Each SDS carries a version number and revision date. Our system identifies the version of the SDS by the year and the issue number in that year – for example 14.2 would be the second version released in 2014. The revision date and a description of the changes are also described within the SDS. The revision date is included at the top and bottom of the SDS and the description of changes is included at the bottom of the document.

Each product label carries a unique batch number.

  • For bulk products, the batch number consists of seven digits. For aerosol products, the batch number consists of six digits. In both cases, the first two digits represent the year of manufacture (for example, 15 = 2015) and the third and fourth digits give the month of manufacture (for example, 07 = July).
  • Some products that we supply are manufactured by Magnaflux in the US (MAGNAGLO® 14A, MAGNAGLO® MG 410, MAGNAVIS® 1 Grey, MAGNAVIS® 3A Black, MAGNAVIS® 8A Red). The US batch numbering system is different and consists of five numbers and a letter – for example, 12K112. The first two digits represent the year of manufacture and the letter represents the month of manufacture (A = January, B = February, C = March, D = April, E = May, F = June, G = July, H = August, J = September, K = October, L = November, M = December). So the batch number 12K112 indicates that the product was manufactured in October 2012.

Using this batch number you will be able to identify the age of your product relative to that of the SDS. For example, you may have a product with batch number 1401010 and an SDS for this product with version number 15.1 and revision date 18.05.15. With this scenario:

  • The batch number 1401010 tells us that it was manufactured in January 2014.
  • The SDS was issued on 18th May 2015.
  • This tells us that the information on the product label will be different to that on the SDS.

Should you require an earlier version of the SDS, contact Magnaflux EMEAR at support.eu@magnaflux.com.

What if my product label does not show the same information as Section 2.2 on the Safety Data Sheet?

Magnaflux EMEAR Safety Data Sheets (SDSs) and product labels for product that is currently in production are required by law to carry the same information. The information for a product label comes from Section 2.2 (Label Elements) of the SDS. Magnaflux EMEAR Safety Data Sheets are only updated when:

  • There are regulatory changes that we are required to implement – for example the change from REACH CHIP 4 to GHS/CLP in June 2015.
  • There are changes to information within the SDSs that have been provided  to us by our raw material suppliers – for example REACH registration number updates.
  • There are changes that come about as a result of a change to a raw material – for example, a raw material discontinuation.

Each SDS carries a version number and revision date. Our system identifies the version of the SDS by the year and the issue number in that year – for example 14.2 would be the second version released in 2014. The revision date and a description of the changes are also described within the SDS. The revision date is included at the top and bottom of the SDS and the description of changes is included at the bottom of the document.

Each product label carries a unique batch number.

  • For bulk products, the batch number consists of seven digits. For aerosol products, the batch number consists of six digits. In both cases, the first two digits represent the year of manufacture (for example, 15 = 2015) and the third and fourth digits give the month of manufacture (for example, 07 = July).
  • Some products that we supply are manufactured by Magnaflux in the US (MAGNAGLO® 14A, MAGNAGLO® MG 410, MAGNAVIS® 1 Grey, MAGNAVIS® 3A Black, MAGNAVIS® 8A Red). The US batch numbering system is different and consists of five numbers and a letter – for example, 12K112. The first two digits represent the year of manufacture and the letter represents the month of manufacture (A = January, B = February, C = March, D = April, E = May, F = June, G = July, H = August, J = September, K = October, L = November, M = December). So the batch number 12K112 indicates that the product was manufactured in October 2012.

Using this batch number you will be able to identify the age of your product relative to that of the SDS. For example, you may have a product with batch number 1401010 and an SDS for this product with version number 15.1 and revision date 18.05.15. With this scenario:

  • The batch number 1401010 tells us that it was manufactured in January 2014.
  • The SDS was issued on 18th May 2015.
  • This tells us that the information on the product label will be different to that on the SDS.

Should you require an earlier version of the SDS, contact Magnaflux EMEAR at support.eu@magnaflux.com.

What will I now see on my product labels?

By law, the new product labels contain the following:

  • New pictogram(s)
  • Signal word (Danger/Warning)
  • Product identifier
  • Contacts details of the supplier – one primary address for aerosol products; our three European addresses for bulk products.
  • Amount/quantity – expressed in millilitres/litres for liquid products and kilograms for solid products.
  • Hazard statement(s). On our product labels, we have referenced the H statement numbers so that the user can cross-reference them here.
  • Precautionary statement(s). On our product labels, we have referenced the P statement numbers so that the user can cross-reference them here.
  • Additional information/supplementary information.

Will I still be able to access the old format of SDSs for product that I am still using?

The old format of SDSs were produced in what was known as REACH CHIP 4 format (according to Directive 67/548/EEC as amended & Directive 1999/45/EC).

If you require a copy of the original SDS produced under the REACH CHIP 4 regulations, contact us by email.

Am I still allowed to use product that has the old product labels?

Yes. There are no issues associated with end users using product that has the old product labels.

However, if you wish to reassess the product based on the CLP changes please feel free to download the latest version of the SDS from our website and use this to build a chemical risk assessment.

