Dokumendiregister | Sotsiaalministeerium |
Viit | 1.4-2/1776-1 |
Registreeritud | 12.07.2024 |
Sünkroonitud | 15.07.2024 |
Liik | Sissetulev kiri |
Funktsioon | 1.4 EL otsustusprotsess ja rahvusvaheline koostöö |
Sari | 1.4-2 Rahvusvahelise koostöö korraldamisega seotud kirjavahetus (Arhiiviväärtuslik) |
Toimik | 1.4-2/2024 |
Juurdepääsupiirang | Avalik |
Juurdepääsupiirang | |
Adressaat | EV alaline esindus EL juures |
Saabumis/saatmisviis | EV alaline esindus EL juures |
Vastutaja | Heli Laarmann (Sotsiaalministeerium, Kantsleri vastutusvaldkond, Terviseala asekantsleri vastutusvaldkond, Rahvatervise osakond) |
Originaal | Ava uues aknas |
Commission européenne/Europese Commissie, 1049 Bruxelles/Brussel, BELGIQUE/BELGIË – Tel. +32 22991111
EUROPEAN COMMISSION DIRECTORATE-GENERAL FOR INTERNAL MARKET, INDUSTRY, ENTREPRENEURSHIP
AND SMES
DIRECTORATE-GENERAL FOR ENVIRONMENT
EUROPEAN CHEMICALS AGENCY
Brussels,
GROW.F1/AEA/nt
grow.f.1(2024)5121684
Their Excellencies
The Deputy Permanent
Representatives of the Member
States to the European Union
Sent by email only
Subject: Nomination of members to Committees for Risk Assessment and Socio-
economic Analysis under the REACH Regulation
Your Excellency,
We are writing to address a matter of importance concerning the implementation of our
European chemicals legislation, which falls under the remit of the European Chemicals
Agency (ECHA). Effective implementation is essential for a greener, safer, and more
competitive Europe. It ensures the highest protection against hazardous chemicals and
fosters innovation across Member States, as well as a unified European approach to
chemicals safety. ECHA plays a pivotal role in these processes and relies on the work of
its committees and working groups, in particular the Committees for Risk Assessment
(RAC) and Socio-Economic Analysis (SEAC).
These Committees are pillars of scientific scrutiny and evaluation within the EU's
regulatory framework for chemicals. They deliver transparent, independent, and high-
quality scientific opinions, providing a solid basis for decision-making, contributing to the
protection of human health and the environment, and enabling the free circulation of
chemicals on the internal market. Their role is crucial in regulating chemicals with direct
impact on citizens’ daily life and health (1) and in maintaining the competitiveness of
European industries, by ensuring that the implementation of regulations is consistent,
scientifically robust and economically viable.
We would like to flag the current challenges these committees are facing, in regard to their
functioning and resourcing. The tasks assigned to them over time, and particularly since
2020, have been increasing in complexity and scope, necessitating a diverse array of
expertise and sufficient capacity.
(1) for example bisphenols, lead, glyphosate, chemicals in tattoo inks, microplastics and the current
proposed ban on Per- and polyfluoroalkyl substances (PFAS).
2
According to the EU REACH Regulation2, Committee members are nominated by Member
States, who are required to provide support and technical assistance to the members of the
committees. But ECHA is currently confronted with a historically low level of committees’
membership. Some Member States have not nominated members to these committees. It
is therefore imperative to address this situation, which poses significant challenges to the
committees' ability to fulfil their mandates. In recent years, ECHA’s Management Board,
which includes members representing all EU Member States, as well as the heads of
Member States’ competent authorities have expressed strong concerns in this respect.
Some measures have been taken to enhance the Committees’ efficacy and workability,
including increasing membership and the adequacy of compensation for the authorities
employing the committee members. But despite these joint efforts that the Commission
has undertaken with ECHA, the continued effectiveness of the committees hinges upon the
active engagement and support of Member States.
We are extending our thank you for your valuable contribution to date. At the same time,
we kindly ask all Member States to nominate two candidates per committee, ensure
adequate support for such nominations, and that candidates possess the requisite
qualifications, expertise and working time, to serve as effective and active members.
