Agenda

  1. Welcome and introduction

    Chemical Watch

  2. Morning session part 1: Scip database: State of play
  3. Keynote  Scip database: State of play

    Bo Balduyck Bo Balduyck
    Project Manager, Echa, Finland
  4. A view from the Member States: Sweden and Estonia

    An overview on how the new Scip database reporting will be implemented in Sweden and Estonia, with insights from the Swedish Chemicals Agency and the Ministry of Environment of Estonia.

    Presented by:

    Aidan Turnbull Aidan Turnbull
    Director, BOMcheck, UK
  5. Q&A with Echa

    Have your questions about the Scip database answered by experts from Echa.

  6. Morning session part 2: Industry developments
  7. A cross-sectoral response to the new Scip database reporting requirements

    Join senior industry experts from across Europe who will give their experience of using and reporting into the Scip database.

    Timo Unger Timo Unger
    Manager Environmental Affairs, Hyundai Motor Europe Technical Centre, Germany
    Steve George Steve George
    Senior Advisor and Director, REACHLaw, UK
  8. Q&A

  9. SME Response to the Scip Database

    • EU trade body SMEunited has requested a one-year extension for deadlines relating to Echa’s Scip database.
    • SMEunited adviser Marko Susnik will present a closer look at the impact Covid-19 has had on SMEs and their ability to reach regulatory deadlines.
    Marko Sušnik Marko Sušnik
    Advisor to the Secretary General on Chemicals Policy, SMEunited, and Senior Advisor Chemical Policy, Austrian Federal Economic Chamber (WKÖ), SMEunited / WKÖ
  10. How to fit the gap between mandatory/required SCIP data and what manufacturers are collecting for years to support EU REACH Article 33

    To support EU RoHS regulation (since 2006) then EU REACH regulation article 33 (since 2008), business sectors have put in place industry standards to facilitate communication of Materials and Substances data in their Supply Chain.  Now EC under the Waste Framework Directive (2018) has amended in its article 9 the EU REACH duties to also notify their products to the ECHA authority. 

    ECHA has put in place the SCIP database to comply with the WFD but has defined additional data as mandatory or required in this database that are not covered by original article 33. This is a very important issue that companies have to face because they just don’t have the data as requested by the ECHA. How do we fill the gap?

    Jean-Pierre Théret Jean-Pierre Théret
    Materials Compliance Specialist, Dassault Systèmes, France
  11. How to achieve due diligence with your SCIP reporting

    The presentation focuses on an iterative approach for SCIP Reporting by leveraging existing data and how companies can continuously improve to achieve due diligence

    Sushma Kittali-Weidner Sushma Kittali-Weidner
    Director, U.S. Operations, iPoint-systems gmbh
  12. Q&A

  13. Close of morning session

  14. Networking and workshops from our event sponsors

  15. Sponsor workshop from Sphera: How the BOMcheck S2S Integration Simplifies Submissions to the ECHA SCIP Database

    Join Sphera in the sponsor area

  16. Afternoon session part 1: Scip database best practices
  17. How to submit data to Scip: simplification mechanisms

    Tommy Hägg Tommy Hägg
    Product / Project Manager, Echa
  18. Benefits of system-to-system integration to the Echa Scip database

    Aidan Turnbull Aidan Turnbull
    Director, BOMcheck, UK
  19. Evolution of standards to achieve materials declaration requirements

    Kelly Scanlon Kelly Scanlon
    Director, Environmental Policy and Research, IPC, USA
    Patrick Crawford Patrick Crawford
    Manager, Design Standards and Related Industry Programs, IPC
  20. Q&A

  21. Afternoon session part 2: Scip database use cases and data communication
  22. Scip from a non-EU/EU importer perspective

    Drawing on recent industry surveys and studies by REACHLaw, the presentation will address specific legal and practical challenges for non-EU suppliers of articles and their EU customers. Possible solutions for industry to ensure Scip compliance (for example, ‘foreign user’ concept) will also be discussed.

    Tim Becker Tim Becker
    Senior Legal Advisor, REACHLaw
  23. NGO perspective

    Theresa Kjell Theresa Kjell
    Senior Policy Advisor, Chemsec
  24. Q&A

  25. Virtual conference close