What happens to product manufactured prior to 1 June 2015 that is still being supplied by our distributor?

Any product that has been manufactured prior to 1 June 2015 that remains in the supply chain can retain its original product labelling under REACH CHIP 4 until 1 June 2017.

We anticipate that there will be no product with the old style labelling remaining in the supply chain by 1 June 2017.

What actions did Magnaflux EMEAR take for the 1 June 2015 deadline?

A number of actions took place on 1 June 2015, namely:

  • All CLP format SDSs were made available for download via the Magnaflux EMEAR website.
  • All product manufactured from 1 June 2015 was labelled with CLP-format product labels.
  • Language versions of our SDSs were made available for download via the Magnaflux EMEAR website.

You should also be able to access Magnaflux EMEAR Safety Data Sheets by contacting your local distributor.

What chemical products does Magnaflux EMEAR manufacture?

Magnaflux EMEAR principally manufactures mixtures and preparations, all of which were switched to CLP-compliant SDSs and product labels on 1 June 2015.

We also supply a small number of pure substances – for example, our activated carbon, used for filtration purposes. These products also have new CLP SDSs and labels.

When did the CLP regulations come into force?

The CLP Regulations entered into force across all EU member states on 20 January 2009.

However, CLP was introduced gradually and had a fairly lengthy transitional period before it applied in full on 1 June 2015.

The CLP Regulations associated with pure substances came into effect on 1 December 2010.

The CLP Regulations associated with mixtures and preparations came into effect on 1 June 2015.

How are the CLP Regulations linked to GHS?

The CLP Regulations adopt the United Nations’ Globally Harmonised System (GHS) on the classification and labelling of chemicals across all European Union countries.

As GHS is a voluntary agreement rather than a law, it has to be adopted through a suitable national or regional legal mechanism to ensure it becomes legally binding. This is what the CLP regulations do.

What are the CLP regulations?

European Regulation (EC) No 1272/2008 on classification, labelling and packaging of substances and mixtures came into force on 20 January 2009 in all EU Member States. It is known by its abbreviated form ‘the CLP regulations’, or just plain ‘CLP’.

Why have the changes occured?

The changes are due to the introduction of the new Classification Labelling and Packaging (CLP) regulations.

Aspiration Toxicity

Is there a safe way to use products classified as Asp. Tox. 1?

Magnaflux EMEAR Safety Data Sheets (SDS) provide information on the safe use of our products. We always recommend that users should have appropriate chemical hazard awareness training and that a chemical hazard risk assessment should be completed. Exposure to chemicals should be minimised by the use of appropriate containment, engineering measures and adequate ventilation. Suitable personal protective equipment, as indicated in Section 8 of the SDS, should be used.

Some Magnaflux EMEAR bulk products carry the classification ‘Asp. Tox. 1 H304’ but the aerosol variant doesn’t. Why don’t they have the same classification?

The classification according to section 3.10 of CLP is intended to apply to liquid substances and mixtures only. Paragraph 3.10.1.6.3 covers the classification of aerosol/mist products.

“Aerosol and mist forms of a substance or a mixture (product) are usually dispensed in containers such as self-pressurised containers, triggers and pump sprayers. The key to classifying these products is whether a pool of product is formed in the mouth which then may be aspirated. If the mist or aerosol from a pressurised container is fine, a pool may not be formed. On the other hand, if a pressurised container dispenses product in a stream, a pool may be formed that may then be aspirated. Usually, the mist produced by trigger and pump sprayers is coarse and therefore, a pool may be formed that then may be aspirated. When the pump mechanism may be removed, and the contents are available to be swallowed then the classification of the substance or mixture shall be considered.”

Magnaflux EMEAR aerosol products containing petroleum distillates are not classified as Asp. Tox. 1 as the aerosol spray is fine and a pool of product should not be formed in the mouth.

How is Aspiration Toxicity communicated within a Safety Data Sheet or label?

For a product classified as having Aspiration Toxicity, you will see the following on our Safety Data Sheets and labels :

GHS pictogram:
Signal Word: DANGER
Classification according to Regulation (EC) No. 1272/2008 (CLP): Asp. Tox. 1
Hazard statement: H304 May be fatal if swallowed and enters airways.
Precautionary statements: P301 + P310 IF SWALLOWED: Immediately call a poison centre or doctor.
P331: Do NOT induce vomiting.
P405: Store locked up.
P501: Dispose of containers and contents to hazardous waste or special collection point.

Please note: the precautionary (P) statements may not all appear on the product label. The recommendation for storage and disposal may be communicated through sections 7 and 13 of the Safety Data Sheet.

What are the criteria for classification of mixtures for Aspiration Toxicity?

A mixture which contains more than 10% of substances classified as Asp. Tox. 1, and has a kinematic viscosity of <20.5 mm²/s at 40°C, shall be classified as Asp. Tox. 1.

What substances pose an aspiration hazard to humans?