ECHA stands ready to assist Member States in identifying suitable nominees for RAC and
SEAC, as well as to support members as they carry out their role. Your commitment and
contribution would significantly contribute to the sustainability of the EU’s regulatory
framework for chemicals, the protection of health and the environment, as well as well to
the sustainable competitiveness of the European chemicals industry.
We appreciate your attention to this matter and look forward to your positive response.
Thank you for your cooperation.
Yours sincerely,
(e-sign) (e-sign) (e-sign)
Kerstin Jorna Florika Fink-Hooijer Sharon Mc Guinness
Director-General Director-General Executive Director
DG Internal Market, DG Environment European Chemicals Agency
Industry, Entrepreneurship
and SMEs
Attachment: RAC and SEAC membership per country and extract from the REACH
Regulation
Copies: Members of the Management Board
2 Regulation (EC) No 1907/2006.
3
Attachment: RAC and SEAC membership per country
Country RAC SEAC
Austria 2 members 1 member
Belgium 1 member 1 member
Bulgaria 2 members -
Croatia 2 members 1 member
Cyprus 1 member 2 members
Czechia 1 member -
Denmark 2 members 1 member
Estonia - 1 member
Finland 2 members 1 member
France 2 members 2 members
Germany 2 members 2 members
Greece 2 members 1 member
Hungary 1 member 1 member
Iceland - -
Ireland 1 member 1 member
Italy 2 members 2 members
Latvia 2 members 1 member
Liechtenstein - -
Lithuania 2 members 2 members
Luxembourg 2 members 1 member
Malta - -
Netherlands 2 members 2 members
Norway 2 members 1 member
Poland 2 members -
Portugal 1 member 1 member
4
Country RAC SEAC
Romania 1 member -
Slovak Republic 1 member -
Slovenia 2 members 2 members
Spain 2 members 2 members
Sweden 2 members 1 member
Article 85 of Regulation (EC) No 1907/2006 of the European Parliament and of the
Council of 18 December 2006 concerning the Registration, Evaluation, Authorisation and
Restriction of Chemicals (REACH):
“1. Each Member State may nominate candidates to membership of the Committee for
Risk Assessment. The Executive Director shall establish a list of the nominees, which shall
be published on the Agency's website, without prejudice to Article 88(1). The Management
Board shall appoint the members of the Committee from this list, including at least one
member but not more than two from the nominees of each Member State that has
nominated candidates. Members shall be appointed for their role and experience in
performing the tasks specified in Article 77(3).
2. Each Member State may nominate candidates to membership of the Committee for
Socio-economic Analysis. The Executive Director shall establish a list of the nominees,
which shall be published on the Agency's website, without prejudice to Article 88(1). The
Management Board shall appoint the members of the Committee from this list, including
at least one member but not more than two from the nominees of each Member State that
has nominated candidates. Members shall be appointed for their role and experience in
performing the tasks specified in Article 77(3).”
Electronically signed on 09/07/2024 09:55 (UTC+02) in accordance with Article 11 of Commission Decision (EU) 2021/2121
From: Tiiu Noobel <[email protected]>
Sent: Thu, 11 Jul 2024 15:38:50 +0000
To: Tiiu Noobel <[email protected]>
Subject: FW: Nomination of members to Committees for Risk Assessment and Socio-economic Analysis under the REACH Regulation
From: [email protected] <[email protected]>
Sent: Thursday, July 11, 2024 2:11 PM
To: Esindus EL juures üldaadress <[email protected]>
Cc: [email protected]; ECHA Management Board <[email protected]>
Subject: Nomination of members to Committees for Risk Assessment and Socio-economic Analysis under the REACH Regulation
Dear Ambassador,
Please find attached a letter signed by the DG GROW Director-General Kerstin Jorna, by the DG ENV Director-General Florika Fink-Hooijer and by the ECHA Executive Director Sharon Mc Guinness concerning the above mentioned subject.
