In today’s blog we will be covering practical 2026 chemical compliance checklist for PCN, UFI, and REACH obligations in the EU. Learn how to prepare, avoid enforcement risks, and manage compliance efficiently with Chemius.
By 2026, European chemical compliance enters a stricter phase. Transitional periods under CLP and REACH are over, enforcement is harmonized across member states, and inspectors expect full alignment between formulations, Safety Data Sheets, Poison Centre Notifications, and labels.
For manufacturers, importers, and downstream users, this means one thing: tolerance for gaps is gone. This second part of the checklist focuses on Poison Centre Notification (PCN), Unique Formula Identifiers (UFI), and REACH substance management, with a practical lens on how to stay inspection-ready.
Start by mapping all mixtures placed on the EU market. Under CLP Article 45 and Annex VIII, any hazardous mixture classified for physical or health hazards must be notified to poison centres via ECHA’s submission portal.
Key points to verify in 2026:
With all grace periods finished, enforcement authorities will treat missing or outdated PCNs as non-compliance rather than legacy issues.
Each unique mixture composition requires its own Unique Formula Identifier (UFI). This 16-character code connects the product label, SDS, and PCN dossier.
Best practices:
Within Chemius, UFI creation is integrated directly into SDS authoring. When a mixture composition is entered, the platform generates the UFI automatically based on Formula ID and VAT number of the company, ensuring alignment across documentation and reducing human error. More details are available at support@chemius.net
A compliant PCN dossier must follow ECHA’s harmonized format and include:
Creating this manually is time-consuming and prone to inconsistencies. Chemius reuses SDS data to guide users through PCN dossier creation step by step, applying built-in validation before submission to reduce rejection risk.
PCN dossiers must cover all EU/EEA countries where the product is placed on the market. Through the ECHA portal, multi-country submissions are possible, but responsibility remains with the notifier.
Ongoing obligations include:
Chemius allows direct submission to ECHA, status tracking, and grouped notifications for multiple products or brands. Once SDS data is complete, a compliant PCN can be prepared and submitted in minutes instead of days.
Read more: What is voluntary PCN?
Section 1.4 of the SDS must include a 24/7 emergency telephone number, accessible in the local language. Inspectors increasingly verify not just the presence of the number, but whether it works.
Internally:
Chemius’ regulatory dashboard helps by showing which products have valid PCNs linked to their SDSs, reducing blind spots.
By 2026, all standard REACH registration deadlines are long behind us. Any company manufacturing or importing substances at or above 1 tonne per year must ensure registration is complete and current.
Actions to take:
Upcoming regulatory changes may introduce time-limited registrations and expanded hazard classes. While Chemius is not a registration portal, it reflects updated classifications in SDSs and flags substances that gain new regulatory status.
For strategic REACH support and advisory services, companies often work with regulatory specialists such as https://www.bens-consulting.com, especially when dealing with complex supply chains or Only Representative arrangements.
The Candidate List of Substances of Very High Concern (SVHCs) continues to expand. In 2026, pressure around PFAS, endocrine disruptors, and CMR substances is expected to increase.
Compliance steps:
Chemius supports this by flagging substances in formulations that gain SVHC status or new harmonized classifications, allowing proactive updates before enforcement actions occur.
REACH Annex XVII defines concentration limits and use bans. New and upcoming restrictions to monitor include:
During formulation or raw material changes, cross-check ingredients against restriction lists. Chemius’ ingredient database includes synonyms, helping identify substances that may appear under alternative names in regulatory texts.
Inspectors in 2026 will expect structured documentation:
Using Chemius as a central repository ensures SDSs, PCN confirmations, and regulatory notes are accessible to regulatory, R&D, sales, and supply chain teams alike. This shared visibility reduces internal friction and inspection risk.
Chemical compliance in 2026 is no longer about meeting deadlines; it is about maintaining consistency across data, documents, and processes. PCN, UFI, and REACH obligations intersect, and misalignment between them is one of the most common causes of enforcement findings.
Platforms like Chemius provide structure and continuity, while expert advisory support from partners such as BENS helps companies interpret regulatory shifts and manage exceptions. Together, they allow organizations to treat compliance as a stable operational process rather than a recurring emergency.
Next week we will make part 3 of these chemical compliance tips and tricks. If you are in search of new SDS Authoring Software write us anytime at support@chemius.net.