Substances classified for Aspiration Toxicity, and therefore pose an aspiration hazard to humans, include certain hydrocarbons (petroleum distillates) and turpentine.

Some Magnaflux EMEAR products carry the classification Asp. Tox. 1 H304. What does this mean?

Asp. Tox. is an abbreviation of Aspiration Toxicity. “Aspiration” means entry of a liquid or solid substance or mixture directly through the oral or nasal cavity, or indirectly from vomiting, into the trachea and lower respiratory system. Aspiration toxicity includes severe acute effects such as chemical pneumonia, varying degrees of pulmonary injury or death following aspiration. Aspiration can occur as a substance is vomited following ingestion. It is for this reason that the precautionary statement P331, “Do NOT induce vomiting, for mixtures classified as Asp. Tox. 1 is used.

Understanding the changes to our Safety Data Sheets and labels – REACH

In section 1.4 of the SDS, why have you not included the telephone number of the poison centre in my country?

The Safety Data Sheet generator on our website produces Safety Data Sheets (SDSs) which have been produced using official translations where possible and Google Translate for the remainder. This translation is based on the English SDS.

The requirements for Section 1.4 regarding emergency telephone numbers are laid down by (EC) 1272/2008 (CLP) and (EC) 1907/2006 (REACH) as amended.

References to emergency information services shall be provided. If an official advisory body exists in the Member State where the substance or mixture is placed on the market (this may be the body responsible for receiving information relating to health referred to in Article 45 of Regulation (EC) No 1272/2008), its telephone number shall be given and can suffice. If availability of such services is limited for any reasons, such as hours of operation, or if there are limits on specific types of information provided, this shall be clearly stated.

In the UK, there is no official advisory body and hence, no official number to use on an SDS.

In the definitive English SDSs, we have used our office telephone numbers and stated the time limits and the languages available.

Do your Safety Data Sheets include exposure scenarios?

Where a substance has been fully registered under REACH, exposure scenarios, including any risk management measures required, can be included in an Annex as part of an SDS.

However, for Magnaflux EMEAR products there is no need for the inclusion of additional information as the scenarios around the use of the product are fully described in other sections of the SDS.

In particular we would refer you to the following SDS sections:

  • Section 1.2 – Relevant identified uses and uses advised against.
  • Section 2 – Hazards identification.
  • Section 3 – Composition / information on ingredients.
  • Section 8 of the SDS – Exposure Controls / Personal Protection.
  • Section 11 – Toxicological information.

Where can I find out more information about country-specific occupational exposure limit values?

Data for occupational exposure limits can be found in Section 8 (Exposure Controls/Personal Protection) of our Safety Data Sheets (SDSs). Within this section, you will see a reference to data being obtained from GESTIS International Limit Values, EH40 or supplier SDSs. Where this data exists, we quote this information for our key countries. If you require this data for other countries, please either:

  • refer to the GESTIS International Limit Values by visiting http://limitvalue.ifa.dguv.de/ and then searching by substance name or CAS number. The substance details are provided in Section 3 (Composition/Information on Ingredients) section of our SDSs.
  • if you are using the online SDS generator, click on the substance name in the first table in Section 8. This will open a new window showing the OELs for that substance in other European countries.

Where will I find the REACH registration numbers for your products?

Where applicable, the REACH registration numbers for Magnaflux EMEAR products will be found in Section 3 of the SDS.

What is the timing for the inclusion of REACH registration numbers within the Magnaflux EMEAR SDSs?

As a downstream user, Magnaflux EMEAR rely on our suppliers for the provision of REACH registration numbers.

Where these registration numbers have been provided, they have already been included within the SDSs. However, where they are not available, we will look to include them within our SDSs when they are made available to us.

Why do some components in the formulation not have REACH numbers?

There are several reasons why a substance listed on an ingredient SDS has no registration number:

  • The quantity being imported is below the threshold for registration.
  • The substance is within the 2018 registration volume band.
  • The substance is a polymer or a hazardous impurity within a substance.

What are the deadlines for REACH registration?

The REACH registration deadlines are primarily based around imported tonnage. To summarise:

By 1 December 2010, substances should have been registered when supplied at:

  • > 1000 tonnes per annum.
  • > 100 tonnes per annum and classified under CHIP as very toxic to aquatic organisms.
  • > 1 tonne per annum and classified under CHIP as Cat 1 or 2 carcinogens, mutagens or reproductive toxicants.

1 June 2013 – deadline for the registration of substances supplied at ≥ 100 tonnes per annum.

1 June 2018 – deadline for the registration of substances supplied at ≥ 1 tonne per annum.

How does REACH affect Magnaflux EMEAR?

Magnaflux EMEAR only manufactures preparations/mixtures and is classified as a ‘Downstream User’. Preparations/mixtures (two or more substances mixed together) are NOT required to be registered. However, each substance that goes into a preparation needs to be registered by the manufacturer or importer of the substance, if the amount manufactured or imported is 1 tonne or greater.