Yours faithfully,
European Commission
DG for Internal Market, Industry, Entrepreneurship and SMEs
REACH
Commission européenne/Europese Commissie, 1049 Bruxelles/Brussel, BELGIQUE/BELGIË – Tel. +32 22991111
EUROPEAN COMMISSION DIRECTORATE-GENERAL FOR INTERNAL MARKET, INDUSTRY, ENTREPRENEURSHIP
AND SMES
DIRECTORATE-GENERAL FOR ENVIRONMENT
EUROPEAN CHEMICALS AGENCY
Brussels,
GROW.F1/AEA/nt
grow.f.1(2024)5121684
Their Excellencies
The Deputy Permanent
Representatives of the Member
States to the European Union
Sent by email only
Subject: Nomination of members to Committees for Risk Assessment and Socio-
economic Analysis under the REACH Regulation
Your Excellency,
We are writing to address a matter of importance concerning the implementation of our
European chemicals legislation, which falls under the remit of the European Chemicals
Agency (ECHA). Effective implementation is essential for a greener, safer, and more
competitive Europe. It ensures the highest protection against hazardous chemicals and
fosters innovation across Member States, as well as a unified European approach to
chemicals safety. ECHA plays a pivotal role in these processes and relies on the work of
its committees and working groups, in particular the Committees for Risk Assessment
(RAC) and Socio-Economic Analysis (SEAC).
These Committees are pillars of scientific scrutiny and evaluation within the EU's
regulatory framework for chemicals. They deliver transparent, independent, and high-
quality scientific opinions, providing a solid basis for decision-making, contributing to the
protection of human health and the environment, and enabling the free circulation of
chemicals on the internal market. Their role is crucial in regulating chemicals with direct
impact on citizens’ daily life and health (1) and in maintaining the competitiveness of
European industries, by ensuring that the implementation of regulations is consistent,
scientifically robust and economically viable.
We would like to flag the current challenges these committees are facing, in regard to their
functioning and resourcing. The tasks assigned to them over time, and particularly since
2020, have been increasing in complexity and scope, necessitating a diverse array of
expertise and sufficient capacity.
(1) for example bisphenols, lead, glyphosate, chemicals in tattoo inks, microplastics and the current
proposed ban on Per- and polyfluoroalkyl substances (PFAS).
2
According to the EU REACH Regulation2, Committee members are nominated by Member
States, who are required to provide support and technical assistance to the members of the
committees. But ECHA is currently confronted with a historically low level of committees’
membership. Some Member States have not nominated members to these committees. It
is therefore imperative to address this situation, which poses significant challenges to the
committees' ability to fulfil their mandates. In recent years, ECHA’s Management Board,
which includes members representing all EU Member States, as well as the heads of
Member States’ competent authorities have expressed strong concerns in this respect.
Some measures have been taken to enhance the Committees’ efficacy and workability,
including increasing membership and the adequacy of compensation for the authorities
employing the committee members. But despite these joint efforts that the Commission
has undertaken with ECHA, the continued effectiveness of the committees hinges upon the
active engagement and support of Member States.
We are extending our thank you for your valuable contribution to date. At the same time,
we kindly ask all Member States to nominate two candidates per committee, ensure
adequate support for such nominations, and that candidates possess the requisite
qualifications, expertise and working time, to serve as effective and active members.
ECHA stands ready to assist Member States in identifying suitable nominees for RAC and
SEAC, as well as to support members as they carry out their role. Your commitment and
contribution would significantly contribute to the sustainability of the EU’s regulatory
framework for chemicals, the protection of health and the environment, as well as well to
the sustainable competitiveness of the European chemicals industry.
We appreciate your attention to this matter and look forward to your positive response.
Thank you for your cooperation.
