Confidential Business Information
Depending on the country, the use of Trade Secret Names (TSN) may be subject to certain limitations and considerations. See the resume in the following table.
Region | Country | Can we hide chemical name? | Can we hide CAS? | Any restrictions? | Process | Any fees? |
Yes | Yes | |||||
Yes | Yes | |||||
Yes | Yes | |||||
Yes | Yes | |||||
Yes | Yes | |||||
Yes | Yes | |||||
EUROPE (REACH) | Yes | Yes | ||||
Yes | Yes | |||||
Great Britain | Yes | Yes | Fees | |||
Ukraine | Yes | Yes | ? | ? | ||
Yes | Yes | Fees | ||||
Yes | Yes | |||||
Yes | Yes | |||||
Yes | Yes | |||||
Yes | Yes | Fees | ||||
Yes | Yes | |||||
Yes | Yes | |||||
Yes | Yes | |||||
Yes | Yes | |||||
Yes | Yes | |||||
Yes | Yes |
*Process - does it requires to have an extra actions to use TSNs
Some specificities considering the region/country:
USA
If TSNs are used in section 3, a Trade secret statement is required. Information must be made available to health professionals in emergency situations and in non-emergency situations, but requests must be in writing. If the hazardous chemical or a component has a PEL (Permissible Exposure Limits) or TLV (Threshold Limit Values) , this must be reflected on the MSDS.
Important
Regulatory agency approval is not required. Decision is left to the manufacturer/supplier.
Mexico
When some information related to the composition is omitted for industrial secret, it must be inserted an informative phrase of this condition as “industrial secret” , or “confidential information held” or “Confidential information”.
Important
Regulatory agency approval is not required.
Relevant Links:
South America
Argentina, Brazil
When some information related to the composition is omitted for industrial secret, it must be inserted with an informative phrase of this condition as “industrial secret” , or “confidential information held” or “confidential information” .
Link regulation:
Argentina
Rest of South America countries
Regulatory agency approval is not required.
Countries: Chile; Colombia; Costa Rica; Dominican Republic, Panama, Peru & Venezuela
There are no applications needed to be filled or any statement added in section 3. TSN can be used if components have no OEL and they are not classified as CMRs.
Oceania
Australia
Generic names may be used in an SDS if the identity of an ingredient is genuinely commercially confidential, and if:
- The ingredient is in any of the following health hazard categories:
- Acute toxicity - Category 4 (oral, dermal, inhalation);
- Aspiration hazard - Category 1;
- Serious eye damage/eye irritation - Category 2/2;
- Skin corrosion/irritation - Category 2;
- Specific target organ toxicity (single exposure) - Category 3.
- The ingredient does not cause the correct classification of the hazardous chemical to include any other hazard class or category, and an exposure standard for the ingredient has not been established.
Relevant link:
New Zealand
Generic names may be used in an SDS if the identity of an ingredient is commercially confidential, and if (1):
- (A) the ingredient causes the correct hazard classification of the hazardous substance to include any of the following hazard classifications:
(I) acute toxicity Category 4 (oral, dermal or inhalation):
(II) skin irritation Category 2:
(III) eye irritation Category 2:
(IV) specific target organ toxicity – single exposure Category 3:
(V) aspiration hazard Category 1; and
- (B) the ingredient does not cause the correct hazard classification of the hazardous substance to include any hazard classification other than those referred to in subparagraph (A); and
- (C) the identity of the ingredient is confidential information; and
- (D) a prescribed exposure standard (as defined in the Health and Safety at Work (Hazardous Substances) Regulations 2017) has not been established.
Relevant link:
Asia
China
The real name and CAS number of the component may be omitted depending on the specific circumstances of the need for confidentiality, but the associated hazards shall be included in the relevant section of the SDS.
Relevant Link:
- National Standard of the People's Republic of China :
GB/T 17519 - 2013 Guidance on Compilation of Safety Data Sheet for Chemical Products
Korea
Complete amendment of OSHA (Jan. 2019) and its decrees (Dec. 2019):
The changed MSDS policy was enforced since January 16, 2021 including new obligations like MSDS submission and CBI claim for specific components
CBI claims for Confidential Business Information:
To claim Confidential Business Information (CBI) , companies must submit substitute chemical names and concentration information as well as supporting data to the MoEL for approval.
Upon the MoEL’s review, whether approved or disapproved, companies must provide the information on their MSDS. The information (e.g. approval number and expiration date) of the approval are to be indicated in Section 3 on the MSDS.
