Updates from Switzerland
Updates from Switzerland
The requirements for a Material Safety Data Sheet (MSDS) are described in Annex II of Regulation EC/1907/2006 of the European Parliament and of the Council on the Registration, Evaluation, Authorization and Restriction of Chemicals (REACH). This annex has been updated several times.
April 2021
The latest version came into force on January 1, 2021. The following major changes should be noted.
In the following, we focus on the parameters related to thermal process safety and explosion protection:
Despite the great hazard potential of dust explosions and the large number of chemical substances involved, the dust explosion hazard is not a classification characteristic under REACH. However, even before the latest revision, it was mandatory to refer to the dust explosion hazard in the Material Safety Data Sheet (chapter 2.3 of Annex II), whereby the note " May form explosible dust-air mixture if dispersed" was considered as sufficient. Such a note applies to practically all combustible solids handled in particle smaller than 0.5mm and is therefore of little practical use to the user of a substance.
The dust explosion hazard should also be mentioned when specifying unsuitable extinguishing agents (Annex II Chapter 5.1, SDS Section 5).
The avoidance of ignition sources is probably the most common protective measure in explosion protection. According to the directive, information on this is also required in the Material Safety Data Sheet (in sections 6 and 7). Here it becomes apparent that -appropriate information requires knowledge of characteristic data such as Minimum Ignition Temperatures and Energies. Without this information, for example, no reliable information can be given on maximum permissible surface temperatures or on the need for measures against static charging.
For this reason, chapter 9.2.2 of the Annex II (MSDS section 9) also states that it may be useful to specify characteristic data on explosive dust-air mixtures.
In contrast to the dust explosion hazard, several thermal hazards are indeed relevant for classification into hazard classes according to CLP or REACH. According to the regulation on Material Safety Data Sheets, information on the following properties must be provided in section 9:
Here, too, it is sufficient to indicate whether the classification applies or not. Detailed safety data (e.g. DSC data, onset temperatures, decomposition energies) are not required. However, such data must undoubtedly be available in order to describe well-founded recommendations in Sections 7 (Handling and Storage) and 10 (Stability and Reactivity), e.g. on maximum permissible temperature or storage period.
In view of the indication of information on the hazards of dust explosion or thermal decomposition, the is no need for action because of the revision of Annex II of Regulation EC/1907/2006, which came into force on January 1, 2021.
However, the listing of test results on hazardous properties in the new annex indicates that the customer/user can only take appropriate safety measures based on such detailed data, and that the legislator therefore understands the provision of such data as part of responsible product management (product stewardship).
We therefore recommend mentioning test results like Minimum Ignition Energy, Minimum Ignition Temperature, Onset of exothermic decomposition reaction etc., in the MSDS, especially if products are further processed by the customer on a large scale.
Please do not hesitate to contact us for further information.
Authors:
Delphine Berset
Adrien Bisel
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