Yours sincerely,
(e-sign) (e-sign) (e-sign)
Kerstin Jorna Florika Fink-Hooijer Sharon Mc Guinness
Director-General Director-General Executive Director
DG Internal Market, DG Environment European Chemicals Agency
Industry, Entrepreneurship
and SMEs
Attachment: RAC and SEAC membership per country and extract from the REACH
Regulation
Copies: Members of the Management Board
2 Regulation (EC) No 1907/2006.
3
Attachment: RAC and SEAC membership per country
Country RAC SEAC
Austria 2 members 1 member
Belgium 1 member 1 member
Bulgaria 2 members -
Croatia 2 members 1 member
Cyprus 1 member 2 members
Czechia 1 member -
Denmark 2 members 1 member
Estonia - 1 member
Finland 2 members 1 member
France 2 members 2 members
Germany 2 members 2 members
Greece 2 members 1 member
Hungary 1 member 1 member
Iceland - -
Ireland 1 member 1 member
Italy 2 members 2 members
Latvia 2 members 1 member
Liechtenstein - -
Lithuania 2 members 2 members
Luxembourg 2 members 1 member
Malta - -
Netherlands 2 members 2 members
Norway 2 members 1 member
Poland 2 members -
Portugal 1 member 1 member
4
Country RAC SEAC
Romania 1 member -
Slovak Republic 1 member -
Slovenia 2 members 2 members
Spain 2 members 2 members
Sweden 2 members 1 member
Article 85 of Regulation (EC) No 1907/2006 of the European Parliament and of the
Council of 18 December 2006 concerning the Registration, Evaluation, Authorisation and
Restriction of Chemicals (REACH):
“1. Each Member State may nominate candidates to membership of the Committee for
Risk Assessment. The Executive Director shall establish a list of the nominees, which shall
be published on the Agency's website, without prejudice to Article 88(1). The Management
Board shall appoint the members of the Committee from this list, including at least one
member but not more than two from the nominees of each Member State that has
nominated candidates. Members shall be appointed for their role and experience in
performing the tasks specified in Article 77(3).
2. Each Member State may nominate candidates to membership of the Committee for
Socio-economic Analysis. The Executive Director shall establish a list of the nominees,
which shall be published on the Agency's website, without prejudice to Article 88(1). The
Management Board shall appoint the members of the Committee from this list, including
at least one member but not more than two from the nominees of each Member State that
has nominated candidates. Members shall be appointed for their role and experience in
performing the tasks specified in Article 77(3).”
Electronically signed on 09/07/2024 09:55 (UTC+02) in accordance with Article 11 of Commission Decision (EU) 2021/2121
Tere!
Edastan Komisjoni kirja.
EV AEEL juures reg. number: 10.2-11/689
Reg. kuupäev: 12.07.2024
Sisu: Nomination of members to Committees for Risk Assessment (RAC) and Socio-economic Analysis (SEAC) under the REACH Regulation
--
Heade soovidega
Tiiu Noobel
sekretär, EV alaline esindus EL juures
+32 2227 4337
Commission européenne/Europese Commissie, 1049 Bruxelles/Brussel, BELGIQUE/BELGIË – Tel. +32 22991111
EUROPEAN COMMISSION DIRECTORATE-GENERAL FOR INTERNAL MARKET, INDUSTRY, ENTREPRENEURSHIP
AND SMES
DIRECTORATE-GENERAL FOR ENVIRONMENT
EUROPEAN CHEMICALS AGENCY
Brussels,
GROW.F1/AEA/nt
grow.f.1(2024)5121684
Their Excellencies
The Deputy Permanent
Representatives of the Member
States to the European Union
Sent by email only
Subject: Nomination of members to Committees for Risk Assessment and Socio-
economic Analysis under the REACH Regulation
Your Excellency,
We are writing to address a matter of importance concerning the implementation of our
European chemicals legislation, which falls under the remit of the European Chemicals
Agency (ECHA). Effective implementation is essential for a greener, safer, and more
competitive Europe. It ensures the highest protection against hazardous chemicals and
fosters innovation across Member States, as well as a unified European approach to
chemicals safety. ECHA plays a pivotal role in these processes and relies on the work of
its committees and working groups, in particular the Committees for Risk Assessment
(RAC) and Socio-Economic Analysis (SEAC).
