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Decree 591 - Regulations on the Control over Safety of Hazardous Chemicals

  •   1 Jul 2019
  •   
     
    Chinese regulation:
    State Council Decree 591
    Regulations on the Control over Safety of Hazardous Chemicals
    Passed bythe 144th Executive Meeting of the State Council
    History
    Passed16 Feb 2011
    Published2 Mar 2011
    Come into force1 Dec 2011
    Legislative evolution
    28 Jan 1961 (annulled)Five legislations on the work safety, storage, operation and transport of hazardous chemicals
    17 Feb 1987 (annulled)Regulation on the control over safety of dangerous chemicals Published by the State Council Premier
    15 Mar 2002 (replaced)Regulation on the control over safety of hazardous chemicals(State Council Decree 344)
    Main supporting legislation in force
    1 Aug 2012SAWS Order 53
    1 Dec 2011SAWS Order 41
    1 May 2013SAWS Order 57
    1 Sep 2012SAWS Order 55
    1 Jul 2013MOT Order 2 of 2013
    1 Dec 2008MOR Order 174 of 2008:
    1 Sep 2013SAWS Order 60
    1 Mar 2013MEP Order 22

    SAWS - State Administration of Work Safety of P.R.C.

    © Copyright 2013 Chen Ming, REACH24H

    All Rights Reserved

    On 1 Dec 2011, the revised “Regulations on the Control over Safety of Hazardous Chemicals” (a.k.a Decree 591) came into force. As the key piece of legislation on management of hazardous chemicals, it regulates hazardous chemicals through the entire supply chain, ranging from manufacture and importation to distribution and storage, transportation and use. The implementation of Decree 591 demonstrates the authorities’ intention to strengthen the safety controls governing hazardous chemicals in China, to prevent and reduce accidents, and to protect life, property and the environment. Enterprises involved in the hazardous chemicals industry should be fully aware of a spectrum of key obligations under this regulation, including

    • China GHS-related duties (classification, labelling, SDS and hazard statements, etc.)
    • Hazardous chemicals registration under SAWS Order 53
    • License and permit required of hazardous chemicals production, use, operation (including distribution, storage and transport) as well as the
    • Entry-exit legal inspection for hazardous chemical import& export.

     

    Contents

     

    History

    Fig. 1 - Milestones in China’s HazChem legislation

    Decree 591 is the revised edition of the formal State Council Decree 344, which came into effect in 2002. The diagram on the left illustrates the major milestones in the developmental history of China’s HazChem management (see figure 1). Both Decree 591 and Decree 344 could date back to the 1987 “Regulation on the management of hazardous goods”. Compared with the 1987 version consisting of 42 articles, Decree 591 has been expanded to 102 articles, supported with 4 administrative measures regulating the manufacture, use, operation and dozens of technical standards on GHS implementation. Major updates in Decree 591 have been made in the following aspects:

    • Adjusting main competent authorities of HazChem management;
    • Redefinition of terminology of HazChem in China;
    • Adjusting the management patterns of HazChem production and storage;
    • Enhancing the HazChem production license management;
    • Introducing the HazChem safe use permit system;
    • Adding measures that address HazChem safety operation;
    • Improving the HazChem registration system;
    • Improving the safety assessment on HazChem production, storage and use;
    • Adding provisions that regulate HazChem safe transportation.

     

    Authorities

    Hazardous chemicals are administrated through a complex regulatory network in China, with multiple departments or ministries involved (see Fig. 2).

