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TURKREACH KKDIK FAQ provides answers to common questions about registration, evaluation, authorisation, SIEF processes and compliance requirements in Turkey.
TURKREACH KKDIK is abridgment of Registration, Evaluation, Authorization and Restriction of Chemicals in Turkey.
TURKREACH KKDIK Regulation entered into force to improve and arrange previous legal regulation related to chemicals. The MoEU manages registration, evaluation, authorization and restriction processes of the chemicals to provide to be adapted to TURKREACH KKDIK Regulation.
TURKREACH KKDIK Regulation and the other related regulation can mainly be found in helpdesk of the MoEU. The helpdesk web site of the MoEU is at the following link
Kimyasallar Yardım Masasi / Chemicals Helpdesk website.
Guide documents of the regulation provide explanatory and integrative information relatedto legal text. Guide documents can also be found at the following link
Rehber Dokumanlar (Guidence Documents)
You can also visit regulations part of our web site menu to find all related documents. We are continuing to prepare EN versions.
Provisions of TURKREACH KKDIK Regulation are applied by MoEU according to Article 61 of TURKREACH KKDIK Regulation.
Inspections related to provisions of this regulation are conducted by related establishments within own legislation according to Article 62 of TURKREACH KKDIK Regulation.
You can directly contact with MoEU helpdesk for more information.
Also our team can contact you for your further information needs.
TURKREACH KKDIK is abridgment of Registration, Evaluation, Authorization and Restriction of Chemicals in Turkey.
TURKREACH KKDIK Regulation entered into force to improve and arrange previous legal regulation related to chemicals. The MoEU manages registration, evaluation, authorization and restriction processes of the chemicals to provide to be adapted to TURKREACH KKDIK Regulation.
TURKREACH KKDIK Regulation and the other related regulation can mainly be found in helpdesk of the MoEU. The helpdesk web site of the MoEU is at the following link
Kimyasallar Yardım Masasi / Chemicals Helpdesk website.
Guide documents of the regulation provide explanatory and integrative information relatedto legal text. Guide documents can also be found at the following link
Rehber Dokumanlar (Guidence Documents)
You can also visit regulations part of our web site menu to find all related documents. We are continuing to prepare EN versions.
According to Article 9(1) of TURKREACH KKDIK, a natural or legal person established outside of the TR who manufactures substances (to be used on their own, in mixtures and/or to produce articles), formulates mixtures or produces articles, can nominate an only representative located within the TR to carry out the required registration of their substances that are imported (as such, in mixtures and/or in articles) into the TR.
Distributors are not mentioned in Article 9(1) of TURKREACH KKDIK and thus cannot appoint an only representative.
The only representative will have to fulfil the registration obligations of importers and comply with all other obligations of importers under the TURKREACH KKDIK Regulation.
More information on the only representative role is provided in section 2.3.1 – ‘Only representative of a “non-TR manufacturer”‘ of the Guidance on Registration.
Please contact to Doruksistem for well organised “Only Representative Services
A non-TR company (that can appoint an only representative, see FAQ 4.1) may, by mutual agreement, appoint a natural or legal person established in Turkey to act as his only representative. According to Article 9(2) of TURKREACH KKDIK this representative shall comply with all obligations of importers under TURKREACH KKDIK.
Therefore the Only Representative is required to have sufficient background in the practical handling of substances and the information related to them.
More information on the only representative is also provided in section 2.3.1 – ‘Only representative of a “non-TR manufacturer”‘ of the Guidance on Registration.
There are no detailed requirements or criteria regarding what is regarded as “sufficient background in the practical handling of substances and the information related to them” other than what is laid down in Article 9(2) of TURKREACH KKDIK.
Only representatives have to be:
And the following criterias are important for the appointed Only Representative (OR) in Turkey.
experts in SDS Compliance and Management
Please contact to Doruksistem for well organised “Only Representative Services
The issue of becoming an only representative is a question of mutual agreement between the “non-TR manufacturer” and the natural or legal person established in the TR who is being appointed as an only representative.
“Non-TR manufacturers” need to send a letter confirming this appointment to their only representative who must have it available in case of inspection by the relevant authority.
More information on the duties of the only representative is provided in section 2.3.1 – ‘Only representative of a “non-TR manufacturer”‘ of the Guidance on Registration.
In addition the “non-TR manufacturer” shall inform the importer(s) within the same supply chain of the appointment of the only representative according to Article 9(3) of the TURKREACH KKDIK Regulation. These importers shall be regarded as downstream users.
Yes, an only representative can represent one or several non-TR companies that manufacture substances, formulate mixtures or produce articles which are exported to the Turkey, even for the same substance.
More information on the duties of the only representative is provided in section 2.3.1 – ‘Only representative of a “non-TR manufacturer”‘ of the Guidance on Registration.
The importer or the only representative is responsible for submitting a registration dossier or a pre-registration (pre-sief registration) the registration deadlines for substances. In order to assist these actors under TURKREACH KKDIK, the “non-TR manufacturer” may wish to make himself aware of the information requirements laid down in TURKREACH KKDIK and start to collect the relevant information.
This may include correct identification (CAS or EC) number and naming of the substance and information on its composition. This is explained in more detail in the Guidance for identification and naming of substances under TURKREACH KKDIK and TR-CLP SEA.
The “non-TR manufacturer” may also assist in providing all available information regarding the intrinsic properties of the substances (see Annex VII to XI of TURKREACH KKDIK).
However, these supporting measures of the “non-TR manufacturer” cannot relieve the Only Representative or the importer from the duty to comply with all relevant obligations of the TURKREACH KKDIK Regulation.
An Only Representative must be able to document who he is representing (i.e. the name of the non-TR manufacture should be given in Chemical Registration System) and is advised to attach a document from the “non-TR manufacturer” appointing him as only representative in CRS (Chemical Registration System of MoEU).