These Committees are pillars of scientific scrutiny and evaluation within the EU's
regulatory framework for chemicals. They deliver transparent, independent, and high-
quality scientific opinions, providing a solid basis for decision-making, contributing to the
protection of human health and the environment, and enabling the free circulation of
chemicals on the internal market. Their role is crucial in regulating chemicals with direct
impact on citizens’ daily life and health (1) and in maintaining the competitiveness of
European industries, by ensuring that the implementation of regulations is consistent,
scientifically robust and economically viable.
We would like to flag the current challenges these committees are facing, in regard to their
functioning and resourcing. The tasks assigned to them over time, and particularly since
2020, have been increasing in complexity and scope, necessitating a diverse array of
expertise and sufficient capacity.
(1) for example bisphenols, lead, glyphosate, chemicals in tattoo inks, microplastics and the current
proposed ban on Per- and polyfluoroalkyl substances (PFAS).
2
According to the EU REACH Regulation2, Committee members are nominated by Member
States, who are required to provide support and technical assistance to the members of the
committees. But ECHA is currently confronted with a historically low level of committees’
membership. Some Member States have not nominated members to these committees. It
is therefore imperative to address this situation, which poses significant challenges to the
committees' ability to fulfil their mandates. In recent years, ECHA’s Management Board,
which includes members representing all EU Member States, as well as the heads of
Member States’ competent authorities have expressed strong concerns in this respect.
Some measures have been taken to enhance the Committees’ efficacy and workability,
including increasing membership and the adequacy of compensation for the authorities
employing the committee members. But despite these joint efforts that the Commission
has undertaken with ECHA, the continued effectiveness of the committees hinges upon the
active engagement and support of Member States.
We are extending our thank you for your valuable contribution to date. At the same time,
we kindly ask all Member States to nominate two candidates per committee, ensure
adequate support for such nominations, and that candidates possess the requisite
qualifications, expertise and working time, to serve as effective and active members.
ECHA stands ready to assist Member States in identifying suitable nominees for RAC and
SEAC, as well as to support members as they carry out their role. Your commitment and
contribution would significantly contribute to the sustainability of the EU’s regulatory
framework for chemicals, the protection of health and the environment, as well as well to
the sustainable competitiveness of the European chemicals industry.
We appreciate your attention to this matter and look forward to your positive response.
Thank you for your cooperation.
Yours sincerely,
(e-sign) (e-sign) (e-sign)
Kerstin Jorna Florika Fink-Hooijer Sharon Mc Guinness
Director-General Director-General Executive Director
DG Internal Market, DG Environment European Chemicals Agency
Industry, Entrepreneurship
and SMEs
Attachment: RAC and SEAC membership per country and extract from the REACH
Regulation
Copies: Members of the Management Board
2 Regulation (EC) No 1907/2006.
3
Attachment: RAC and SEAC membership per country
Country RAC SEAC
Austria 2 members 1 member
Belgium 1 member 1 member
Bulgaria 2 members -
Croatia 2 members 1 member
Cyprus 1 member 2 members
Czechia 1 member -
Denmark 2 members 1 member
Estonia - 1 member
Finland 2 members 1 member
France 2 members 2 members
Germany 2 members 2 members
Greece 2 members 1 member
Hungary 1 member 1 member
Iceland - -
Ireland 1 member 1 member
Italy 2 members 2 members
Latvia 2 members 1 member
Liechtenstein - -
Lithuania 2 members 2 members
Luxembourg 2 members 1 member
Malta - -
Netherlands 2 members 2 members
Norway 2 members 1 member
Poland 2 members -
Portugal 1 member 1 member
4
Country RAC SEAC
Romania 1 member -
Slovak Republic 1 member -
Slovenia 2 members 2 members
Spain 2 members 2 members
Sweden 2 members 1 member
Article 85 of Regulation (EC) No 1907/2006 of the European Parliament and of the
Council of 18 December 2006 concerning the Registration, Evaluation, Authorisation and
Restriction of Chemicals (REACH):
“1. Each Member State may nominate candidates to membership of the Committee for
Risk Assessment. The Executive Director shall establish a list of the nominees, which shall
be published on the Agency's website, without prejudice to Article 88(1). The Management
Board shall appoint the members of the Committee from this list, including at least one
member but not more than two from the nominees of each Member State that has
nominated candidates. Members shall be appointed for their role and experience in
performing the tasks specified in Article 77(3).