The key activity for our suppliers in the period between June 2008 and December 2008 was to pre-register their substances. As part of this process, we contacted our chemical suppliers regarding their intentions to pre-register the materials that they supply to us. The results of this showed that all materials we use were pre-registered and hence we have not experienced any supply problems.

Some customers have requested pre-registration numbers for substances contained in our products. We would like to make it clear that, at this stage, we are not in a position to provide this information in full, as we do not have this level of detail from our suppliers. Furthermore, as stated above, this is not a statutory requirement.

What is REACH?

REACH is a European Union regulation concerning the Registration, Evaluation, Authorisation and Restriction of Chemicals.

REACH applies to substances manufactured or imported into the EU in quantities of 1 tonne or more per year.

The REACH Regulation (EC) 1907/2006 came into force on 1 June 2007.

Understanding the changes to our Safety Data Sheets and labels – REACH/Substances of Very High Concern

The REACH regulations are placing more restrictions on the use of phthalates within products. Does Magnaflux EMEAR manufacture any products that contain phthalates that are restricted?

Phtlalates are a type of chemical substance that are commonly used as plasticisers. Plasticisers are commonly used in paints and plastics to give these products increased flexibility and durability. The largest use of plasticisers within Europe is within PVC wire and cable applications within industrial and consumer electronics and electrical wiring. Within PVC plasticisers are used to make the PVC soft and bendable.

Magnaflux EMEAR currently uses a low level of the phthalate DINP (diisononyl phthalate) within its contrast paints (BYCOTEST® 104A, BYCOTEST® 104Plus, MAGNAVIS® WCP-2 and TIEDE® 695.1) and also in our solvent-removeable and water-washable penetrant SPOTCHECK® SKL-SP2.

The only current restrictions on the use of the plasticiser DINP are as follows:

Annex XVII to REACH. Conditions of restriction for DINP, CAS number: 68515-48-0, EC number: 271-090-9

  • Shall not be used as substances or in mixtures, in concentrations greater than 0.1 % by weight of the plasticised material, in toys and childcare articles which can be placed in the mouth by children.
  • Such toys and childcare articles containing these phthalates in a concentration greater than 0.1 % by weight of the plasticised material shall not be placed on the market.
  • For the purpose of this entry ‘childcare article’ shall mean any product intended to facilitate sleep, relaxation, hygiene, the feeding of children or sucking on the part of children.

As such there is no listed restriction on it use within our products.

Our recommendation when using any of our chemical consumable products is to carry out a chemical risk assessment locally (please refer to our FAQs on Chemical risk assessments). As part of the assessment regarding these specific products we would encourage you to refer to the following sections of their respective Safety Data Sheets:

  • The ‘Derived No Effect Level’ (DNEL) listed within Section 8.1 of the SDS.
  • The exposure controls recommended within Section 8.2 of the SDS.

Do any Magnaflux EMEAR products contain Substances of Very High Concern (SVHCs)?

Magnaflux EMEAR keep an ongoing watch on the substances that are listed on the Candidate List and Annex XIV list and, where appropriate, have taken, and will continue to take, pro-active action to ensure that all NDT materials and articles do not contain substances on these lists.

How do I know if a substance is categorised as a Substance of Very High Concern (SVHC)?

Substances that meet the criteria as a SVHC may be placed in one or both of two lists that are defined under the REACH regulation, namely:

  • The Candidate List.
  • The Annex XIV List.

Information on SVHCs is held by the European Chemicals Agency.

What are Substances of Very High Concern (SVHCs)?

Under REACH, there are specific requirements for Substances of Very High Concern (SVHC).

In general terms, SVHCs are substances that have hazards with serious and often irreversible effects on human health or the environment – for example, they cause cancer, or they have other hazardous properties and/or remain in the environment for a long time with their amounts in animals gradually building up.

Chemical risk assessments

Are there specific considerations to be aware of when spraying products?

Airborne liquids in the form of fine sprays or mists require respirators fitted with particle filters. However, particle filters do not protect against gas or vapour so, when spraying products, we recommend using a combined respirator filter, e.g. A2P3 or ABEK-P3.

If the product is classified as an Eye Irrit. 2 or Eye Dam.1, we recommend that tightly-fitting goggles are worn if a fine spray or fog is created.

If creating a fine spray or fog in a confined space, then the user should consider wearing a full face mask respirator fitted with an A2P3 filter, along with protective gloves and a chemically impervious protective suit, to ensure protection from airborne liquids as part of their chemical risk assessment.

What do ABEK and P1, P2 and P3 mean in terms of respiratory protection?

The A, B, E and K denominations refer to the type of gaseous contaminants that respiratory filters are designed to protect the user against. To summarise:

  • A (Brown) – organic vapours and gases with boiling points > 65°C
  • B (Grey) – inorganic gases excluding carbon monoxide
  • E (Yellow) – sulphur dioxide and acidic gases
  • K (Green) – ammonia and organic ammonia derivatives

Other vapour and gas filters are as follows:

  • AX (Brown) – organic vapours and gases with boiling points < 65°C
  • Hg-P3 – mercury
  • NO-P3 – oxides of nitrogen
  • CO – carbon monoxide

P ratings identify a product’s protection against particles. P3 offers the highest level of protection.