    DepartmentSupply ChainManagement Scope
    MIIT (Ministry of Industry and Information Technology)N/ALeading authority for GHS implementation
    SAWS (State Administration of Work SafetyManufacture, use, storage, operationEnforcing authority for HazChem safe production, use, operation and HazChem facility construction; competent agency for HazChem registration
    MEP (Ministry of Environmental Protection)Manufacture, use, import & exportEnforcing authority for HazChem environmental registration (manufacture &use, and import & export)
    MOT (Ministry of Transport)Transport, packagingEnforcing authority for HazChem inland & inner waterway transport and packaging
    GAC (General Administration of Customs)Import & export, declarationEnforcing authority for HazChem entry-exit inspection and customs declaration
    AQSIQ (General Administration of Quality Supervision, Inspection and Quarantine)Sale, entry-exit inspectionEnforcing authority for HazChem sale and distribution
    SAIC (State Administration of Industry and Commerce)Business registration, advertisingEnforcing authority for HazChem enterprises’ business registration
    MOA (Ministry of Agriculture), (former) MOH (Ministry of Health)N/ACooperating authority for HazChem listing consultation

    Fig. 2 - Authorities for the implementation of Decree 591

    Legal Framework under Decree 591

    Fig. 3 - Regulatory diagram of HazChem management under Decree 591

    Decree 591 serves as the foundation for China's Hazchem Management upon which all supporting legislations are built such as administrative rules on Hazchem registration and Hazchem licensing, China's GHS system, the various inventories of chemical substances, guidance documents for hazard assessment as well as other department ordinances regulating specific elements in the supply chain. To further visualize the key elements of Decree 591 it can help to broadly categorize its functionalities into six key areas which are graphically represented in the accompanying diagram (see Fig. 3).

     

     

     

    Regulatory Scope

    Under Decree 591, hazardous chemicals are defined as highly toxic chemicals or chemicals with toxic, corrosive, explosive, flammable and other properties, which result in harms to human bodies, infrastructures and the environment". All hazardous chemicals are subject to Decree 591 except explosives for civil uses, fireworks and crackers, radioactive articles, nuclear substances, and hazardous chemicals for military research and industry which are regulated by other legislations. Decree 591 should also be referred to in terms of safety management of monitored chemicals and hazardous chemicals used as pharmaceuticals and/or pesticides.

    Fig. 4 - Hazardous chemicals of different risk levels

    Different hazardous chemicals pose different level of risks. From a regulatory perspective, hazardous chemicals of higher risk levels are distinguished from others by substance lists. (See Fig.4)

    • High risk level - Chemicals specifically listed in the Inventory of Hazardous Chemicals and other relevant lists, subject to strict controls
    • Medium risk level - Chemicals classified to hazardous categories adopted by the Inventory of Hazardous Chemicals, subject to regular supervision
    • Relatively low risk level - Chemicals with GHS classifications, requiring the industry to make best efforts to ensure the hazard communication along the supply chain

     

    Inventory of Hazardous Chemicals

    HazChem Search

    The Inventory of Hazardous Chemicals (a.k.a. Catalog of Hazardous Chemicals or Chinese C&L Inventory) is the primary reference for regulation of well-recognized hazardous chemicals in China. It is an essential supporting document of Decree 591 as it helps guide law enforcement authorities as well as clarifying industry obligations.

    Originally issued in 2002, the list has gone through many revisions and the latest version is scheduled to enter into force from May 1st, 2015. (Read more in CL expert article: Interpretation of China Inventory of Hazardous Chemicals (2015))

    On Aug 19th, 2015, SAWS issued the Guidance for the Implementation of China Inventory of Hazardous Chemicals (Trial), which further specifies the implementation rules under SAWS's jurisdiction and provides the official classification results of the listed chemicals. (See CL news)

     

    Other substance lists

    Based on the Inventory of Hazardous Chemicals, the authorities involved in hazardous chemical management have also formulated different substance lists under their own jurisdictions or across multiple sectors according to practical requirements. Some examples are shown below (but not limited to):

    Production

    Import & Export

    Transportation:

     For more detailed introduction of China’s chemical lists, please refer to CL expert article: Overview of Hazardous Chemicals Management in China

     

    Industry Obligations

    I. GHS compliance

    One major responsibility under Decree 591 is to comply with China GHS requirements. There is no single piece of legislation called “China GHS”: instead, the UN GHS model is being implemented with reference to Decree 591 through a series of measures and national standards. For example, the “Measures for the Administration of the Registration of Hazardous Chemicals”(SAWS Order 53), states that companies must provide a safety data sheet (SDS) and label according to SDS standard GB/T 16483-2008, labeling standard GB 15258-2009, etc, in order to obtain a registration certificate from the NRCC. Articles 15 and 79 of Decree 591 state that companies handling hazardous chemicals must comply with China GHS obligations, including those related to classification, labeling and SDSs, according to the specific national standards.