2. Each Member State may nominate candidates to membership of the Committee for
Socio-economic Analysis. The Executive Director shall establish a list of the nominees,
which shall be published on the Agency's website, without prejudice to Article 88(1). The
Management Board shall appoint the members of the Committee from this list, including
at least one member but not more than two from the nominees of each Member State that
has nominated candidates. Members shall be appointed for their role and experience in
performing the tasks specified in Article 77(3).”
Electronically signed on 09/07/2024 09:55 (UTC+02) in accordance with Article 11 of Commission Decision (EU) 2021/2121
From: Tiiu Noobel <[email protected]>
Sent: Thu, 11 Jul 2024 15:38:50 +0000
To: Tiiu Noobel <[email protected]>
Subject: FW: Nomination of members to Committees for Risk Assessment and Socio-economic Analysis under the REACH Regulation
From: [email protected] <[email protected]>
Sent: Thursday, July 11, 2024 2:11 PM
To: Esindus EL juures üldaadress <[email protected]>
Cc: [email protected]; ECHA Management Board <[email protected]>
Subject: Nomination of members to Committees for Risk Assessment and Socio-economic Analysis under the REACH Regulation
Dear Ambassador,
Please find attached a letter signed by the DG GROW Director-General Kerstin Jorna, by the DG ENV Director-General Florika Fink-Hooijer and by the ECHA Executive Director Sharon Mc Guinness concerning the above mentioned subject.
Yours faithfully,
European Commission
DG for Internal Market, Industry, Entrepreneurship and SMEs
REACH
Commission européenne/Europese Commissie, 1049 Bruxelles/Brussel, BELGIQUE/BELGIË – Tel. +32 22991111
EUROPEAN COMMISSION DIRECTORATE-GENERAL FOR INTERNAL MARKET, INDUSTRY, ENTREPRENEURSHIP
AND SMES
DIRECTORATE-GENERAL FOR ENVIRONMENT
EUROPEAN CHEMICALS AGENCY
Brussels,
GROW.F1/AEA/nt
grow.f.1(2024)5121684
Their Excellencies
The Deputy Permanent
Representatives of the Member
States to the European Union
Sent by email only
Subject: Nomination of members to Committees for Risk Assessment and Socio-
economic Analysis under the REACH Regulation
Your Excellency,
We are writing to address a matter of importance concerning the implementation of our
European chemicals legislation, which falls under the remit of the European Chemicals
Agency (ECHA). Effective implementation is essential for a greener, safer, and more
competitive Europe. It ensures the highest protection against hazardous chemicals and
fosters innovation across Member States, as well as a unified European approach to
chemicals safety. ECHA plays a pivotal role in these processes and relies on the work of
its committees and working groups, in particular the Committees for Risk Assessment
(RAC) and Socio-Economic Analysis (SEAC).
These Committees are pillars of scientific scrutiny and evaluation within the EU's
regulatory framework for chemicals. They deliver transparent, independent, and high-
quality scientific opinions, providing a solid basis for decision-making, contributing to the
protection of human health and the environment, and enabling the free circulation of
chemicals on the internal market. Their role is crucial in regulating chemicals with direct
impact on citizens’ daily life and health (1) and in maintaining the competitiveness of
European industries, by ensuring that the implementation of regulations is consistent,
scientifically robust and economically viable.
We would like to flag the current challenges these committees are facing, in regard to their
functioning and resourcing. The tasks assigned to them over time, and particularly since
2020, have been increasing in complexity and scope, necessitating a diverse array of
expertise and sufficient capacity.
(1) for example bisphenols, lead, glyphosate, chemicals in tattoo inks, microplastics and the current
proposed ban on Per- and polyfluoroalkyl substances (PFAS).