Whilst an AX filter would be more applicable to some of our products – such as MAGNAVIS WCP-2 and SPOTCHECK SKD-S2, as these also contain particulate materials – the A2P3 and ABEK P3 filters offer the best compromise as a combined gas/particle filter.

Note that airborne liquids in the form of fine sprays and mists require a particle filter.  However, particle filters do not protect against gas or vapour so, when using aerosols or creating an aerosol mist, a combined gas/particle filter, such as A2P3 or ABEK-P3 is recommended.

Regarding skin protection for the hands, what factors do I need to consider?

You will find that glove manufacturers refer to the following three factors:

  • Breakthrough time – this is the time taken for a product to permeate through the glove. Basically this tells you how long you can use the glove for.
  • Permeation rate – this relates to the amount of a product that will go through the glove. The key point here is to choose a glove that has a low permeation rate.
  • Degradation – this relates to the fact that some products will attack and degrade the glove material. It is important to choose gloves that have a good degradation rating for the product you are using.

In Section 8.2 of our Magnaflux EMEAR SDSs you will find clear recommendations on the recommended glove type that take into account the factors listed above.

Where can I find information on the recommended Personal Protective Equipment (PPE) for use with the Magnaflux EMEAR products?

A summary of the recommended Personal Protective Equipment (PPE) can be found in section 8.2 ‘Exposure Controls’ of our Magnaflux EMEAR Safety Data Sheets. These are available for download here.

In terms of employee protection, is the use of Personal Protective Equipment (PPE) the only thing I need to think about?

No, it is important that a workplace risk assessment is carried out (see ‘Should I carry out my own risk assessment?‘). As you will see the use of Personal Protective Equipment (PPE) is only considered at the point where all other factors to minimise the risk of exposure have been assessed, for example, using local exhaust ventilation.

Are there specific considerations to be aware of when working in confined spaces?

It is not uncommon for an NDT inspection to be carried out in a confined space.

Confined spaces represent a specific hazard where there is the potential risk of death or severe injury from hazardous substances or dangerous conditions, such as a lack of oxygen. As such, a workplace risk assessment for a confined space needs to take extra factors into account.

Consideration also needs to be made to the type of products that are being used within such environments. For example, is it possible to:

use a bulk product that could be applied using with a brush instead of an aerosol product (where there is a higher risk of airborne product)?

use a water-based or water-washable product instead of an oil-based or solvent-removeable product?

when using cleaner, change from spraying onto the part to spraying into a cloth that is then used to clean the part?

What hazards do I need to be aware of when using powdered materials?

Magnaflux EMEAR supplies a number of powdered products:

  • BYCOTEST® BY6000
  • BYCOTEST® BY7000
  • MAGNAFLUX® Activated Carbon
  • MAGNAGLO® 14A
  • MAGNAGLO® MG 410
  • MAGNAVIS® 1 Grey
  • MAGNAVIS® 3A Black
  • MAGNAVIS® 8A Red
  • TIEDE® 601.1
  • ZYGLO® ZP-4B
  • ZYGLO® ZP-5B
  • ZYGLO® ZP-14A

Important points when using these products

In addition to having potential chemical safety hazards, the raw materials within our powdered products will potentially have associated workplace exposure limits (WELs). More specific information on these and the appropriate exposure controls are detailed in Section 3 – Composition/Information on ingredients – and Section 8 – Exposure controls/Personal protection – of the Safety Data Sheet (SDS).

You must also take extra care as powders can form explosive mixtures in air. Details on this are provided in the following SDS sections:

  • Section 6 – Accidental release measures.
  • Section 7 – Handling and storage.

With the European Union there are two directives for controlling explosive atmospheres:

  • Directive 99/92/EC (also known as ‘ATEX 137’ or the ‘ATEX Workplace Directive’) on minimum requirements for improving the health and safety protection of workers potentially at risk from explosive atmospheres.
  • Directive 94/9/EC (also known as ‘ATEX 95’ or ‘the ATEX Equipment Directive’) on the approximation of the laws of Members States concerning equipment and protective systems intended for use in potentially explosive atmospheres.

If you have concerns about explosion risks, refer to the EU directives above for guidance.

Should I carry out my own chemical risk assessment?

The chemical safety information that we provide via the SDS and product label represents generic information about the product.

When using any chemical product, we recommend that you carry out a workplace risk assessment. This assessment should include the following:

  • Assessment of the chemical product – using the chemical information provided on the SDS.
  • Assessment of the specific process/activity where the product is used – for example, NDT method, method of application (spraying, dipping etc), quantity of chemical product being used, duration of exposure etc.
  • Assessment of the personnel that will be involved with the process/activity – level of competence, level of training, etc.
  • Assessment of current control measures – for example, safe systems of work, local exhaust ventilation, personal protective equipment.
  • Final assessment based on all of the above findings.

Within the United Kingdom, the use of chemical risk assessments is mandatory and is covered by the Control of Substances Hazardous to Health (COSHH) regulations.

