The aim of this document is to give lead and potential lead filers an overview of their tasks and responsibilities as well as standard models to support their actions. The document is structured as a kind of checklist of measures to be implemented. In order to obtain an effective registration and communication process in the SIEF, it is recommended that SIEF members be grouped into 4 different categories according to 4 different SIEF codes. These codes reflect the role of each company in each company prior to siEF/SIEF. This template letter can be used to send the survey to SIEF members… Experimental Development Program 2016 – Example [PDF 564KB] This graph reflects the proposed cefice recommendation for the time being of the various tasks to be performed as part of a SIEF process. Updated January 2012. SIEF members must designate an LR to submit the joint registration file. The joint proposal contains the main part of the technical file, including the classification and labelling of the substance, the (robust) summaries of the studies and, if necessary, the proposal for additional tests. The LR serves as a point of contact for registrants of other substances who wish to “read” data on the substance of their own substance. .
This document explains the concept of an access letter, which contains a number of points that SIEF members must take into account in their operations. This document explains the procedure that companies must follow if they have submitted “individually” and now wish to update their records in order to be part of a joint filing. . RSPs are independent – they are not “in possession” of ECHA. At the same time, they play a crucial role in REACH. FS SIEF`s activities take place outside of REACH-IT. The structure and communication must be organised by the siEF members themselves. A proven method is to regularly inform all SIEF members of the latest developments. ECHA believes that you must now join a SIEF if you intend to register by December 1, 2010. If you decide to postpone your registration or not have to register, you can change your SIEF status in REACH-IT and notify the Lead Registrant (LR) or SIEF Training Facilitator (SFF).
Substance Information Forums (FSRs) are set up to facilitate the exchange of information, avoid duplication in new studies and agree, if necessary, classification and labelling. FIES are made up of companies that intend to register the same substance. An RSF does not have a mandatory legal form, but it is a forum for sharing data and other information about a particular substance. Membership in a Substance Exchange Forum (FSR) is a legal obligation for all filers. This document contains guidelines on the commitments and practical possibilities of the RSF process, including the evaluation of data requirements, data exchange, associated costs and joint submission. This document contains some reflections on cases where a number of companies have submitted individual registrations, i.e. not as members of the joint contribution This document contains frequently asked questions and corresponding answers to the operation of the F SIEF. This document gives companies instructions on the (late) pre-registration process, including practical information for submitting a (late) pre-registration updated version January 2012 (changes to the previous version are listed in the document).