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How to manage supplier chain info exchange



Customers version - Suppliers version

  • Customers (Downstream Users) have been informed during the first step of the Legislation implementation, with information letters and up-dating memos on the various actions carried out by the Group.
  • Particular attention has been paid to manage information flow between extra Europe Subsidiaries and their Customers.
  • Please note there is no obligation to comply with the REACh requirements, by a producer having registered offices outside the European Union, on condition that, the producer doesn’t sell substances (or preparations/polymers containing substances) to European Customers.
  • An example: a request from extra-Europe Subsidiaries selling to European Customers, is completely on the parent Company to handle.
  • The role of Customers is crucial to set down uses, processes and exposure scenarios identified by the Legislation and been part of the registration dossier.
  • All indicated uses, process and exposure scenarios shall be authorized for Europe deals, all the excluded and/or not-envisaged shall not be authorized.
  • Therefore the interplay between manufacturers and users is so important to fill data gaps with creative solutions.
  • Suppliers have been informed during first step of the legislation implementation, with information letters and up-dating requesting them their actions so to become REACH compliant and updated MSDS on the supplied substances.
  • Please note that there is a precise obligation to comply with REACH requirements, by a producer having registered offices outside the European Union, on condition that, the producer sells substances (or preparations/polymers containing substances) to European Customers. The regulation requires the Non-EU manufacturer to authorize an Only Representative office having registered office inside the European Union by signature of a contract.
  • Bozzetto Group is using both EU suppliers and Non-EU suppliers. There is no difference either if the raw material is supplied to a EU or to a Non-EU Bozzetto subsidiary. This means that every supplier is committed to deliver to Bozzetto Group REACH compliant products. This is our effort in offering our customers a full service.
  • EU suppliers are requested to prepare for a declaration on the pre-registration and on future registration intentions.
  • Non-EU suppliers are requested to prepare for a declaration of Only Representative authorisation as well a declaration on the pre-registration and on future registration intentions
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