Safe handling of powdered materials and dusts

What can I do if I am still concerned about the risk of fire or explosion?

The most important task is to carry out a risk assessment to answer questions such as:

  • Is my dust capable of exploding?
  • Where could dense dust clouds form?
  • What could ignite them? How likely is this?
  • What would be the consequences?
  • Who would be at risk?
  • Could we prevent the risk of an explosion altogether? If this is not possible, what could we do to protect people and minimise the consequence of an explosion?

Following this assessment, consider the options below in the following order:

  • Can the risk be eliminated?
  • What controls do I need to put in place to minimise the risk?
  • Do I need to put supplementary controls in place to mitigate any consequences?

Once this is done, look at the controls that may allow you to prevent the risk of an explosion. These might include:

  • Containing the area in which the powders/dusts would be present.
  • Restricting personnel access to the areas where powders/dusts will be present.
  • Having an extraction system that removes powders and dusts from the workplace.
  • Ensuring that any filters associated with this extraction system are appropriately maintained.
  • Having control over sources of ignition, which might include welding operations, other hot work, sparks from grinding processes, electrostatic discharges, smoking materials, etc.
  • Ensuring the use of safe systems of work, such as ‘permit to work’ systems, when carrying out hot work.
  • Training of personnel that work within the likely risk areas, on the hazards associated with dusts and the controls provided.
  • Ensuring best practise on the importance of good house keeping, the need to report any releases of powders that could represent an explosion hazard, and also the need to report any work practises or equipment malfunctions that could be a source of ignition.

When using Magnaflux EMEAR powdered products (dry magnetic powders, developer powders), is there a risk of fire or explosion?

Within our Safety Data Sheets (SDSs), we make reference in a number of areas (listed below) of steps to minimise the level of risk. If you have any concerns, we strongly recommend that you familiarise yourself with these sections. If you follow our recommendations, you should not have a situation which leads to a fire or explosion risk.

  • Section 5 – Firefighting measures
  • Section 6 – Accidental release measures
  • Section 7 – Handling and storage
  • Section 8 – Exposure controls/personal protection
  • Section 10 – Stability and reactivity

What is meant by the terms ‘lower and upper explosion limits’?

Before a fire or explosion can occur, three conditions must be met simultaneously: a fuel (i.e. combustible gas) and oxygen (air) must exist in certain proportions, along with an ignition source, such as a spark or flame.

The minimum concentration of a particular material necessary to combust in air is defined as the Lower Explosive Limit (LEL) for that material. Below this level, the mixture is too “lean” to burn. The maximum concentration of a material that will burn in air is defined as the Upper Explosive Limit (UEL). Above this level, the mixture is too “rich” to burn. The range between the LEL and UEL is known as the flammable range for that material.

Is there a risk of powdered materials causing an explosion?

Yes; however, while an intimate mixture of a flammable powder/dust and air may burn with explosive violence, not all mixtures will do so. There is a range of concentrations of the powder/dust and air within which the mixture can explode, but mixtures above or below this range cannot. The lowest concentration of powder/dust capable of exploding is referred to as the lower explosive limit and the concentration above which an explosion will not take place as the upper explosive limit.

Is it possible for powdered materials to burn?

Yes. The specific risk with powdered materials and dusts is that they consist of a solid material with a large surface area. If ignition occurs when there is an airborne cloud of the powder, it is possible for this cloud to burn very quickly. This can lead to a rapid release of heat and gases and, within a confined area, this could lead to the generation of pressure levels that the industrial plant might not be able to withstand.

Are there specific hazards associated with the use of powdered materials?

Yes, there are two potential hazards that you should be aware of with the Magnaflux EMEAR powdered materials, namely:

  • The nature of these products means that some of their ingredients will have associated Workplace Exposure Limits (WELs). Information on the recommended levels of exposure to such ingredients can be found in Section 8.1 of our Magnaflux EMEAR Safety Data Sheets (SDSs). You will also find in Section 8.2 of the SDS information on the recommended control measures both in terms of engineering controls and Personal Protective Equipment (PPE).
  • Under certain conditions, powdered materials may represent a fire hazard or become an explosive mixture in air. Information on this potential risk is stated in Section 5.2 of the SDS.

Transport

Some Magnaflux products now carry the GHS05 corrosive symbol; is this because the formulation for these products has changed, and does this mean that it should be treated as a corrosive liquid for transportation purposes?

The formulation for these products has not changed. However, under CLP, the boundaries for classification for eye irritation are much lower: where a product carries the hazard statement ‘H318 Causes serious eye damage’, there is a requirement to carry the GHS05 corrosive symbol for use of the product. However, from a transportation point of view the product is not classified as dangerous, and hence there is no requirement to carry the corrosive transportation symbol or for the product to be covered by a Dangerous Goods Note (DGN). Click here for a full list of CLP and transport classifications.

Biocides

Is the isopropanol found in a number of Magnaflux EMEAR products being used as a biocide or to extend its shelf life?

