Thinking of importing, supplying, or storing SARMs in the EU or UK? Then you need to understand REACH – because it’s not just for big chemical companies. It applies to you, even if you’re selling “for research only.” Let’s break it down.
What is REACH?
REACH stands for:
Registration, Evaluation, Authorisation and Restriction of Chemicals
It’s the EU’s regulatory framework for controlling how chemical substances are:
Manufactured
Imported
Supplied
Used
REACH is enforced in the EU by ECHA (European Chemicals Agency) and in the UK by HSE (Health & Safety Executive) under the UK REACH system (post-Brexit clone).
Yes – SARMs are chemical substances, and REACH applies if you:
Import SARMs into the EU/UK (even in small quantities)
Store or handle them in a commercial or research setting
Supply them to others (even with “not for human consumption” disclaimers)
Use them in formulations (e.g., solutions, suspensions)
REACH does not care if you’re selling “for research only.” If you handle >1 kg/year per substance, you’re legally required to register or rely on a registrant.
Common Misconceptions
“SARMs aren’t drugs so REACH doesn’t apply” Wrong. REACH applies to any substance, not just medicines or cosmetics.
“They’re for research only, so it’s fine” REACH does not exempt research chemicals unless used exclusively under controlled lab conditions and never supplied to third parties.
“I buy from a European supplier, so I’m covered” You are still responsible for downstream compliance, including:
Label your products in accordance with CLP Regulation
Ensure all storage and transport meets REACH safety protocols
Declare your import volumes annually if above thresholds
In many cases, this means working with:
An Only Representative (OR)
A REACH consultant
Or importing via a registered REACH entity
Penalties for Non-Compliance
REACH violations can result in:
Fines up to €5,000 – €500,000+
Criminal prosecution in some jurisdictions
Confiscation of goods at border/customs
Supplier bans and regulatory shutdowns
Many SARMs packages seized by EU customs are flagged due to missing SDS or REACH registration data, not just legality of the compound.
Example: REACH Fine for Unregistered Chemical Imports (Germany, 2023)
Case: A German distributor imported several unregistered chemical substances from outside the EU for resale to laboratories. The company assumed that “small‑quantity research use” exempted it from REACH registration. Customs flagged the shipment due to missing Safety Data Sheets (SDS) and no registration numbers. ECHA and the national enforcement authority investigated.
Outcome:
The company was fined €50,000 for importing and supplying unregistered substances.
All goods were confiscated.
The business was temporarily banned from further imports until full REACH registration was completed.
Management was personally warned for negligence under the national chemicals act.
Source: Publicly reported enforcement summary from German REACH enforcement authorities (Bundesstelle für Chemikalien, 2023).
How we comply
Minimum compliance checklist:
Obtain our valid SDS with hazard statements (even for research-use SARMs)
Maintain our labelling per CLP requirements
Document each batch (date, volume, purity, lab)
Keep COAs and HPLCs traceable by batch number
Don’t repackage without proper labelling & risk classification
Are SARMs banned under REACH? No – but if you’re handling >1kg/year or supplying to others, you must comply with REACH registration and safety protocols.
Do “research only” disclaimers exempt REACH? No. Disclaimers do not override chemical handling laws. REACH still applies.
Do I need to register each SARM? Yes – unless you’re buying from a REACH-registered upstream supplier and they’ve passed registration rights down to you.
Are there specifics SARMs which come under other legislation? Currently there no SARMs which are regulated by other legislation in the UK. However, it’s important to note compounds such as Cardarine may come under increased scrutiny due to their potential carcinogen risk. Compounds such as MK677 are generally suitable for general research
Bottom Line
REACH isn’t optional. If you’re importing, storing, or supplying SARMs in the EU or UK, you must comply with REACH – even if it’s for research only. Get compliant before customs gets involved.
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REACH and SARMs: A changing environment for 2026
Thinking of importing, supplying, or storing SARMs in the EU or UK? Then you need to understand REACH – because it’s not just for big chemical companies. It applies to you, even if you’re selling “for research only.” Let’s break it down.
What is REACH?
REACH stands for:
It’s the EU’s regulatory framework for controlling how chemical substances are:
REACH is enforced in the EU by ECHA (European Chemicals Agency)
and in the UK by HSE (Health & Safety Executive) under the UK REACH system (post-Brexit clone).
Initial reading: Understanding REACH
Are SARMs covered by REACH?
Yes – SARMs are chemical substances, and REACH applies if you:
REACH does not care if you’re selling “for research only.”
If you handle >1 kg/year per substance, you’re legally required to register or rely on a registrant.
Common Misconceptions
“SARMs aren’t drugs so REACH doesn’t apply”
Wrong. REACH applies to any substance, not just medicines or cosmetics.
“They’re for research only, so it’s fine”
REACH does not exempt research chemicals unless used exclusively under controlled lab conditions and never supplied to third parties.
“I buy from a European supplier, so I’m covered”
You are still responsible for downstream compliance, including:
What’s Required for Compliance?
If you’re a UK based SARMs vendor or researcher, you may need to:
In many cases, this means working with:
Penalties for Non-Compliance
REACH violations can result in:
Many SARMs packages seized by EU customs are flagged due to missing SDS or REACH registration data, not just legality of the compound.
Example: REACH Fine for Unregistered Chemical Imports (Germany, 2023)
Case:
A German distributor imported several unregistered chemical substances from outside the EU for resale to laboratories.
The company assumed that “small‑quantity research use” exempted it from REACH registration.
Customs flagged the shipment due to missing Safety Data Sheets (SDS) and no registration numbers.
ECHA and the national enforcement authority investigated.
Outcome:
Source: Publicly reported enforcement summary from German REACH enforcement authorities (Bundesstelle für Chemikalien, 2023).
How we comply
Minimum compliance checklist:
Useful Links:
FAQ: REACH & SARMs
No – but if you’re handling >1kg/year or supplying to others, you must comply with REACH registration and safety protocols.
No. Disclaimers do not override chemical handling laws. REACH still applies.
Yes – unless you’re buying from a REACH-registered upstream supplier and they’ve passed registration rights down to you.
Currently there no SARMs which are regulated by other legislation in the UK. However, it’s important to note compounds such as Cardarine may come under increased scrutiny due to their potential carcinogen risk. Compounds such as MK677 are generally suitable for general research
Bottom Line
REACH isn’t optional. If you’re importing, storing, or supplying SARMs in the EU or UK, you must comply with REACH – even if it’s for research only.
Get compliant before customs gets involved.
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