how to comply with new european union cosmetics regulations (larger slides)
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5/14/2013
1
WebinarUpdate on European UnionUpdate on European Union
Regulations for Cosmetics and Beauty Products
21.2.2013Mr. Doram Elkayam – Obelis s.a. Chief Operations Officer
© Obelis s.a. 2012
Version 1, Revised on 09.01.2012
www.obeliscosmetics.net
Regulatory Framework
Cosmetics 1223/2009/EC
© Obelis s.a. 2012
Version 1, Revised on 09.01.2012
www.obeliscosmetics.net
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Introduction (1)
1223/2009/EC• 1223/2009/ECo 1223 – reference number
o 2009 – year of publication
o EC – European Community
• 30 November 2009 – 11 July 2013 o Transitional period
© Obelis s.a. 2012
Version 1, Revised on 09.01.2012
o Both the current directive 76/768/EEC & the new regulations 1223/2009/EC are applicable
• 11 July 2013o 1223/2009/EC will completely replace 76/768/EC
Introduction (2)
• Applicable to all 27 EU Member States !
• No Transposition ! => 1 single law
o EU member states may not add or remove requirements
© Obelis s.a. 2012
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Obj ti
Introduction (3)
• Objectives
o Better defined responsibilities !
Manufacturer, importer, responsible person, distributor
o Safety assessment
Regulation of ingredients
o Avoid multiple notifications to authorities and anti-toxic centers
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o Specific provisions for nanomaterials !
o Set criteria for claims
o Harmonized market surveillance
Introduction (4)
Unchanged provisions from 76/768/EEC New Provisions
o Basic principles
o Ban of animal testing
o Regulated ingredients
o Manufacturing activities
Labelling (except nano & claims)
o Responsible Person
o Distributors
o European notification
o Nanomaterials
o Product information file (PIF)
o Cosmetic product safety report
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Version 1, Revised on 09.01.2012
o Labelling (except nano & claims)
o Definition of cosmetic product
o Cosmetovigilance
o Claims
o CMR substances
o Market surveillance
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Introduction (5)
Application Dates Products already
on the marketNew products
Notification11 January 2012
11 July 2013
Prior to placing on the market
Notification of products with nano11 January 2013
11 July 2013
6 months before placing on the
market
© Obelis s.a. 2012
Version 1, Revised on 09.01.2012
Product information file & safety
report
11 July 2013 When placed on the market
Labelling [nano] 11 July 2013 When placed on the market
Steps to Compliance,
Conformity & EU Market
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Steps to the EU Market (1)
Step 1 – Designating a Responsible Person
“Only cosmetic products for which a legal or natural person is designated within the
Community as “responsible person” shall be placed on the market.” (art. 4.1.)
Written mandate !
© Obelis s.a. 2012
Version 1, Revised on 09.01.2012
(Article 4.4.)
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Step 2 – Product(s) classification
Steps to the EU Market (2)
o Cosmetic product definition
“Cosmetic product means any substance or mixture intended to be placed in contact with external parts of the human body
(epidermis, hair system, nails, lips and external genital organs) or with the teeth and the mucos membranes of the oral cavity with a view
exclusively or mainly to cleaning them, perfuming them, changing their appearance, protecting them, keeping them in good condition or
correcting body odours .“ (Article 2, paragraph 1a)
o To consider
Product formulation
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Product formulation
Product function
Product claim
! Any change in a product’s function, formulation or claim => a new product
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Steps to the EU Market (3)
Step 3 – Building the Product Information File, per product!
1. Description of the cosmetic product
2. Safety Report (CPSR)
Cosmetic product Safety Information File
Cosmetic product Safety Assessment
3. Method of manufacture
4 GMP
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4. GMP
5. Proof of effect(s) claimed, where applicable
6. Data on animal testing
7. Labels
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Steps to the EU Market (4)
Step 4 – Notification
Notification to the Competent Authorities and Anti-Toxic Centers – Directive 76/768/EEC
Notification to the Cosmetic Products Notifications Portal (CPNP) – Regulation 1223/2009/EC
! ! Always completed by the Responsible Person
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Step 5 – Entering the EU market
Steps to the EU Market (5)
Step 5 Entering the EU market
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Steps to the EU Market (6)
Step 6 – Remain Compliant and Keep updating any individual Product Information File (!)