      The following sections provide breif introduction to China GHS. For more detailed explainations, please refer to Chempedia - China GHS.

    Hazard classification

    Details of the China GHS classification criteria can be referred to in GB 13690-2009 and GB 30000.2-2013 ~ GB 30000.29-2013 series standards.

    In addition, in the Guidance for the Implementation of China Inventory of Hazardous Chemicals (Trial) published by SAWS, official classification results are provided for all the chemicals listed in the Inventory of Hazardous Chemicals (2015). While following these classification results are generally taken as a mandatory requirement, the "lowest classification" and "incomplete classification" principles allow the industry to make their own decisions to a certain extent.

    • Lowest Classification: only the lowest applicable hazard classification results are specified for the listed chemicals; Companies can assign higher sub-categories under the same hazard category based on the available and reliable data.
    • Incomplete Classification: The guidance does not include the complete hazard categories of the chemicals; companies should supplement other hazard categories by consulting the data of their own, without changing the hazard categories listed in the guidance.

    In case there is any disagreement with the official classification and which is not applicale to the principles stated above, companies can submit their opinions and source data to NRCC for expert review.

    Labeling and Packaging

    Manufacturers and importers of hazardous chemicals are required to provide precautionary labels for their products and attach the label to the product package (including the outer packaging). The content of this precautionary label should be prepared consistent with the national mandatory standard GB 15258-2009, according to which, the label (see Fig. 5 and Fig. 6) should at least include:

    1. Product name and components
    2. Signal word
    3. Pictogram that indicates the hazard(s)
    4. Hazard statements
    5. Other precautionary statements that may cover prevention, emergency response/rescue, and storage and handling information
    6. Producer/supplier information
    7. Emergency telephone number* for potential chemical accident
      * For detailed requirements of emergency telephone number please see the section of SAWS Order 53.

    Fig. 5 - Sample of a China GHS label in Chinese


    Fig. 6 - Sample of a regular China GHS label translated in English

    If the volume of container or package of a hazardous chemical product is smaller than 0.1 L, a simplified precautionary label (see Fig. 7) can be adopted in which the precautionary statements can be omitted.

    Fig. 7 - Sample of a simplified China GHS label

    Hazardous chemical companies may also refer to GB/T 22234-2008 “Labelling of chemicals based on GHS” (recommended national standard) for detailed requirements on Chinese pictograms, symbols, signal words and hazard statements, etc. This Chinese standard is the identical equivalent (IDE) of its Japanese counterpart of JIS Z 7251: 2006, Labelling of chemicals based on GHS.

    Packaging and transporting of dangerous goods must comply with three primary mandatory national standards, GB 190, GB 12268 and GB 6944. GB 190-2009 “Packing symbol of dangerous goods” specifies the pictogram, size, color and usage of the packing symbols for corresponding categories of dangerous goods. The latter two standards were revised and put into effect in 2012 to regulate the classification and packing of dangerous goods for their commercial transport, storage, sale and operation. GB 12268-2012 presents the whole list of dangerous goods under control in China and specifies the criteria and rules for classifying dangerous articles containing impurities or additives. GB 6944-2012 stipulates the classification, precedence of hazards and Code (UN number) of dangerous goods.

    SDS preparation and communication

    Safety Data Sheet (SDS) helps enterprises to communicate the basic hazard information of the hazardous chemicals. In addition to the basic hazard properties, information on its transportation, handling, storage and emergency response/rescue (including emergency telephone number*) are contained in SDS so that it also has significant value of guidance to all public/private service agencies and other relevant parties of the concerned chemical product.

