Guidance on the transition of disinfectants and surface sanitizers to the Biocides Regulations: Transition of authorized disinfectants and registered sanitizers

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Options to transition

The transition period is from May 31, 2025 to May 31, 2031. If you have a product authorized or registered in Canada that now meets the definition of a biocide, you have 4 options during this transition period:

  1. You may transition your biocide to the regulations by submitting a transition application to receive a market authorization as a biocide before May 31, 2029.
  2. You may apply for a new market authorization for your biocide under the regulations by submitting a new application. The only applicable option for surface sanitizers for use in food premises is to obtain a market authorization through the new application pathways.
  3. You may remove all biocide claims from your existing product label, authorization and registration. However, your product will need to be compliant with whichever regulatory frameworks apply to the remaining claims as applicable. For example, medical device, pest control product or cleaner claims.
  4. You may remove your biocide from the market and request that your DIN or pest control product registration be cancelled.

You will be able to continue to sell your product that is authorized under the FDR or registered under the PCPA:

This is because its DIN or pest control product registration is still valid. You may also continue to sell your surface sanitizer for use in food premises:

At the end of their 4-year transition period, DINs and pest control product registrations for biocides under the FDR and the PCPA, respectively, will no longer be valid. You will require a market authorization issued under the regulations to sell the biocide.

If you market a surface sanitizer for use in food premises, you will need to obtain a biocide market authorization by the end of the 6-year transition period to continue to sell, advertise, or import it.

Using a transition application

The following biocides are eligible to use a transition application:

If your biocide is eligible, the requirements in the regulations apply to your biocide on the earliest day that any of these situations occur:

Your DIN or pest control product registration will no longer be valid when the Minister issues you a market authorization under the regulations. In other words, we will no longer regulate your product under the FDR or PCPA and it will be transitioned to the regulations.

After receiving your market authorization under the regulations, you must provide us with a notification of first sale within 30 days, if the biocide is being sold.

Conditions

If you are transitioning your biocide using a transition application, the following apply:

When using a transition application, transitioning sanitizers registered under the PCPA must also make the changes to the product labels to comply with the regulations. For example, switch to using a DIN designation before the new 8-digit identification number.

More information on the labelling changes required for sanitizers

Adding or revising brand names in a transition application

If you wish to use a brand name for your biocide in a transition or other application, and it is associated with an already authorized disinfectant or registered sanitizer, you may either:

Additional information during review

During review of an application, the Minister may request additional information to determine if a market authorization will be issued. For example, additional information may be requested if there are uncertainties:

The Minister may also ask for additional information for the transition of authorized disinfectants. For example, those assigned DINs prior to 2014 to verify the safety labelling meets current standards for authorization.

Post-authorization changes

If you wish to file a post-authorization change for your transitioning biocide you may either:

You will not be able to submit both a transition application and a post-authorization change application or notification at the same time. Once your biocide has transitioned, you may file for a post-authorization change. Examples of post-authorization changes include:

If a post-authorization change is acceptable, we will update your market authorization as applicable. You may cancel any separately authorized products that have been incorporated into the revised market authorization if you wish.

Your biocide may have been authorized based on comparison to another biocide under the FDR or PCPA that has transitioned to the regulations. If so, you may make major and minor changes using the comparison post-authorization pathways available under the regulations. To do so, you must ensure your biocide fully aligns with the comparison biocide under the FDR or the PCPA (such as ingredients, risk information and conditions of use). Your application must include:

How to submit a post-authorization change and associated requirements

Application requirements

Products with a DIN

Your transition application using the transition pathway for a disinfectant should include a:

If you do not know the name, contact information or civic address of the packagers and labellers at the time of application, you must tell us in the notification of first sale.

Though not required, we highly recommend you include the label text for your biocide to ensure compliance with the labelling requirements of the regulations.

Products with pest control product registration

Your transition application using the transition pathway for a sanitizer should include:

If you do not know the name, contact information or civic address of the packagers and labellers at the time of application, you must tell us in the notification of first sale.

Transition applications for products authorized or registered based on comparison

If your product was authorized based on a comparison under the FDR or PCPA, you must also include, as applicable within the biocide application form:

If you receive a market authorization for a biocide under the regulations, the market authorization will include the DIN, pest control product registration number, or identification number of the comparison product referenced.

If you are transitioning a surface sanitizer that was used as a comparison product under the PCPR, include a list of products relying on your product in your application. This will enable us to update relevant information in the market authorizations of all biocides that have already transitioned relying on your surface sanitizer. For example, the other biocide's identification number.

Obtaining a biocide market authorization based on comparison under the regulations will allow you to make any post-authorization changes, if required, to match the master formula or label of the other biocide.

More information on post-authorization changes

Using a new application for your biocide

Any biocide is eligible to use a new application to transition to the regulations. This includes:

Any application pathway could be used to transition your biocide if the eligibility criteria and conditions are met. This includes the following pathways:

Conditions

Using a new application to transition your biocide will allow you to:

You will be required to pay a fee and Health Canada will review the application according to the set performance standards.

To use a new application to transition your biocide, your application must include, as applicable, the existing:

You should also provide a letter of no objection or a letter of acceptance (if you have one) if the product is a surface sanitizer for use in food premises.

Your DIN or pest control product registration will no longer be valid when the Minister issues you a market authorization under the regulations. In other words, we will no longer regulate your product under the FDR or PCPA and it will be transitioned to the regulations.

After receiving your market authorization under the regulations, you must provide us with a notification of first sale within 30 days if the biocide is being sold.

Learn more:

Changing how your product is marketed

Instead of transitioning your product to the regulations when they come into force, you may instead choose one of the following:

  1. Market your product as a cleaner by updating the product label to remove any claims pertaining to use other than cleaning, including biocide claims.

    Notify or submit an application to Health Canada (as applicable) to discontinue and cancel your:

    1. DIN or
    2. pest control product registration
  2. Remove all biocide claims from your product labels (if the product has other types of claims). Your product will need to be compliant with the regulatory frameworks that apply to the remaining claims (for example, medical device or pest control product).

If your product has both biocide (surface sanitizer) and pest control product (for example, air or water sanitizer) claims at the coming into force of the regulations, you can choose to maintain only your pest control product registration. To do so, you will need to remove all biocide related claims and information from your pest control product label. You must make these changes by submitting a pest control product label amendment to Health Canada's Pest Management Regulatory Agency application by the earliest of:

Dual-use products

If you wish to market a product as both a biocide and a pest control product (a surface and air sanitizer, for example), the product would need to meet the requirements of the:

These include:

If you are able to meet both sets of regulatory requirements and obtain the necessary authorizations, you may market a dual-use product. These products would be required to:

If you do not want to market a dual-use product, you can market your formulation as:

You can market them by choosing 1 of the following:

  1. Applying using a transition application to sell your product as a biocide only (removing all pest control product claims) and discontinue your pest control product registration.
  2. Updating your pest control product registration to remove all biocide claims.
  3. Proceed with both 1 and 2 to market the same formulation as both a biocide and a pest control product, each with separate labels that reflect the respective regulatory frameworks.

Using a transition application

Discontinuing your biocide

If you choose to discontinue your biocide, you can sell it until (the earliest of):

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