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Compliant in Paris, Illegal in New York: the Myth of "One Label Fits All"
Discover key cosmetic labeling requirements across the EU, US, and Canada. Learn why “one label fits all” is a costly compliance myth.
E-commerce : Which obligations do professionals have ?
Since the beginning of the health crisis, many people have turned to the Internet to continue consuming. A godsend for the cosmetics industry professionals. Like physical distribution, online sales are subject to very specific rules. CosmeticOBS took stock of the situation with Xavier Gueant, Director of Legal Affairs at the FEBEA.
Hand antisepsis: Q&A Biocide / Cosmetics
Hydroalcoholic products, which are an integral part of the barrier measures to combat the spread of the Covid-19 coronavirus, still raise many questions. What regulations do they depend on? What substances must (or must not) they contain? What claims can they make? Corinne Benoliel and Pauline Ferreira-Théret, from Institut Scientis, answer these questions (and many others), in this Q&A Biocid...
A short regulatory tour of the world for formulators
When we develop a cosmetic product, we think about galenics, texture, technical constraints, efficiency… but not only that! The formulator must also take into account the regulatory constraints imposed by the European Cosmetics Regulation in force and those of the areas where the developed product is marketed. Estelle Dehier, from Labosphère, offers here a small international overview of the most ...
"Free-from..." claims: clarification from the French supervisory authorities
Since 1 July 2019, and the joint implementation of the European Technical Document on Cosmetic Claims and the 8th revision of the French ARPP’s Recommendation “Cosmetic Products”, controversies and uncertainties as to their scope have remained very strong. With a central question: how would the control authorities take them into account during their inspections? The answer has just arrived, with t...
Monday, May 28, 2018
Caramel, sweets, chocolate… thanks, but not for cosmetics
It is not rare to find beauty products in the form of food. A few manufacturers have adopted this credo: offering all sorts of cosmetics that almost p...
Tuesday, March 13, 2018
What status for false nail glue? Or the story of the platypus hoax
In their 6th annual report dated February 9th 2018, RAPEX mention the marketing ban on a false nail glue containing hydroquinone, which classifies it ...
Wednesday, February 28, 2018
Cosmetics microbiological safety assessment: a focus on standards
Microbiology is an essential notion to take into account when designing and producing cosmetic products. Indeed, most of them contain a high quantity ...
Tuesday, January 9, 2018
Public access to PIF information
All information contained in the PIF is the property of the Responsible Person and does not have to be made public. However, some of them must be made...
Tuesday, January 9, 2018
PIF updating
A DIP must be regularly updated… and if a simple update is not enough, it must be completely recreated.
Tuesday, December 26, 2017
Information required in the PIF: Animal testing data
Article 11 of the Cosmetic Regulations precisely defines the information that must be held in the DIP. Among them: data relating to animal testing.
Tuesday, December 26, 2017
Information required in the PIF: Evidence of the claimed effect
Article 11 of the Cosmetic Regulations precisely defines the information that must be held in the PIF. Among them: evidence of the claimed effect.
Tuesday, December 26, 2017
Information required in the PIF: Manufacturing method and declaration of GMP compliance
Article 11 of the Cosmetic Regulations precisely defines the information that must be held in the PIF. Among them: the manufacturing method and the de...
Tuesday, December 26, 2017
Information required in the PIF: Cosmetic Product Safety Report
Article 11 of the Cosmetic Regulations precisely defines the information that must be held in the PIF. Among them: the Cosmetic Product Safety Report ...
Tuesday, December 26, 2017
Information required in the PIF: Product Description
Article 11 of the Cosmetic Regulations precisely defines the information that must be held in the DIP. Among them: the product description.
Monday, December 18, 2017
Location and access to the PIF
The location where the competent authorities have access to the DIP is the address of the Responsible Person specified on the packaging of the markete...
Monday, December 18, 2017
PIF retention period
The PIF must be kept for 10 years after the last batch of the cosmetic product is placed on the market… nd for some products, until 11 July 2020.
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