Registration Dossier

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Please be aware that this old REACH registration data factsheet is no longer maintained; it remains frozen as of 19th May 2023.

The new ECHA CHEM database has been released by ECHA, and it now contains all REACH registration data. There are more details on the transition of ECHA's published data to ECHA CHEM here.

Diss Factsheets

Ecotoxicological information

Endpoint summary

Administrative data

Description of key information

Experimental data on terrestrial toxicity are neither available nor needed, based on exposure considerations, substance properties as well as the data set available for the aquatic compartment. For details, see additional information below as well as the respective endpoint summaries.

Additional information

Terrestrial toxicity

In accordance with column 2 of REACH Annexes IX and X, terrestrial studies do not need to be conducted if direct and indirect exposure of the soil compartment is unlikely. Direct exposure to soil is not likely, since the substance is not intentionally applied to soil. Indirect exposure to soil is also not likely since the substance is readily biodegradable and has a low adsorption potential (log Koc <<3). Further, as the substance is of low aquatic toxicity (EC/LC50 > 1 mg/L) the substance was assigned to soil hazard category 1, according to the ITS as described in ECHA Guidance on Information Requirements and CSA, R.7c. Accordingly, the EPM method was applied to assess the hazard for soil organisms. In conclusion, soil toxicity testing is not required.

Toxicity to birds

In accordance with REACH Annex X, 9.4, Column 2, the available mammalian dataset may be used for the risk assessment (see Section 7). According to ECHA Guidance on Information Requirements and CSA, R.7c, risk from secondary poisoning is unlikely for a substance which is readily biodegradable, and has a low potential for bioaccumulation in fish and earthworms (which is the case with the submission substance).