To sell cosmetics in the EU, each product must have a designated Responsible Person (RP) based in the European Union. Sobel takes on this responsibility for you, ensuring your products remain compliant before and after entering the EU market.















The Responsible Person is not administrative support — it is the legal gatekeeper of EU cosmetic compliance.
From notification and labeling to safety documentation and vigilance, your RP is responsible for presenting evidence, answering authorities, and ensuring each product remains compliant throughout its lifecycle.
Our RP workflow brings order and clarity to every regulatory obligation, helping your products move into and remain on the EU market without gaps or delays.

A single, trusted contact for authorities and a consistent process across your entire cosmetics portfolio.
RP Appointment & Label Address: Official Article 4 appointment, RP contact details, and the EU address to print on pack.
CPNP Notifications & Updates: Complete Article 13 submissions, amendments, nanomaterial notifications, and communication with authorities whenever required.
PIF Access & Retention Management: Confirmation of PIF location and completeness, 10-year retention alignment, and clear access notes for authorities.
Label & Claims Checks (Text): Verification of Article 19 particulars and RP name/address placement, aligned with the claims and PIF content.
Post-Market Vigilance Coordination: Monitoring of the RP inbox, triage of undesirable effects, preparation of initial/final SUE reports, authority submissions, and support for corrective actions.
Change Control & Portfolio Hygiene: SKU/variant tracking, CPNP updates, and consistency checks across PIF, CPSR, labels, and notifications.
With Sobel as your RP, your regulatory responsibilities are handled with clarity, consistency, and the expertise needed to support safe, compliant market access.
With a single, experienced RP managing notifications, files, labels, and vigilance, your products move into the EU market with more predictability and far less administrative burden. We’re ready to guide your brand through every requirement!
The EU manufacturer, the importer, or a mandated EU-based third party. Sobel acts as this third party when appointed.
Yes. A non-EU manufacturer must appoint an EU-based Responsible Person before placing products on the market.
Before market entry. Nanomaterials require additional prior notification, often 6 months before launch.
10 years after the last batch is placed on the market, accessible at the RP address.
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