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Product Information File
(PIF)
© Obelis s.a. 2012
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www.obeliscosmetics.net
Product Information File (1)
• Definition
o Mandatory technical file required for each cosmetic product to be placed on the market
o Full overview of a cosmetic product (in terms of formula, safety reports, labels….)
! Each and every cosmetic product must have a Product Information File (PIF)
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Product Information File (2)
• Remarks
o Differences between the PIF by the Directive 76/768/EEC & Regulation 1223/2009/EC
o Kept by the RP, at the EU address specified on the label
Readily accessible to the Competent Authorities of the RP Member State
In the national language or a language easily understood by the Competent Authority (in
electronic or other format)
© Obelis s.a. 2012
Version 1, Revised on 09.01.2012
For a period of 10 years after the last batch was placed on the market
Updated, when necessary
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Product Information File (3)
El t f th PIF A t 11 1223/2009/EC• Elements of the PIF - Art. 11, 1223/2009/EC:
o Product description which enables the product information to be clearly attributed to the
respective cosmetic product
o Cosmetic Product Safety Report (Safety Information + Safety Assessment) and data on
SUE & UE
o Method of manufacturing
© Obelis s.a. 2012
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o GMP
o Proof of effect claimed when justified by the nature or the effect of the cosmetic product
o Data on animal testing
o Labeling
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Product Information File (4)
1. Cosmetic Product Safety Report (Annex I, 1223/2009/EC)y p ( , / / )
o Part A – Safety Information File
1. Qualitative & quantitative composition
2. Physico-chemical, microbiological & toxicological specifications of the raw materials
3. Physico-chemical, microbiological & toxicological specifications of the finished product
4. Stability Test of the finished product
b l b h f l d k
© Obelis s.a. 2012
Version 1, Revised on 09.01.2012
5. Compatibility Test between the formulation and its packaging
6. Challenge Test of the finished product
7. Impurity, traces, information about the packaging material
8. Data on undesirable/ serious undesirable effects
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Product Information File (5)
1. Safety Report
o Part B – Safety Assessment report
Safety Assessor – a qualified person, possessing a EU degree in a relevant discipline + 3
years of professional experience
Toxicological Assessment of the finished product**
Safety Assessors’ credentials
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Any particular label warnings and precautions for use
** The assessment as per the new regulation 1223/2009/EC is more detailed than as per the current directive 76/768/EEC
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2 Good Manufacturing Practices = GMP
Product Information File (6)
2. Good Manufacturing Practices = GMP
o Were created to ensure that the method of manufacturing is in alignment with the
requirements of protection of health
o Certificate / declaration
o 76/768/EEC – no specific requirements according to which the standard must be like
o 1223/2009/EC – specific standards required ISO 22716
© Obelis s.a. 2012
Version 1, Revised on 09.01.2012
3. Method of manufacture complying with the GMP
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4 D t d i bl ff t
Product Information File (7)
4. Data on undesirable effects5. Proof of effect(s) claimed, where applicable
o Clinical tests, scientific research…
o “Claims manual” to be issued by the European Commission in 2012
6. Data on animal testingo Performed by the manufacturer, his agents or suppliers
o Including any animal testing performed in non-EU countries
7 Labels
© Obelis s.a. 2012
Version 1, Revised on 09.01.2012
7. Labelso 4 possible elements container, outer-packaging, sticker, leaflet
o Specific elements must appear on each (existing) component of the label
o National official language(s) !