Annex V to the BPR classifies biocidal products into 22 biocidal groups. PT6 describes the use of preservatives during storage – ‘Used for the preservation of manufactured products, other than foodstuffs, feeding stuffs, cosmetics or medicinal products or medical devices by the control of microbial deterioration to ensure their shelf life. Used as preservatives for the storage or use of rodenticide, insecticide or other baits’.

Isopropanol (isopropyl alcohol, propan-2-ol, CAS number: 67-63-0) is used within the following Magnaflux EMEAR products:

Product Product type Isopropanol purpose
BYCOTEST® C5 Solvent-based cleaner Solvent carrier fluid
BYCOTEST® C10 Solvent-based cleaner Solvent carrier fluid
BYCOTEST® D30plus Solvent-based developer Solvent carrier fluid
BYCOTEST® RP20LT Low-temperature red penetrant Wetting agent
SPOTCHECK® SKD-S2 Solvent-based developer Solvent carrier fluid
TIEDE® DL-20 Solvent-based developer Solvent carrier fluid
ZYGLO® ZP-9F Solvent-based developer Solvent carrier fluid

Whilst isopropanol can be used as a biocide (biocide grade isopropanol is a purer form used for sterilisation) this is not its purpose of the isopropanol within these products – it is simply being used as a carrier fluid or as a wetting agent. Magnaflux only uses biocides to protect water based products where there is the risk of bacterial or mould growth. This is not necessary with the above products – there is no need for a biocide to prevent microbial and algal development or to extend the products life.

Volatile Organic Compounds (VOC)

Where can I find the VOC content of Magnaflux products?

If you require the VOC content of any Magnaflux EMEAR products, you should contact your distributor, who will have access to this information.

Which definition has Magnaflux EMEAR used when determining VOC content of its formulations?

VOC has been defined by vapour pressure at 20°C when determining the VOC content of Magnaflux formulations.

In order to determine the total VOC content of the formulations, each substance in the formulation is taken individually. All organic substances with a vapour pressure over the 0.01 kPa limit are considered. The sum of the % weights of each VOC in the formulation is used to give a total % weight VOC. Within Europe, the VOC content of a finished product is usually expressed in terms of grams of VOC per litre. As a result the % weight VOC is converted into g/l using the density of the formulation.

Magnaflux EMEAR is only able to calculate VOC content of our formulations where we know the vapour pressure of the individual substances used in our formulations. In some cases we do not have this data from our supplier.

What is the VOC content of a mixture?

In practice, many Magnaflux formulations are a mixture of substances. It is virtually impossible for the formulator to predict or calculate the vapour pressure of the whole system they use, because of the complexity of physicochemical interactions between the components of the system, even when the vapour pressures of the pure raw materials are supplied by the manufacturers.

What is a VOC?

There are a number of definitions of a “Volatile Organic Compound” (VOC) in the EU:

  • The VOC Solvents Directive (1999/13/EC) defines a VOC by its vapour pressure; a compound is defined as a VOC if the vapour pressure is 0.01 kPa or more at 293.15 K).
  • The National Emission Ceilings Directive (2001/81/EC) defines a VOC as all organic compounds arising from human activities, other than methane, which are capable of producing photochemical oxidants by reactions with nitrogen oxides in the presence of sunlight.
  • The Paints Directive (2004/42/EC) defines a VOC by its boiling point; VOC if boiling point is less than or equal to 250 ºC at a standard pressure of 101.3 kPa).
  • The Industrial Emissions Directive (2010/75/EU) defines a VOC as any organic compound having, at 293.15 K (20°C), a vapour pressure of 0.01 kPa or more, or having a corresponding volatility under the particular conditions of use.

Other chemical safety issues

Does Magnaflux EMEAR give recommendations on maximum storage and usage temperatures?

Yes we do, you will find this information on our Storage and Usage Temperatures page.

This information is key to understanding the limits our products should be exposed to without presenting safety risks. This is particularly important in situations where the workplace is hot and/or where the components to be inspected are at elevated temperatures.

What does the term ‘flash point (PMCC)’ mean?

PMCC refers to the Pensky-Martens Closed Cup method which is used by Magnaflux EMEAR to carry out flash point testing. This method is used in order to comply with AMS 2644, which specifies that the flash point of MPI and LPI products (excluding aerosols) should be > 93°C.

What does the term ‘flammable liquids’ mean?

Flammable liquids have a flash point that is in the range 21°C to 55°C.

Highly flammable liquids have a flash point below 21°C but which are not classified as extremely flammable.

Extremely flammable liquids have a flash point below 0°C and a boiling point or initial boiling point less than or equal to 35°C.

What does the term ‘flash point’ mean?

The flash point of a liquid is the lowest temperature at which vapours from the liquid will ignite in the presence of a source of ignition, such as a flame, spark or electrostatic discharge.

The autoignition temperature of a liquid is the lowest temperature at which vapours from the liquid will ignite even without a source of ignition.

