The European printing ink industry enters 2026 under increasing regulatory scrutiny. REACH updates, expanding SVHC lists, and tighter controls on hazardous substances are reshaping how ink manufacturers formulate, document, and place products on the market.
For printing ink producers—especially those operating outside of Europe and exporting across Europe—the challenge is not only compliance. It is speed, accuracy, and continuity. Hazardous raw materials remain deeply embedded in legacy formulations, specialty pigments, solvents, and additives. Even when used below concentration limits, their presence requires constant monitoring, documentation, and justification.
The REACH Candidate List now includes more than 240 substances, with new entries expected in 2026. Many of these substances are relevant to printing inks, either directly or as impurities. Manual tracking is no longer realistic for companies managing dozens or hundreds of formulations.
This article outlines the top five hazardous raw materials still shaping printing ink compliance in 2026, explains why they remain problematic, and shows how digital systems such as Chemius reduce regulatory workload while increasing control.
REACH does not ban hazardous substances outright. Instead, it imposes:
For printing inks, the key risk lies in SVHC presence above 0.1% w/w, whether intentional or as a by-product. This triggers downstream communication, customer declarations, and—in some cases—product reformulation.
Ink manufacturers must also align with CLP classification, worker safety requirements, and sector-specific expectations such as EuPIA guidance. The result is a compliance landscape where one formulation change can trigger updates across SDSs, labels, PCN notifications, and transport documentation. You can see which of your products in your portfolio contain SVHC in our Regulatory Dashboard.
Heavy metals remain one of the most sensitive topics in printing ink compliance.
While their use has declined, legacy pigments, specialty colours, and imported raw materials still pose risks. Lead and cadmium compounds are classified for CMR (carcinogenic, mutagenic or reproductive toxicity) and long-term environmental impact. Under REACH Annex XVII, their presence is heavily restricted.
Why they still matter in 2026
Compliance impact
Aromatic solvents such as xylene continue to appear in offset and industrial inks due to their solvency performance.
However, they are under pressure from:
In 2026, authorities are expected to focus more strongly on combined VOC exposure, not just individual substance limits.
Compliance impact
Phthalates remain among the most challenging SVHCs for ink manufacturers.
Although many producers have replaced them, phthalates still appear in additives, resins, and plasticisers, particularly in older formulations or imported intermediates.
Why phthalates are critical
Even small concentration changes can push a formulation above regulatory thresholds, triggering reclassification and communication duties.
PAHs often enter ink formulations unintentionally through carbon black pigments or petroleum-derived materials.
They are problematic due to:
Compliance challenge PAHs may not be explicitly listed in formulations, yet still influence classification and SVHC obligations if present above limits.
Certain binders, preservatives, and resins used in inks can release formaldehyde over time.
Although often present at low levels, formaldehyde is tightly regulated due to sensitisation and carcinogenicity concerns.
Why it matters
Many ink manufacturers still rely on:
This approach breaks down when:
The result is delayed SDS updates, inconsistent documentation, and rising audit risk. The simple solution for 80 euros per month is Regulatory dashboard feature in Chemius.
Chemius addresses SVHC compliance at the formulation level, not as a separate administrative task.
Ink manufacturers using Chemius typically reduce manual compliance checks by up to 70%, while improving response time to customers and authorities.
For producers operating at scale—50 kton, 90 kton, or more—compliance efficiency becomes a competitive factor.
Faster documentation means:
In a market where regulatory expectations rise every year, structured digital compliance is no longer optional.
The Candidate List is typically updated twice per year. Each update can affect existing formulations, even if no raw material changes occur.
Yes. Products still placed on the market or stored must remain compliant, including documentation availability.
Yes. SVHC obligations apply regardless of whether a substance is intentionally added or present as an impurity.
No. Chemius supports regulatory teams by automating detection, documentation, and monitoring, allowing experts to focus on decisions rather than data collection.
Hazardous raw materials will remain part of printing ink chemistry for the foreseeable future. What changes in 2026 is the expectation that manufacturers know exactly where risks exist, how they are controlled, and how fast documentation can be updated.
Digital compliance systems such as Chemius are no longer about convenience. They are about maintaining market access, protecting margins, and ensuring regulatory confidence across Europe and beyond. If you are in a search for a comprehensive SDS Authoring Software, then you come to the right place.
Send us an email to support@chemius.net or book a free demo on our page www.chemius.net.