Author: Frédéric Lebreux
Responsible Person & US Agent under MoCRA US Agent: On December 29th, 2022, the most significant amendment to cosmetic requirements (21 U.S.C., Sec. 32... Read more.
BIORIUS Information Letter 118: The so awaited D4, D5 and D6 restrictions in wash-off and leave-on cosmetic products are notified The Draft Regulation on Cyclot... Read more.
BIORIUS Information Letter 117: New draft regulation on Vitamin A, Alpha-Arbutin, Arbutin and certain substances with potential endocrine disrupting properties ... Read more.
BIORIUS International Information Letter 006: Clarification regarding the definition of a Responsible Person in USA Responsible Person in USA: in our previous a... Read more.
The initial transition period established by the Government of the United Kingdom about UKCA marking and labeling has been extended. Extension of transition per... Read more.
The European Commission notified to the World Trade Organization (WTO) the cosmetic regulation project so-called “Omnibus VI” on November 17th, 2022. The dr... Read more.
The Modernization of the Cosmetics Regulation Act 2022 (MoCRA) On December 29th, 2022, the most significant to cosmetic requirements (21 U.S.C., Sec. 321-3... Read more.
Navigating cosmetics European and International Markets To create a cosmetic label suitable for multiple countries can be a challenging task due to varying regu... Read more.
Post-market surveillance refers to a surveillance system registering undesirable effects, serious or not, linked to the use of a cosmetic product. The issue gen... Read more.
” Since February 2023, France and Italy have started to implement their control strategies, verifying REACh restriction compliance at customs checkpoints ... Read more.