PAO Comisión Europea
PAO Comisión Europea
PAO Comisión Europea
Révisé
Practical implementation of Article 6(1)(c) of the Cosmetics
Directive (76/768/EEC)1:LABELLING OF PRODUCT DURABILITY: “PERIOD OF TIME
AFTER OPENING”
“(….) Indication of the date of durability shall not be mandatory for cosmetic
products with a minimum durability of more than 30 months. For such products,
there shall be an indication of the period of time after opening for which the product
can be used without any harm to the consumer. This information shall be indicated
by the symbol given in Annex VIIIa followed by the period (in months and/or years)”.
Further to the adoption of the Directive 2003/15/EC which has modified the
Cosmetics Directive (76/768/EEC), it seems appropriate to ensure a uniform
implementation of this requirement in order to allow a smooth functioning of the
internal market. To this purpose, the Commission set up a sub-working group
composed of representatives of Member States and stakeholders.
The sub-working group presented its conclusions to the working group on cosmetic
products [19 April 2004]. This group is chaired by the Commission and is composed
of representatives of all Member States, EFTA, BEUC, the European Organisation of
Consumers, COLIPA, European Federation of Cosmetic Products, EFfCI, European
Federation for Cosmetic Ingredients, EFFA, European Flavour and Fragrances
Association and Unitis, European Organisation of Cosmetic Ingredients Industries and
Services. A general consensus was reached on these conclusions.
The comments expressed in this Communication are not legally binding, since only
the Court of Justice can give an authoritative interpretation of Community law.
As quoted above, according to article 6(1)(c) the indication of the date of durability is
not mandatory for cosmetic products with the minimum durability of more than 30
months.
However there shall be an indication of the period of time after opening for which
the product can be used without any harm to the consumer. It is this new provision
that is the object of comments below.
When the mention of the period of time after opening has to be made available
By requiring the labelling of a period after opening, the Article 6(1)(c) of the
Cosmetics Directive (76/768/EEC), aims to provide useful information to consumers.2
1
As last modified by European Parliament and Council Directive 2003/15/EC.OJ L 66, 11.03.2003,
p.26.
2
Recital (14) of Directive 2003/15/EC reads as follow: “In order to improve the information provided
to consumers, cosmetic products should bear more precise indications concerning their durability for
use.”
1
It can be assumed from article 6(1)(c) that the period after opening must be labelled
when after its opening the deterioration of the product may lead to harm to the
consumer.
For the purpose of Article 6(1)(c), the opening of the product may be considered
as occurring when the consumer opens the product for use for the first time.
Anyway, in the case of products sensitive to deterioration by micro-organisms, the
person responsible for placing the product on the Community market should consider
measures to avoid the opening of the product before it reaches the final
consumer.
The mention of the period after opening seems not to be relevant when there is:
2
What information needs to be labelled
The “period after opening” is indicated by the open-jar symbol adopted by the
Commission on 5 September 20033. The period of time is expressed in months and/or
in years, inside or alongside the symbol. The choice of the position of this number
should be made in order that it is easily legible as required by article 6.1 of Cosmetics
Directive.
It seems appropriate that steps are taken to ensure that consumer fully understands
the meaning of the new open-jar symbol and the accompanying abbreviation (“M”)
that could appear on cosmetic products.
3
Commission Directive 2003/80/EC, OJ L 224 of 06.09.2003, p. 27.