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Safety Assessment
© Obelis s.a. 2012
Version 1, Revised on 09.01.2012
www.obeliscosmetics.net
Safety Assessment (1)
• Definition
o Toxicological Assessment of a finished cosmetic product no test
o Part of the Safety Report in the PIF
o Completed by a Safety Assessor
© Obelis s.a. 2012
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Safety Assessment (2)
• Remark
o Differences between the Safety Assessment as per 76/768/EEC &
1223/2009/EC
o To be updated when necessary
o Special Safety Assessment for cosmetic products targeting
© Obelis s.a. 2012
Version 1, Revised on 09.01.2012
Children <3
Intimate hygiene
Safety Assessment (3)
76/768/EEC 1223/2009/EC
Based on the toxicological profile of the
ingredients
Based on all the elements of Safety Information
File1. Qualitative & quantitative specifications
2. Physico-chemical, microbiological & toxicological specifications
of the raw materials
3. Physico-chemical, microbiological & toxicological specifications
© Obelis s.a. 2012
Version 1, Revised on 09.01.2012
of the finished product
4. Stability Test of the finished product
5. Compatibility Test between the formulation its packaging
6. Challenge test of the finished product
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Safety Assessment (4)
Elements Required:
1. Assessment conclusion
2. Scientific reasoning leading to the conclusion
3. Labeling warnings & instructions for use
4. Safety Assessor signature
Along with the Safety Assessment
© Obelis s.a. 2012
Version 1, Revised on 09.01.2012
1. Safety Assessor’s credentials
1. Name
2. Address
3. Proof of qualification
4. Date
5. Signature
Safety Assessment (5)
• Safety Assessor Qualifications
o Diploma in the field of pharmacy, toxicology, dermatology, medicine or similar discipline
o Diploma from a EU Member State University!
o Minimum of 3 years experience in the field
© Obelis s.a. 2012
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E R ibl PEuropean Responsible Person
© Obelis s.a. 2012
Version 1, Revised on 09.01.2012
www.obeliscosmetics.net
EU Responsible Person (1)
• Definition (Article 2. – 76/768/EEC)
o “[…] manufacturer or his authorized agent or any other person responsible for placing the product on the Community market.”
⇒ no formal definition
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R ibiliti d th 76/768/EEC
EU Responsible Person (2)
Responsibilities under the 76/768/EEC:
1. Name & address of the “manufacturer or the person responsible for marketing the cosmetic product who is established within the Community” (Article 6.1.a.)
2. Keep the Product Information File (PIF) readily accessible to the CA (Article 7a.1. a, b, c, d, e, f, g, h.)
© Obelis s.a. 2012
Version 1, Revised on 09.01.2012
3. Notification to CA & Anti-Toxic Centers – “the manufacturer or his agent, or the person to whose order a cosmetic product is manufactured, or the person responsible for placing imported cosmetic products on the Community market, shall notify the competent authorities of the Member State […].” (Article 7a.4.)
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EU Responsible Person (3)
Definition (Article 4.1. – EC 1223/2009)
• “Only cosmetic products for which legal or natural person is designated within the Community as responsible person shall be placed on the market” (Article 4.1.)
• “For each cosmetic product placed on the market, the responsible person shall ensure compliance with the relevant obligations set out in this Regulation.” (Article 4.2.)
o Meaning⇒ Obligation to have an EU RP linked to the product
© Obelis s.a. 2012
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⇒ RP established within the European community
⇒ RP to fulfill the obligations under the regulation
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EU Responsible Person (4)
• Responsibilities (Article 4.2.)
o “For each cosmetic product placed on the market, the responsible person shall ensure compliance with the relevant obligations set out in this Regulation.”
© Obelis s.a. 2012
Version 1, Revised on 09.01.201233
EU Responsible Person (5)
• “ensure compliance” refers to (Article 5.1.):
o Article 3: Safety
o Article 8: GMP
o Article 10: Safety Assessment
o Article 11: Product Information File (PIF)
o Article 16: Nanomaterials
o Article 17: Traces
o Article 18: Animal Testing
o Article 19(1),(2) and (5): Labelling
© Obelis s.a. 2012
Version 1, Revised on 09.01.2012
o Article 12: Sampling and Analysis
o Article 13: Notification
o Article 14: Restrictions for Substances Listed in Annexes
o Article 15: CMR
o Article 20: Claims
o Article 21: Information to the Public
o Article 23: Communication of SUE
o Article 24: Information on substances
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EU Responsible Person (7)
“Only cosmetic products for which legal or natural person is designated within the Community as responsible person shall be placed on the market”
(Article 4.3.)
