ex.VAT:
VAT:
inc.VAT:

Wednesday, July 1, 2015SCCS

o-Phenylphenol and its salts: Opinion of the SCCS

© CosmeticOBS-L'Observatoire des Cosmétiques

On June25, 2015, during its 10th plenary meeting, the SCCS has adopted its Opinion on the cosmetic ingredients o-Phenylphenol, Sodium o-phenylphenate, and Potassium o-phenylphenate. This Opinion is open for comments until August 21, 2015.

Reading time
~ 3 minutes

Background

b-Phenyl-2-ol and its salts, covering o-Phenylphenol, Sodium o-phenylphenate, Potassium o-phenylphenate, (CAS: 90-43-7, 132-27-4, 13707-65-8) as preservatives are regulated in Annex V, entry 7 of the Cosmetics Regulation 1223/2009 at a maximum concentration of 0.2% (as phenol).
In February 2013, the Commission received a risk assessment submitted by the French Agency ANSM which rose concerns about the use of o-Phenylphenol in cosmetic products. In the ANSM report, o-Phenylphenol was identified as a potential endocrine disruptor.
In January 2014, in response to a call for data by the Commission, Industry submitted a safety dossier to defend the current use of o-Phenylphenol and its salts at a maximum concentration of 0.2% (as phenol).

For exhaustive background information, see the article
SCCS: 7 requests for scientific Opinions (April 24, 2014).

Opinion

 1. Does SCCS consider o-Phenylphenol, Sodium o-phenylphenate, Potassium o-phenylphenate safe for use as preservatives with a maximum concentration of 0.2% (as o-phenylphenol) taking into account the information provided?

o-Phenylphenol as preservative with a maximum concentration of 0.2% in leave-on cosmetic products is not safe. Also, in view of further exposures including non-cosmetic uses (see Anses, 2014), the maximum concentration of o-Phenylphenol in leave-on cosmetic products should be lowered. However, the proposed …

This content is only available to subscribersPRO, PREMIUM, STARTUP and TPE

Already subscribed?Log in

Discover our subscriptions

SCCSOther articles

311results