Til:
Fra:
Titel:
Bilag 3 Kommissionens svar vedrørende Swedish regulation on tattoo inks
Sendt:
21-06-2017 14:27:06
Fra:
Sendt:
15. juni 2017 11:01
Til:
Jesper Gruvmark
Cc:
Emne:
FW: Swedish regulation on tattoo inks
Dear Jesper,
Thank you for your message. In the light of your remarks about Swedish notification 2012/432, I have checked all
notifications received by the Commission on tattoo inks under Directive 98/34 (now 2015/1535) since the entry into force
of Title VIII (Restrictions) of REACH on 1 June 2009.
There have been 6 such notifications. I set out below their reference numbers and the action taken by the Commission.
2011/604/SE - Comments
2012/164/FR – Comments
2012/432/SE – No action
2013/375/DK – Detailed Opinion and Comments
2013/579/AT – Detailed Opinion
2014/348/LV – Detailed Opinion and Comments
[2011/34/MT related to hygiene standards and training of personnel in tattoo parlours but did not cover the inks]
I have tried to establish why no action was taken in relation to notification 2012/432/SE but I am afraid I cannot give you a
firm explanation. My theory is that the notification was not referred to the Commission's REACH unit for analysis. I base
this assumption on the fact that there was clearly some mix-up concerning this notification in the TRIS database. I note
that the CZ Republic submitted comments on notification 2012/432 but these did not actually relate to the subject matter
of the notification (tattoo inks) but to food contact materials. Perhaps the REACH unit of the Commission did not receive
the correct text either. In any event I have spoken to the lawyer responsible for dealing with TRIS notifications in the
REACH unit in 2012 and he has no recollection of notification 2012/432/S and no trace of it in his files. He said that he
would certainly have reacted to it in the standard manner, had it been communicated to the unit.
I hope all of this demonstrates to you that, since the entry into force of Title VIII of REACH, there has indeed been a
consistent practice in the Commission of sending either comments or (more commonly recently) detailed opinions in
relation to notifications regarding national measures that restrict substances used in tattoo inks, as stated in my message
of 4 January 2017.
Best regards,
Iain
Iain Forsyth
Legal Officer
European Commission
DG for Internal Market, Industry, Entrepreneurship and SMEs
Unit D.1. REACH
Breydel 12/222
B-1049 Brussels/Belgium
+32 2 299 9797