Requirements
- MSDS of product
- Full composition of product
- Supporting materials to prove that the target chemical is a trade secret
- Secrecy of the information;
- Competitive or economic advantage conferred on the owner by the information
- Reasonable efforts by the owner to maintain secrecy of the information
- Substitute name and concentration range of target chemical
- Information of health/environmental and physical hazards of target chemicals
- Other documents announced by MoEL
*R&D chemicals can omit 3) and 6)
Validity period:
5 years (extendable every 5 years)
Processing period
More than 2~3 months (1 months for R&D products)
Fees
Basic fee 70k KRW + 40k KRW*number of CBI components (maximum 270k KRW)~200EUR
Substances not subject to CBI claims
- (under the K-OSHA) Harmful Substances Prohibited from Manufacturing, Harmful Substances Required Permission for Manufacture, Controlled Hazardous Substances, Controlled Substances Subject to Environment Monitoring, Controlled Substances Subject to Health Examination
- (under the K-REACH) Toxic Substances, Authorization Substances Restricted Substances, Prohibited Substances
Tricky Point:
Information disclosed in an SDS from another country cannot be kept confidential in Korea.
Economic value must be submitted, even if only approximate.
CBI conditions_ All three conditions must be met :
- Non-publicity
Who knows the information, both inside and outside the company.
Whether it's legally disclosed elsewhere.
- Confidentiality Management
Measures taken to protect the information.
Difficulty for others to access it.
- Economic Value
Advantage to competitors if disclosed.
Investment made to develop the information.
If an Article contains Special control substances, we need to get CBI approval for ALL concealed substances in Chapter 3.
Malaysia
The CBI shall be consistent with the following general principles:
- For information otherwise required on labels or SDS, CBI claims shall be limited to the names of chemicals, their identifiers, and their concentrations in mixtures. All other information shall be disclosed on the label and/or SDS, as required;
- Where CBI has been withheld, the label or SDS shall so indicate; and
- CBI shall be disclosed to the Director-General of Occupational Safety and Health upon request. The confidentiality of the information received is protected under Section 67 of OSHA 1994.
Relevant Link:
- Industry Code of Practice – Malaysia- link
- 3E Insight for Chemicals
Taiwan
It is possible to use TSN without requesting CBI claim if :
- Is hazardous for the environment and gives environmental classification for the whole product.
It is possible to use TSN if business has been submitted CBI claim to Taiwan authority:
- Acute toxicity categories 4.
- Skin corrosion/irritation category 2.
- Serious eye damage/irritation category 2A.
- Specific target organ toxicity - single exposure category 2.
- Specific target organ toxicity - repeated exposure category 2.
- Aspiration toxicity cat 1
Withholding Safety Data Sheet content as confidential is prohibited if components are classified as:
- Acute toxicity categories 1, 2 or 3.
- Skin corrosion/irritation category 1.
- Serious eye damage/irritation category 1.
- Respiratory or skin sensitizer.
- Germ cell mutagenicity.
- Carcinogenicity.
- Toxic to reproduction.
- Specific target organ toxicity - single exposure category 1.
- Specific target organ toxicity - repeated exposure category 1.
Relevant Link:
Vietnam
Organizations and individuals producing or importing chemicals have to send a classification and labeling of chemicals and materials related to the Chemicals Agency before 15 (fifteen) working days from the date of the chemical in use and circulation in the market. Information considered as confidential business, organization or individual must notify the Department of Chemical chemicals before putting into use, circulation in the market and to the implementation with other agencies as required.
Relevant Link:
- Guidelines for the implementation of certain articles of Law on Chemicals – Vietnam
Singapore
In section 3 information on chemical hazards must be provided.
Generic names may be used in an SDS if the identity of an ingredient is genuinely commercially confidential, and if:
- the ingredient is not any of the following health hazard categories:
Hazard Class | Hazard Category | Concentration |
Carcinogenic | Category 1 | ≥ 0.1% |
Germ cell mutagenicity | Category 1 | ≥ 0.1% |
Reproductive toxicity | Category 1 | ≥ 0.1% |
STOT, single exposure | Category 1 | ≥ 1.0% |
STOT, repeated exposure | Category 1 | ≥ 1.0% |
Skin corrosion | Category 1 | ≥ 1.0% |
Serious eye damage | Category 1 | ≥ 1.0% |
Respiratory Sensitization | Category 1 | ≥ 0.1% |
Acute Toxicity | Category 1 to 3 | ≥ 0.1% |
- Or have PEL values as listed in the First Schedule of Workplace Safety and Health (General Provisions) list .
*This information is a summary of SS 586 : Part 3 regulation. Full text is available for charge only
Relevant Link:
- Workplace Safety and Health (General Provisions) Regulations
Thailand
For non-hazardous chemical products imported into Thailand, a statement from the supplier is sufficient. There is no need to disclose the full composition.
For hazardous chemical products, It is possible to use TSN without requesting a CBI claim, but DIW usually requires notifiers to disclose their product composition 100%. Importers must disclose full composition for DIW (Department of Industrial Works) per B.E. 2558 form, if they import more than 1t hazardous substances per year.(1, 2, 3)
For imported products, foreign suppliers may consider using a local third-party agent to submit all info on behalf of importers to protect confidential business info.
Exemption could be applied if the person has already been granted a permit for production, import or export of hazardous substances, a permit for the possession of the particular hazardous substance could be exempted.
Hazardous Substance type 4 used for R&D could be exempted.
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