Bengu CerenBengü hanım merhaba,
Ben aşağıdaki gibi bir mail attım. İşinize yarayabilir.
Dear Supplier,
As being .......... LTD.ŞTİ. , we have some products which are imported from you for marketing in Turkey. So, the substances in them should be in compliance with KKDIK (Turkey REACH) provisions to continue trade for the further times. In this context we need to know your action plan that you would follow for the substances imported by you to Turkey.
You can find brief information related with KKDIK (Turkey REACH) and its requirements below.
About KKDIK (Turkey REACH)
Turkey REACH, also known as KKDIK, entered into force on December 23, 2017. KKDIK has been prepared based on EU REACH Regulation and adapted to the Turkish Industry.
KKDIK brings responsibilities, the same with EU REACH, to the companies that are importer/manufacturer of the chemical substances, mixtures or articles. The application of KKDIK will be almost the same with EU REACH. However, EU REACH registration of the substances will not be valid for Turkey within the scope of KKDIK.
KKDIK Regulation contains provisions for chemical substances such as Registration, Restriction and Authorization.
In this context, substances, which are evaluated within the scope of KKDIK, should be registered in case they are manufactured/ imported equal or more than 1 tonne per year. Registration will be realized in two steps respectively; Pre-Registration Period and Registration Period.
Important dates for these processes as follow;
• 23 December 2017- 31 December 2020: Pre-Registration time
• 01 January 2021- 31 December 2023: Registration time
• 01 January 2024 and After: The substances should be registered before imported to Turkey.