Disinfectant & Biocide

South Korea Issues Biocidal Product Naming Guidelines

Updated on

REACH24H Agrochemical Compliance Team

The agrochemical team of REACH24H delivers one-stop global regulatory compliance services for pesticide, biopesticide, biocide, biostimulant and fertilizer enterprises. Covering markets including China, the US, Europe, Asia-Pacific and Latin America, we have served over 600 enterprises worldwide, with China's Top 100 pesticide enterprises exceeding 90% coverage.

Written by REACH24H Agrochemical Compliance Team

Recently, South Korea's Hazard Management Division issued the "Guidelines on Establishing Biocidal Product Names" (살생물제품명 설정을 위한 안내문), setting out principles for the labeling of biocidal product names, the order of handling applications for identical names, rules for submitting and changing product names, and expressions that must not be used in product names. The guidelines are primarily intended for companies applying for biocidal product approval and aim to reduce the risk of product names misleading consumers, exaggerating efficacy, or violating labeling and advertising restrictions.

The "Regulation on the Labeling of Biocidal Products" states that the purpose of managing biocidal product names in South Korea is to prescribe matters necessary for the labeling of biocidal products and to provide accurate information to consumers who purchase and use such products. In other words, a product name is not only commercial identification information, but is also regarded as part of consumers' risk awareness and safe-use information.

The newly issued "Guidelines on Establishing Biocidal Product Names" include the following key points:

1. Korean Language Requirement & Misleading Prohibition

The product name should be consistent with the name stated in the biocidal product approval notice. Where there are multiple product names, one representative product name should be entered on the first page of the approval notice, and the remaining names should be listed in an attachment. At the same time, to prevent hazards arising from product use, product names must not be exaggerated, misleading, or in violation of advertising requirements.

2. Identical Names: Trademark Priority & Application Timing

For cases where different applicants apply for the same biocidal product name or the same additional biocidal product name, the guidelines establish certain handling rules. It should be noted that if it can be confirmed that an applicant holds trademark rights to the biocidal product name or additional biocidal product name, the case will be handled with priority regardless of these rules.

This arrangement means that, at the product naming stage, companies should not only focus on regulatory compliance, but also check trademark ownership and name availability in advance to avoid impacts on approval timelines due to conflicts involving identical names.

3. Main Product Names Cannot Be Changed After Application

The guidelines make clear that after an application for biocidal product approval has been submitted, the main product name cannot be changed; if a company needs to make adjustments, it should apply through the change approval procedure after the approval notice has been issued.

4. "Eco-Friendly," "Safe," "Non-Toxic" Prohibited in Names

The guidelines list various examples of restricted product names. For example, expressions that may enhance a product's positive image by using a specific name must not be used; excessive use of superlative or best-in-class expressions is not permitted; and safety-, environmental-, or natural-related expressions that violate labeling and advertising restrictions must not be used. The guidelines remind companies to refer to the implementation notice for the "Regulation on Labeling and Advertising of Household Chemical Products, etc." when establishing product names.

Although these guidelines are explanatory documents for establishing product names, their content is directly related to biocidal product approval, label indications, and advertising compliance. For companies, product names are no longer merely a marketing issue, but an important component of the completeness of approval application dossiers, approval priority, label review, and subsequent sales compliance. Therefore, relevant companies are advised to proactively check for risks of identical product names, use marketing terms with caution, and ensure that product names fully comply with the requirements of the guidelines.

Not sure where to start? Our regulatory experts are ready to help.
Email: customer@reach24h.com

Newsletter Subscription

Sign up to receive event invitations, expert insights, timely news alerts, and other updates.

SUBSCRIBE

Contact Us

REACH24H USA

+1 703 596 8055

REACH24H EU

+353 1 8899 951

REACH24H UK

+44 782 7193124

REACH24H China

+86 571 87103805

REACH24H Korea

+82 2 62451610

REACH24H Japan

+03 5005 0662

REACH24H Singapore

Events

Compliance Strategies for Biocidal Products in Europe, America, China, and South Korea
Full Image