    * For detailed requirements of emergency telephone number please see the section of SAWS Order 53.

    As stipulated in Decree 591, the manufacturer or producer is obliged not only to provide a corresponding SDS for the chemical product, but also to promptly report any new hazard information to authorities and correspondingly amend the SDS without delay.

    Companies should refer to  GB/T 16483-2008 and GB/T 17519-2013 for preparation of the safety data sheet. SDS suppliers should note that the recorded chemical data in SDS must be kept accurate, consistent and coherent.

     

    II. Hazardous Chemicals Registration

    SAWS Order 53

    Under Decree 591, hazardous chemicals and the enterprises involved are identified through the hazardous chemicals registration system. Manufacturers and importers of hazardous chemicals are obliged to submit registrations to the NRCC prior to the first time manufacture and import, according to the provisions set out in the 2012 revised “Measures for the Administration of Registration of Hazardous Chemicals” (SAWS Order 53), which has entered into force on 1 August 2012. Unlike its predecessor, SAWS Order No.53 extends the registration obligation to the hazardous chemicals importers for the first time, while enterprises storing or using the substance remain exempt.

    Potential registrants must provide more detailed information, including classification, label, physical and chemical properties, main uses, hazardous properties and the safety requirements of storage, use and transport, plus emergency response measures. The eight official registration-related documents were released in the SAWS Notice 144 issued in Dec 2012.

     Emergency telephone number

    Registering enterprises shall provide emergency telephone consulting service or entrust an accredited third-party service provider. The emergency telephone number should be included on label, SDS and registration documents. In accordance with Article 22, SAWS Order 53, the following requirements on the emergency telephone number have to be met, including

    • 24/7 available
    • Landline telephone within the territory of China
    • Professional work staff responding

     

     

    III. HazChem Licensing System under Decree 591

    Fig. 9 - Licensing Systems under Decree 591

    Decree 591 controls the various activities of hazardous chemicals through the supply chain by implementing a license system. Different actors in the supply chain must apply to different departments or ministries for different licenses (see Fig. 9).

    With the release of Decree 591, separate measures on the administration of specific licenses crucial to different types of HazChem companies have been recently promulgated or enacted. Companies dealing with hazardous chemicals should be mindful of the specific licensing systems under Decree 591.

    Besides the revised measures for the implementation of work safety licenses for hazardous chemical production enterprises (SAWS Order 41), which was published in July 2011, separate measures for the administration of operation licenses (SAWS Order 55) and safe use licenses (SAWS Order 57) for hazardous chemicals were released in 2012. Note that only domestic companies can apply for the licenses.

     

    IV. Entry-Exit Inspection on Hazardous Chemicals

    Fig. 10 - China's Entry-Exit Inspection and Quarantine

    On 29 Dec 2011, China's General Administration of Quality Supervision, Inspection and Quarantine (AQSIQ) and General Administration of Customs (GAC) jointly issued the “Adjustment of 2012 Catalogue of Entry-Exit Commodities Inspected and Quarantined by the Competent Entry-Exit Inspection and Quarantine Authorities” (hereinafter referred to as the “ Legal Inspection Catalog”), also known as AQSIQ Notice 1466-2011. This AQSIQ Notice adds 160 hazardous chemicals listed in the Catalog of Hazardous Chemicals (2002 version) to the Legal Inspection Catalog. However, the AQSIQ Announcement 30 published on 29 Feb 2012 further expanded the inspection scope to cover all the hazardous chemicals listed in the Catalogue of Hazardous Chemicals.

    Since 29 February 2012 companies are required to produce a range of documents to apply to the CIQ for such inspections (see Fig. 10). Chinese companies exporting hazardous goods overseas must have a hazard identification and classification report produced by a Chinese accredited laboratory [4]. Meanwhile, the CIQ will check the composition/constituent information, physical and chemical properties, hazard class etc. to confirm that they meet the requirements (see the yellow box in Figure 4). A strong emphasis is placed on China GHS-aligned SDS and Precautionary Labels.

