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This statement acknowledges that Ruland Manufacturing Company's products are compliant to the European Union Regulation (EC) 1907/2006 (the Registration, Evaluation, Authorization, and Restriction of Chemicals or REACH).
Please note that Ruland Manufacturing Company undertook the following two reviews:
- Ruland Manufacturing Company researched its role and responsibility as defined by REACH
- Ruland Manufacturing Company contacted its suppliers and requested that they review their components' raw materials, alloys, and additives against the REACH SVHC initial candidate list shown below:
| Substance Identification |
| 1 |
2,4-Dinitrotoluene |
(EC No.204-450-0) |
| 2 |
4,4'- Diaminodiphenylmethane(MDA) |
(EC No.202-974-4 ) |
| 3 |
5-tert-butyl-2,4, 6-trinitro-m-xylene (musk xylene) |
(EC No.201-329-4) |
| 4 |
Acrylamide |
(EC No.201-173-7) |
| 5 |
Alkanes, C10-13, chloro (Short Chain Chlorinated Paraffins) |
(EC No.287-476-5) |
| 6 |
Aluminosilicate Refractory Ceramic Fibres |
(index number 650-017-00-8) |
| 7 |
Ammonium dichromate |
(EC No.232-143-1) |
| 8 |
Anthracene |
(EC No.204-371-1) |
| 9 |
Anthracene oil |
(EC No.292-602-7) |
| 10 |
Anthracene oil, anthracene paste |
(EC No.292-603-2) |
| 11 |
Anthracene oil, anthracene paste, distn.anthracene fraction |
(EC No.295-275-9) |
| 12 |
Anthracene oil, anthracene paste, distn.Lights |
(EC No.295-278-5) |
| 13 |
Anthracene oil, anthracene-low |
(EC No.292-604-8) |
| 14 |
Benzyl butyl phthalate (BBP) |
(EC No.201-622-7 ) |
| 15 |
Bis (2-ethylhexyl)phthalate (DEHP) |
(EC No.204-211-0 ) |
| 16 |
Bis (tributyltin) oxide |
(EC No.200-268-0) |
| 17 |
Boric acid |
(EC No.233-139-2, 234-343-4) |
| 18 |
Cobalt dichloride |
(EC No.231-589-4 ) |
| 19 |
Diarsenic pentaoxide |
(EC No.215-116-9 ) |
| 20 |
Diarsenic trioxide |
(EC No.215-481-4 ) |
| 21 |
Dibutyl phthalate (DBP) |
(EC No.201-557-4 ) |
| 22 |
Diisobutyl phthalate (DIBP) |
(EC No.201-553-2) |
| 23 |
Disodium tetraborate, anhydrous |
(EC No.215-540-4) |
| 24 |
Hexabromocyclododecane (HBCDD) α-HBCDD,β-HBCDD,γ-HBCDD |
(EC No.247-148-4, 221-695-9) |
| 25 |
Lead chromate |
(EC No.231-846-0) |
| 26 |
Lead chromate molybdate sulfate red (C.I. Pigment Red 104) |
(EC No.235-759-9) |
| 27 |
Lead hydrogen arsenate |
(EC No.232-064-2 ) |
| 28 |
Lead sulfochromate yellow (C.I. Pigment Yellow 34) |
(EC No.215-693-7) |
| 29 |
Coal tar pitch, high temperature |
(EC No.266-028-2) |
| 30 |
Potassium chromate |
(EC No.232-140-5) |
| 31 |
Potassium dichromate |
(EC No.231-906-6) |
| 32 |
Sodium chromate |
(EC No.231-889-5) |
| 33 |
Sodium dichromate, dihydrate |
(EC No.234-190-3 ) |
| 34 |
Tetraboron disodium heptaoxide, hydrate |
(EC No.235-541-3) |
| 35 |
Trichloroethylene |
(EC No.201-167-4) |
| 36 |
Triethyl arsenate |
(EC No.427-700-2) |
| 37 |
tris(2-chloroethyl)phosphate |
(EC No.204-118-5) |
| 38 |
Zirconia Aluminosilicate, Refractory Ceramic Fibres
|
(index number 650-017-00-8) |
The results of the respective reviews are as follows:
- Ruland Manufacturing Company’s role is that of an article producer with its manufactured products considered as defined under REACH regulation Article 3.
- Ruland Manufacturing Company received written responses from its suppliers, declaring that none of the aforementioned listed 38 SVHC substances can be found in their materials.
Based on the aforementioned information, Ruland Manufacturing Company has determined that there is no further action required on our company’s part according to REACH. |
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