It is not mandatory to include this information in the registration dossier, but it needs to be presented to the enforcement authorities upon request.
Furthermore an only representative is advised to include the “list of importers” in CRS.
The change of importers of a substance supplied by a non-TR manufacturer who appointed an only representative to register this substance does not trigger the requirement to update the list of importers indicated in Chemical Registration System (CRS) dossier.
However, the only representative is required, in accordance with Article 9(2) of TURKREACH KKDIK, to keep available and up-to-date information on quantities imported and customers sold to.
Information on the importers may be reported in CRS. The update of this list of importers is not subject to any fee.
According to Article 7(2) of TURKREACH KKDIK polymers do not have to be registered, but according to Article 7(3), the monomer substance(s) and other substances of the polymers that have not already been registered by an actor up the supply chain, are to be registered if both the following conditions are met:
The TURKREACH KKDIKRegulation defines polymers in Article 4(hh) and monomers in Article 4(gg).
The MoEU may present legislative proposals with requirements for the registration of polymers once a practicable and cost-effective way of selecting polymers for registration on the basis of sound technical and valid scientific criteria can be established.
Detailed guidance and practical examples are provided in the Technical Guidance for Monomers and Polymers.
According to Article 7(2) of TREACH, the reduced registration provisions with regard to on-site isolated and transported intermediates do not apply to monomers. This means that a full registration dossier must be submitted even if a monomer is used as an intermediate under strictly controlled conditions.
An impurity in a polymer is defined as an unintended constituent present in the manufactured polymer substance. It may originate from the starting materials, such as the monomers or any other reactants, or be the result of secondary or incomplete reactions during the production process. While it is present in the final substance it was not intentionally added. Examples of impurities in a polymer include unreacted monomers or other reactants, residual polymerisation catalyst, or any contaminant from the manufacturing process. The definition and detailed guidance on how to handle impurities can be found in Title 4.2.- ‘Substances of well defined composition’, Title 4.3.- ‘UVCB substances’, and ‘Criteria for checking if substances are the same’ of the Guidance for identification and naming of substances.
Some substances are commonly added to polymers for the purpose of adjusting or improving their appearance and/or the physicochemical properties of polymeric material.
Additives which are necessary to preserve the stability of a polymer must be regarded as a part of the polymer in accordance with Article 4(çç) of TREACH. Any other unbound “additive” must be regarded as a component of a mixture and not as an additive.
Thus, the importer of a polymer containing additives does not need to register these additives provided that the additives are added to preserve the stability of the polymer. Note however that there is the general obligation to register substances imported in a polymer mixture in quantities of at least 1 tonne per year. Detailed guidance and practical examples are provided in the Technical Guidance for Monomers and Polymers.
The provisions under the TURKREACH KKDIK Regulation with regard to information in the supply chain (Title IV), authorisation (Title VII) and restrictions (Title VIII) may also apply to polymers. Further information on this issue is provided in ‘Application for authorisation’, ‘Compliance with restrictions’, ‘Classification and labelling’, and Section ‘Information down the supply chain’ of the Technical Guidance for Monomers and Polymers.
Natural polymers are understood as polymers which are the result of a polymerisation process that has taken place in nature, independently of the extraction process with which they have been extracted (i.e. they may or may not fulfil the criteria)
Following Article 2(7)(a) of the TURKREACH KKDIK Regulation, any polymer meeting the criteria of Article 4(hh) of the TURKREACH KKDIK Regulation does not have to be registered.
According to Article 7(3) of the TURKREACH KKDIKRegulation any manufacturer or importer of a polymer shall submit a registration for the monomer substance(s) or any other substance(s) that meet the criteria mentioned in the respective article. However, monomer substance(s) or other substance(s) in the form of monomeric units and chemically bound substance(s) in natural polymers can, for practical reasons, be treated as “non-isolated intermediates” and do not have to be registered.
Natural polymers are understood as polymers which are the result of a polymerisation process that has taken place in nature, independently of the extraction process with which they have been extracted (i.e. they may or may not fulfill the criteria).
Following Article 2(7)(a) of the TURKREACH KKDIK Regulation, any polymer meeting the criteria of Article 4(hh) of the TURKREACH KKDIK Regulation does not have to be registered. This includes natural polymers which are chemically modified (e.g. post-treatment of natural polymers).
Monomer substance(s) or other substance(s) in the form of monomeric units and chemically bound substance(s) originating from the natural polymer can for practical reasons be treated as “non-isolated intermediates” and do not have to be registered. The substances used to chemically modify the natural polymer and which are chemically bound within the final polymer need to be registered according to the TURKREACH KKDIK requirements
Yes. The registration of a monomer or other substance chemically bound to a polymer shall include spectral data and a chromatogram of the original monomer or other substance used in the manufacture of the polymer. If it is not technically possible, or if it does not appear scientifically necessary to include this information, the reasons shall be clearly stated. Generic spectral data or a generic chromatogram cannot be accepted as this would not reflect the actual composition of the monomer or other substance used in the manufacture of the polymer.
It may be the case that a company imports a type of polymer from different sources, and thus a monomer or other substance used in the manufacture of this polymer probably also stems from different sources. Even when a company imports a polymer from just one source, it can happen that a monomer or other substance used in the manufacture of this polymer stems from different sources. In these cases the importer of the polymer is responsible for assessing the sameness of the monomer or other substance from the different sources. If he considers that the substances from the different sources are the same, he shall submit just one registration for this substance with one set of spectral data and one representative chromatogram. In this process he might still have found out that the substance from the different sources has different impurity profiles. He shall then refer to these different compositions of the substance in his registration dossier.
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