Tweeting about Environmental & Social Compliance, ESG, Circular Economy, Hazard Materials & Product Regulations across the globe affecting Manufacturers.

Joined October 2020
177 Photos and videos
For 5 years, we built Acquis Compliance. Today, we're Regilient : an Agentic Sustainability Platform. Same team. Same mission. AI agents that execute compliance workflows, not just track them. The tool became the team. #AgenticAI #ComplianceAutomation
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IMDS 15.3 is coming with updates that fix daily workflow pain. Better chemical filtering, smarter tree navigation, request ID tracking, and weekly reminders for open MDS tasks. Plus: no more forced 90-day password resets. Small changes. Big usability impact. #IMDS #MDS
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EPA extended TSCA 8(a)(7) PFAS reporting by 60 days. If you manufactured/imported PFAS since 2011, reporting still applies via CDX. Small article importers get extra time. Deadlines moved, but scrutiny didn’t. #PFAS #TSCA #EPA #ChemicalCompliance #SupplyChain
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RoHS 3 failures don’t start in the lab. They start in supplier data. Static spreadsheets, reused templates, and untracked exemptions create risk. High-performing teams validate at part level, map to BOMs, and track changes. #RoHS #ProductCompliance #SupplyChain
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ODS aren’t “gone.” CFCs, halons, and HCFCs still show up in legacy parts, servicing, and niche uses. The gap isn’t regulation, it’s visibility. Incomplete supplier data = hidden risk Compliance now means tracking beyond your current BOM. #SupplyChain #EnvironmentalCompliance
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#AMRT data isn’t optional anymore. It feeds battery due diligence, traceability, and carbon reporting. Yet most teams still chase incomplete files and repeat work. One supplier workflow → multiple outcomes. Because “unknown” now equals risk. #BatteryCompliance #SupplyChain
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Your PFAS file may look complete. That’s not what regulators test. They ask: how did you identify PFAS, classify materials, and validate supplier data? If you can’t recreate your logic, you can’t defend it. Templates ≠ proof. #PFAS #ChemicalCompliance #TSCA #REACH
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Most #RoHS failures aren’t caused by substances exceeding limits. They’re caused by exemption logic mistakes. Expired exemptions, wrong codes, or missing technical justification often trigger audit issues. RoHS compliance isn’t just testing, it’s exemption accuracy.
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Want to understand the 𝐭𝐞𝐜𝐡𝐧𝐢𝐜𝐚𝐥 𝐝𝐨𝐜𝐮𝐦𝐞𝐧𝐭𝐚𝐭𝐢𝐨𝐧 𝐛𝐞𝐡𝐢𝐧𝐝 𝐑𝐨𝐇𝐒 𝐜𝐨𝐦𝐩𝐥𝐢𝐚𝐧𝐜𝐞? This guide breaks down 𝐄𝐍 𝐈𝐄𝐂 𝟔𝟑𝟎𝟎𝟎:𝟐𝟎𝟏𝟖 and what must be included in a RoHS technical file. acquiscompliance.com/blog/en…

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EU proposes listing #TBPH as a Persistent Organic Pollutant under the Stockholm Convention. TBPH, a brominated flame retardant still present in niche supply chains, could face global control, aligning #REACH with #POPs restrictions. #StockholmConvention #ChemicalCompliance
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ECHA is consulting on adding 4 substances to the REACH Authorisation List. Submit data on uses, volumes, exemptions & supply chain impact. Deadline: 2 May 2026. #REACH #Authorisation #ECHA #ChemicalCompliance
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REACH Authorisation consultations are about facts, not opinions. If you use these substances, this is your chance to show real use and impact. Deadline: 2 May 2026. #REACH #Authorisation #SVHC #ChemicalCompliance #ECHA #RegulatoryDeadline
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Most suppliers ask: “How often do we submit an AMRT?” The real question: “How long before our last AMRT becomes wrong?” One-time AMRTs fail when changes happen with no triggers, ownership, or context. AMRT isn’t a task. It’s an operating model. #AMRT #ResponsibleSourcing #ESG
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Everyone’s talking about the penguin🐧 The one that walks away from the herd Not lost Just done pretending spreadsheets and assumptions lead anywhere In compliance, some teams follow noise. Others choose direction. #Compliance #ResponsibleSourcing #CMRT #ProactiveCompliance
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Conflict Minerals compliance shouldn’t run on spreadsheets. Automating CMRT collection, smelter validation, and RCOI frees teams to focus on risk not follow-ups. Defensible compliance scales. Manual workflows don’t. #CMRT #ConflictMinerals #ResponsibleSourcing #Compliance
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CMRT scope doesn’t fail audits. Unsupported scope does. Company vs product-level isn’t a preference it’s about evidence. If your scope doesn’t match sourcing, RCOI, and exclusions, scrutiny starts there. #CMRT #RCOI #ConflictMinerals #Compliance #DueDiligence
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