The fire point of a liquid is the lowest temperature at which a vapour will keep burning after having been ignited and the source of ignition removed. The fire point will be higher than the flash point because, at the flash point, the vapour may cease to burn following removal of the ignition source.

The lower explosion limit (LEL) is lowest concentration of a gas or vapour in air that is capable of producing a flash of fire in the presence of a source of ignition, such as a flame, spark or heat.

Triphenyl phosphate is classified as ‘Hazardous to the Aquatic Environment’; why is this not mentioned in some of your SDSs?

Triphenyl phosphate is a by-product from the manufacturing process of isodecyldiphenylphosphate. This entire product has been REACH-registered, and ecotoxicity tests on this product have been completed by our supplier. The classification of this product for ecotoxicity is based on the test results of the entire product. According to these tests, and the SDS from our supplier, this product is not classified as hazardous to the environment. As the phosphate product is not classified as hazardous to the environment, this product is not a relevant component of the mixture according to 4.1.3.1 of (EC) Number 1272/2008, therefore it is not included in the calculation.

This classification affects the following Magnaflux products:

  • ZYGLO® ZL-2C
  • ZYGLO® ZL-27A (aerosol and bulk products)
  • ZYGLO® ZL-37

Do any Magnaflux EMEAR products contain ozone-depleting chemicals?

The primary cause of ozone depletion in the upper atmosphere stems from man-made CFCs (chlorofluorocarbons). Such chemical products were commonly used as propellants within aerosol products.

The use of such products was banned within the EU during the 1990s. None of Magnaflux EMEAR’S products contain CFCs or any other ozone-depleting compounds. The propellant mix used within our aerosol products is hydrocarbon based.

How should I dispose of empty aerosol cans?

Although, in the UK, aerosols are not a category of Hazardous Waste under the Lists of Wastes Regulations 2005, materials containing flammable solvents and/or flammable aerosol propellants are classed as Hazardous Waste. As a result, empty Magnaflux EMEAR aerosols fall under the Hazardous Waste Regulations because of their residual contents.

Furthermore, depending on the product type, some aerosols may contain irritants or residual amounts of liquids or solids that have other hazardous characteristics that make them harmful, or may be dangerous to the environment.

Magnaflux EMEAR therefore recommends the use of a licensed waste contractor for the disposal of Magnaflux aerosols. Please seek the advice of an approved waste disposal contractor for further information.

Further information

The British Aerosol Manufacturer’s Association provide a guide on recycling empty aerosols which is available at Recycling Empty Aerosols. This provides guidance on puncturing empty aerosols, so that the hazardous contents can be removed and the metal and plastic components of the aerosol can be recovered and recycled. Note that this should be carried out under the requirements of DSEAR1, and that a chemical risk assessment (COSHH assessment2) of the contents should be conducted. In addition, operatives must be fully trained in the puncturing procedure and must wear appropriate Personal Protective Equipment (PPE).

Disclaimer

The information given in this FAQ is given in good faith, but does not imply acceptance of any liability or responsibility for the consequences of its use or misuse in any particular circumstances.

1 Dangerous Substances and Explosive Atmospheres Regulations 2002

2 A risk assessment of the operation should be carried out in accordance with the Control of Substances Hazardous to Health (COSHH) Regulations 2002 to identify the potential hazards arising from the chemicals likely to be present.

Are there any issues with Magnaflux EMEAR chemical products in relation to the End of Life Vehicle (ELV) and Restriction of Hazardous Substances (RoHS) directives?

Both of these directives relate to the same concern –  that certain substances could find their way into drinking water when particular products are discarded to landfill sites. To address this, the European Union (EU) came out with two directives to ensure that all designated products are free of lead, mercury, hexavalent chromium, polybrominated biphenyls (PBBs) and polybrominated diphenyl ethers (PDBEs).

The End of Life Vehicles (ELV) directive relates to passenger cars and light commercial vehicles, and covers aspects along the lifecycle of a vehicle, as well as aspects related to treatment operations. Applicable from July 2007, the ELV’s objectives are:

  • To prevent the use of certain heavy metals, such as cadmium, lead, mercury and hexavalent chromium.
  • To facilitate collection of vehicles at suitable treatment facilities.
  • To enable de-pollution of fluids and specific components.
  • To facilitate coding and/or information on parts and components.
  • To ensure the provision of information for consumers and treatment organisations.
  • To achieve reuse, recycling and recovery performance targets.

The Restriction of Hazardous Substances (RoHS) directive covers a broad array of products, broadly grouped as:

  • Large and small household appliances.
  • IT and telecommunications equipment.
  • Consumer equipment.
  • Lighting equipment (including light bulbs).
  • Electronic and electrical tools.
  • Toys, leisure and sports equipment.
  • Medical devices (exemption removed in July 2011).
  • Monitoring and control instruments (exemption removed in July 2011).
  • Automatic dispensers.
  • Semiconductor devices.

The RoHS directive does not apply to fixed industrial plant or tools.

Magnaflux EMEAR products do NOT contain any of the substances of concern covered by these directives.

If you still have questions, email us at support.eu@magnaflux.com.