     

    Please note that the obligations discussed above does not make the complete list, detailed consultation with the regulatory specialists from the REACH24h is strongly recommended.

     

    News

     

    Expert Articles & Ebook

    1. Eric Sun, 18 Sep 2015, "Understanding China 2015 Hazchem Inventory Implementation Guidance – Part 3: Compliance Suggestions", Chemlinked
    2. Eric Sun, 11 Sep 2015, "Understanding China 2015 Hazchem Inventory Implementation Guidance – Part 2: Classification", Chemlinked
    3. Eric Sun, 11 Sep 2015, "Understanding China 2015 Hazchem Inventory Implementation Guidance – Part 1: Implementation Rules", Chemlinked
    4. Jane Zhou, 3 Apr 2015, "Interpretation of China Inventory of Hazardous Chemicals (2015)", Chemlinked
    5. Jane Zhou, 26 Nov 2014, "A Critical Juncture in China’s Hazchem Management", Chemlinked
    6. Bob White, 13 Jun 2013, "First Batch of Hazardous Chemicals of Priority Environmental Concern (HCPEC) Set to be Released", Chemlinked
    7. Jim Wei, 24 Apr 2013, "Catalogue of Hazardous Chemicals: Resolving the Current Impasse", Chemlinked
    8. Julian Zhu, 3 Apr 2013, "An Introduction to GHS Pictograms and Transport Pictograms", Chemlinked
    9. Sunny Wang, 29 Mar 2013, "The Marks, Labels and Placards of Dangerous Goods in Package Form", Chemlinked
    10. Echo Cao, 29 Mar 2013, "GB 28644.1-2012 and GB 28644.2-2012 for Dangerous Goods Carried in Excepted and Limited Quantities", Chemlinked
    11. Lizzy Liu, 5 Feb 2013, "Combing China’s Hazardous Chemical Legislation Development in 2012", Chemlinked
    12. Jinhe Chen, 19 Dec 2012, "Overview of Hazardous Chemicals Management in China", Chemlinked
    13. Christine Xu, 11 Dec 2012, "MEP Order 22 vs SAWS Order 53", Chemlinked
    14. Julian Zhu, 7 Dec 2012, "Entry and Exit of Hazardous Chemicals: Packaging and Labeling Requirements", Chemlinked
    15. Lin Fang, 5 Nov 2012, "MEP Order No 22: A Big Step but Long Way Ahead", Chemlinked
    16. Olivia Sun, 14 Jul 2012, "China's Decree 591: Overarching Legislation for Hazardous Chemicals", Chemlinked
    17. Lizzy Liu, 4 Dec 2011, "China Hazardous Chemicals Regulations - Decree 5911", Chemlinked
    18. Rita Qiu, 16 Mar 2011, "Updated Hazardous Chemical Regulation to Affect non-Chinese Companies", Chemlinked
    19. Julian Zhu, 11 Mar 2011, "Officials from Two Responsible Ministries Answered the Questions on Decree 591", Chemlinked
    20. Rita Qiu, 1 Nov 2011, Ebook06: Measures for the Administration of Hazardous Chemicals Registration, Chemlinked  
    21. Rita Qiu, 23 Jun 2011, Ebook04: Managing China GHS Compliance, Chemlinked  
    22. Lizzy Liu & Yvonne Huang, 21 Jun 2013, Ebook21: Manual of GHS Implementation in China, Chemlinked  
    23. Lin Fang, 24 Jan 2013, Ebook11: Measures for the Environmental Management Registration of Hazardous Chemicals (Trial), Chemlinked  
    24. Nadine He, 24 Jan 2013, Ebook10: Operating License for Hazardous Chemicals in Shanghai, Chemlinked