REACh
Don't worry about REACh -
we will take care of it!
The new EU Regulation for Chemicals REACh (EG) NO. 1907/2006
As defined by REACh, Schneider airsystems is only a downstream user as we do not manufacture any materials or substances ourselves nor import them to the EU.
This means that we, as tool manufacturers, are not directly affected by the duty of registration stipulated in this Regulation. Nevertheless, we have informed all our suppliers about REACh and requested them to comply with their obligations, including the duty of registration, resulting from REACh.
The European Chemicals Agency
(ECHA) also published the list of candidates.
All manufacturers of products are obliged to announce substances on the candidate list that are contained in their products with a weight fraction of> 0.1%.
We meet this requirement.
Schneider airsystems – REACh –
candidate list
Our products, which substances included on the candidate list in a concentration above 0.1% are included in a list.
This list is updated regularly by us as new materials are added to the candidate list.
Current
Schneider airsystems candidate list (PDF)
We will continue to initiate all actions required to make sure the products we supply to you have the usual quality – as you can expect from us.
See the latest Schneider airsystems REACh list: Link
If you have any questions, please don’t hesitate to contact our environment management:
umwelt@tts-schneider.com
We also comply with the obligations of the EU WEEE and RoHS Directives.
Our registration number is:
WEEE-Reg.-No. 75 53 36 36Please choose your country for more information about the
EU Regulation REACh (EC) NO. 1907/2006:
Germany Czech Republic Hungary Slovakia