2
According to the EU REACH Regulation2, Committee members are nominated by Member
States, who are required to provide support and technical assistance to the members of the
committees. But ECHA is currently confronted with a historically low level of committees’
membership. Some Member States have not nominated members to these committees. It
is therefore imperative to address this situation, which poses significant challenges to the
committees' ability to fulfil their mandates. In recent years, ECHA’s Management Board,
which includes members representing all EU Member States, as well as the heads of
Member States’ competent authorities have expressed strong concerns in this respect.
Some measures have been taken to enhance the Committees’ efficacy and workability,
including increasing membership and the adequacy of compensation for the authorities
employing the committee members. But despite these joint efforts that the Commission
has undertaken with ECHA, the continued effectiveness of the committees hinges upon the
active engagement and support of Member States.
We are extending our thank you for your valuable contribution to date. At the same time,
we kindly ask all Member States to nominate two candidates per committee, ensure
adequate support for such nominations, and that candidates possess the requisite
qualifications, expertise and working time, to serve as effective and active members.
ECHA stands ready to assist Member States in identifying suitable nominees for RAC and
SEAC, as well as to support members as they carry out their role. Your commitment and
contribution would significantly contribute to the sustainability of the EU’s regulatory
framework for chemicals, the protection of health and the environment, as well as well to
the sustainable competitiveness of the European chemicals industry.
We appreciate your attention to this matter and look forward to your positive response.
Thank you for your cooperation.
Yours sincerely,
(e-sign) (e-sign) (e-sign)
Kerstin Jorna Florika Fink-Hooijer Sharon Mc Guinness
Director-General Director-General Executive Director
DG Internal Market, DG Environment European Chemicals Agency
Industry, Entrepreneurship
and SMEs
Attachment: RAC and SEAC membership per country and extract from the REACH
Regulation
Copies: Members of the Management Board
2 Regulation (EC) No 1907/2006.
3
Attachment: RAC and SEAC membership per country
Country RAC SEAC
Austria 2 members 1 member
Belgium 1 member 1 member
Bulgaria 2 members -
Croatia 2 members 1 member
Cyprus 1 member 2 members
Czechia 1 member -
Denmark 2 members 1 member
Estonia - 1 member
Finland 2 members 1 member
France 2 members 2 members
Germany 2 members 2 members
Greece 2 members 1 member
Hungary 1 member 1 member
Iceland - -
Ireland 1 member 1 member
Italy 2 members 2 members
Latvia 2 members 1 member
Liechtenstein - -
Lithuania 2 members 2 members
Luxembourg 2 members 1 member
Malta - -
Netherlands 2 members 2 members
Norway 2 members 1 member
Poland 2 members -
Portugal 1 member 1 member
4
Country RAC SEAC
Romania 1 member -
Slovak Republic 1 member -
Slovenia 2 members 2 members
Spain 2 members 2 members
Sweden 2 members 1 member
Article 85 of Regulation (EC) No 1907/2006 of the European Parliament and of the
Council of 18 December 2006 concerning the Registration, Evaluation, Authorisation and
Restriction of Chemicals (REACH):
“1. Each Member State may nominate candidates to membership of the Committee for
Risk Assessment. The Executive Director shall establish a list of the nominees, which shall
be published on the Agency's website, without prejudice to Article 88(1). The Management
Board shall appoint the members of the Committee from this list, including at least one
member but not more than two from the nominees of each Member State that has
nominated candidates. Members shall be appointed for their role and experience in
performing the tasks specified in Article 77(3).
2. Each Member State may nominate candidates to membership of the Committee for
Socio-economic Analysis. The Executive Director shall establish a list of the nominees,
which shall be published on the Agency's website, without prejudice to Article 88(1). The
Management Board shall appoint the members of the Committee from this list, including
at least one member but not more than two from the nominees of each Member State that
has nominated candidates. Members shall be appointed for their role and experience in
performing the tasks specified in Article 77(3).”
Electronically signed on 09/07/2024 09:55 (UTC+02) in accordance with Article 11 of Commission Decision (EU) 2021/2121