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Taiwan Launches Late Pre-registration from April 1st

Taiwan pre-registration of existing chemical substances finished at the end of March (CL news). As of April 1st, the late pre-registration of existing chemical substances has been open.

Late pre-registration eligibility criteria:

  1. Existing chemical substances manufactured or imported > 100kg/year for the first time after March 31 while no manufacture or importation activities occurred before.

  2. Existing chemical substances manufactured or imported > 100kg/year for the first time after March 31 and previous manufacture or importation activities < 100kg/year. 

Period for Late pre-registration:

Within 90 days if any of the above two situations apply

Data Requirements:

  • Registrant information

  • Substance information (only CAS No./Serial No.)

  • Volume information (estimated volume of the year when application is made, chosen by drop-down list)

  • Usage information (category of industry and category of chemical product respectively, chosen by drop-down list)

In addition, registrants will be required to provide proof that their manufacture or import activities fit the eligibility criteria for late pre-registration. For Taiwanese manufacturers, any of the followings should be provided to prove the date of manufacture.

  • Proof or contract copy for trading of raw materials for manufacture of chemical

  • Transaction proof, contract or records of selling of the manufactured chemical

  • Manufacture records

For Taiwanese importers, any of the followings should be provided to prove the date of importation.

  • Proof document of importation

  • Transaction proof, contract of importation of chemical, or delivery proof from non-Taiwanese manufacturer

The pre-registration information will be available soon on the online platform developed by the authority. However the information shared on the platform will only be useful for confirming whether or not a given registration number is correct. There will not be any information that would allow users to ascertain the registrant of the corresponding chemical. That’s why for pre-registration there is no need for CBI application (not to mention the fact the authority still hasn’t provided a method to apply for CBI non-disclosure).

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