EU Manufacturer Non-EU Manufacturer EU Importer EU Distributor
Cosmetic product manufactured in the EU & commercialized in the EU
(Article 4.1.)
(Article 4.4.)
*(Article 4.6.)
*
*
© Obelis s.a. 2012
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(Article 4.5.)
Cosmetic product manufactured outside the EU & imported in the EU
(Article 4.5.) (Article 4.6.)
*
EU Responsible Person (6)
Tasks on a Practical View:1. Provides name & address in the EU – mandatory on the label
2. Compiles & ensures PIF compliance prior to notification (including Safety Assessment report, product tests, labeling, GMP…) (Article 11)
3. Notifies to the European Cosmetic Products Notification Portal – CPNP (Article 13)
4. Keeps the PIF for authorities’ inspections, for a period of 10 years after the last batch was manufactured (Article 11.1.)
5. Manages cosmeto-vigilance (Article 5)
6. Represents the manufacturer towards the Competent Authorities, Anti-Toxic Centers,
© Obelis s.a. 2012
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p p , ,European Commission, end users…
7. Updates & consults on EU Regulation!
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EU Notification of Cosmetics
© Obelis s.a. 2012
Version 1, Revised on 09.01.2012
www.obeliscosmetics.net
EU Notification of Cosmetics (1)
Notification RegistrationOne way action
Responsible Person Competent AuthoritiesAnti-toxic Centers
Two ways action
Responsible Person Competent AuthoritiesAnti-toxic Centers
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EU Notification of Cosmetics (2)
I d t th EC 1223/2009 R l tiIn accordance to the EC 1223/2009 Regulation:
• To be completed only after the PIF was completed !• Cosmetic products must be in compliance prior to Notification !• Commercialization on EU market only AFTER notification !• Towards the Cosmetic Products Notification Portal (C.P.N.P.) !• A single notification covering the entire European Union!
© Obelis s.a. 2012
Version 1, Revised on 09.01.2012
• Products notified under 76/768/EEC will need to be re-notified under 1223/2009/EC no later than July 11th 2013!
• Distributors‘ notification – additional to the RP notification
EU Notification of Cosmetics (5)
Distributors notification additional to the RP notification
o Trabslated Label
• Nanomaterials! = insoluble or biopersistent, intentionally manufactured,
1 or > dimention, 1 100nm
• Additional notification
N t f t i l i A III IV VI
© Obelis s.a. 2012
Version 1, Revised on 09.01.2012
o Not for nanomaterials in Annexes III, IV, VI
o By the responsible person (or mandate) !
o 6 months before the placing on the market !
o Electronic notification to European Commission !
o Labeling: titanium dioxide [nano]
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TAKE HOME MESSAGES
© Obelis s.a. 2012
Version 1, Revised on 09.01.2012
www.obeliscosmetics.net
I Only cosmetic products for which a legal or natural person is designated within the Community as ‘responsible person’
Take Home Message (1)
I. Only cosmetic products for which a legal or natural person is designated within the Community as responsible person
shall be placed on the market (Article 4.1.).
II. For each cosmetic product placed on the market, the responsible person shall ensure compliance with the relevant
obligations set out in this Regulation (Article 4.2.).
Hand Cream
EU RP: Name & Address
Hand Cream EU RP appointment
1
Regulatory obligations(PIF, notification)
2
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Address1 2
3
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Take Home Message (2)
When to appoint the EU Responsible Person?
PIF
1. 2.EU RP appointment
PIF Notification / Market
IdentificationVerificationConfirmation
3. 4.1. 2. 3.
© Obelis s.a. 2012
Version 1, Revised on 09.01.2012
Time line to market
0X2 X3 X4 X5 X6 X7 X8 X9 X10X1
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Take Home Message (3)
Hand Cream
Manufactured in or outside EU RP
&
EU market
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Notification
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Thank You for Your Attention!
Questions?
© Obelis s.a. 2012
Version 1, Revised on 09.01.2012
Q
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