REACH stands for Registration, Evaluation, Authorisation and Restriction of Chemicals. It is an EU regulation, formally EC 1907/2006, adopted on 18 December 2006 and entering into force on 1 June 2007. REACH is enforced by the European Chemicals Agency (ECHA), headquartered in Helsinki, Finland.
REACH applies to virtually all chemical substances — whether used on their own, contained in a mixture, or present in a manufactured article (a finished product like a phone case, a garment, or a chair). Its core objective is to ensure that companies placing chemicals or chemical-containing products on the EU market identify and manage the risks associated with the substances they use.
Unlike RoHS, which restricts a fixed list of substances specifically in electrical and electronic equipment, REACH covers a much broader universe of products and an actively growing list of substances of concern.
The Four Pillars: R-E-A-C-H
| Pillar | What It Means |
|---|
| Registration | Manufacturers and importers bringing more than 1 tonne/year of a substance into the EU must register it with ECHA, providing safety and usage data. |
| Evaluation | ECHA and EU member states review registration dossiers and testing proposals to verify compliance and identify risks. |
| Authorisation | Substances of Very High Concern (SVHCs) may only be used for specific authorised purposes once listed on the Authorisation List (Annex XIV). |
| Restriction | Certain substances or uses are banned or limited outright under Annex XVII, regardless of authorisation status. |
Understanding the SVHC Candidate List
The part of REACH that most directly affects product importers, brands, and sourcing teams is the SVHC Candidate List — a continuously updated list of Substances of Very High Concern.
- As of ECHA's February 2026 update, the Candidate List contains 253 substances, following the addition of n-Hexane and Bisphenol AF (BPAF) and its salts. The list is updated on a rolling basis, typically two to three times per year.
- Substances are added based on properties such as carcinogenicity, mutagenicity, reproductive toxicity (CMR), persistence and bioaccumulation (PBT/vPvB), or endocrine-disrupting effects.
- Common SVHCs found in consumer goods include certain phthalates (e.g., DEHP, DBP), lead compounds, and specific flame retardants.
The 0.1% Threshold Rule
If any SVHC is present in a manufactured article at a concentration above 0.1% weight by weight (w/w) of that article — not the entire product assembly, but each individual "article" component — specific legal duties are triggered, even if the substance is not banned.
Don't Let Chemical Non-Compliance Block Your Shipment. TradeAider coordinates REACH-compliant lab testing and documentation review before goods leave the factory. ➔ Get a Free Plan
Article 33: The Notification Duty Importers Often Miss
Article 33 of REACH creates a communication obligation that catches many importers off guard.
- Suppliers must inform: Any supplier of an article containing an SVHC above the 0.1% threshold must proactively inform their commercial customer (at minimum: the substance name).
- Consumers can request: Any consumer has the legal right to ask a company whether a product they purchased contains an SVHC above the threshold, and the company must respond within 45 calendar days, free of charge.
- This applies at every tier: A finished-goods importer is legally responsible for knowing whether their upstream component suppliers (e.g., a zipper manufacturer, a cable supplier) have SVHCs in their parts — even if the importer never handles raw chemicals directly.
REACH vs. RoHS: Key Differences
These two regulations are frequently confused because both concern restricted substances in the EU market. They are not interchangeable.
| REACH | RoHS |
|---|
| Full Scope | All chemical substances in nearly all product categories | 10 restricted substances, specifically in electrical/electronic equipment (EEE) |
| Legal Basis | EC 1907/2006 | Directive 2011/65/EU |
| List Type | Dynamic SVHC Candidate List (grows over time) | Fixed list of 10 substances |
| Compliance Mechanism | Registration, notification (Art. 33), authorisation, restriction | Maximum concentration values (MCVs), CE marking |
| Applies To | Toys, textiles, furniture, packaging, electronics, cosmetArticle components, and more | Only EEE and related cables/spare parts |
In practice, an electronics product sold in the EU typically needs to demonstrate compliance with both REACH and RoHS simultaneously — they are complementary, not substitutable.
How Importers Can Build a REACH Compliance Process
- Map your Bill of Materials (BOM) down to the component and material level — REACH liability is assessed per "article," not per finished product.
- Request Material Safety Data Sheets (MSDS/SDS) and SVHC declarations from every tier-1 and, where possible, tier-2 supplier.
- Commission third-party lab testing for high-risk material categories (plastics, printed materials, metal plating, synthetic textiles) against the current SVHC Candidate List.
- Monitor SVHC list updates twice yearly and re-screen existing product lines when new substances are added.
- Retain documentation for at least 10 years after the substance was last supplied, as required under REACH record-keeping obligations.
- Appoint an Only Representative (OR) if you are a non-EU manufacturer exporting without an EU-based legal entity, since REACH registration obligations fall on EU-established importers or their designated OR.
Penalties for Non-Compliance
Enforcement is handled at the EU member-state level, so penalties vary by country, but consequences commonly include:
- Market surveillance authorities can order products withdrawn or recalled from the EU market.
- Customs authorities may detain or seize shipments found to violate restriction limits.
- Fines in major markets (e.g., Germany, France) can reach tens of thousands of euros per violation, with repeat or willful violations escalating further.
- Reputational damage from public RAPEX (EU Safety Gate) alerts, which are searchable and frequently referenced by retailers and marketplaces like Amazon EU.
Why REACH Compliance Matters for Global Importers
- Market Access Protection: Non-compliant shipments risk being blocked at EU customs, causing costly delays, storage fees, and lost sales windows.
- Supply Chain Accountability: REACH shifts legal exposure onto anyone who places goods on the EU market — including importers with no direct chemical manufacturing — making supplier verification a business necessity, not a formality.
- Retailer & Marketplace Requirements: Major EU retailers and platforms increasingly require REACH/SVHC test reports as a precondition for listing approval, independent of government enforcement.
References
- European Parliament and Council of the European Union. Regulation (EC) No 1907/2006 concerning the Registration, Evaluation, Authorisation and Restriction of Chemicals (REACH). Official Journal of the European Union, L 396, 30 December 2006. Available via EUR-Lex: https://eur-lex.europa.eu/eli/reg/2006/1907/oj/eng
- European Chemicals Agency (ECHA). "REACH Legislation." https://www.echa.europa.eu/regulations/reach/legislation
- European Chemicals Agency (ECHA). "Candidate List of Substances of Very High Concern for Authorisation." https://echa.europa.eu/candidate-list-table
- European Chemicals Agency (ECHA). "Understanding REACH — Authorisation and Substances of Very High Concern." https://echa.europa.eu/understanding-reach
- European Chemicals Agency (ECHA). "Regulation (EC) No 1907/2006, Article 33 — Duty to Communicate Information on Substances in Articles." Text via EUR-Lex: https://eur-lex.europa.eu/eli/reg/2006/1907/oj/eng
- European Parliament and Council of the European Union. Directive 2011/65/EU on the Restriction of the Use of Certain Hazardous Substances in Electrical and Electronic Equipment (RoHS). Official Journal of the European Union, L 174, 1 July 2011.
- European Commission — Environment. "REACH Regulation." https://environment.ec.europa.eu/topics/chemicals/reach-regulation_en
- European Commission. "Safety Gate: EU Rapid Alert System for Dangerous Non-Food Products." https://ec.europa.eu/safety-gate/