Date: 2026-01-29Category: Not ApplicableState: Union GovernmentCountry: Europe
Commission Directive (EU) 2026/192 of 28 January 2026 amending Appendix A of Annex II to Directive 2009/48/EC of the European Parliament and of the Council on the safety of toys, as regards cobalt
**Executive Summary**
This Commission Directive (EU) 2026/192, dated 28 January 2026, amends Appendix A of Annex II to Directive 2009/48/EC regarding the safety of toys, specifically addressing the use of cobalt. Member States must adopt and publish the necessary provisions by 29 July 2026, applying them from 29 August 2026.
**Key Points / Main Content**
* **Cobalt Restrictions in Toys:**
* Cobalt is classified as carcinogenic, mutagenic, and toxic for reproduction (CMR).
* General restrictions apply to CMR substances in toys under Directive 2009/48/EC.
* **Permitted Uses of Cobalt:**
* Cobalt is permitted in toys and toy components made of stainless steel, as an impurity in the nickel contained in the stainless steel.
* Cobalt is permitted in toy components intended to conduct electric current.
* Cobalt is permitted in Neodymium-based (NdFeB) magnets used in toys if those magnets cannot be swallowed or inhaled.
* **Restrictions on Specific Cobalt Uses:**
* Cobalt use is not permitted in 3D pens and toy printers.
* The Directive does not allow the use of cobalt in toys such as kids’ make-up, paintings, inks, coatings used for toys, chalks, chalk bombs, and toys made of leather or textiles.
* **Batteries:**
* Although exposure to cobalt from batteries is not excluded, small batteries that fit wholly within the small parts cylinder should not be removable without the aid of a tool.
**Impact Analysis**
**Stakeholder: Member States**
* **Impact:** Required to incorporate the directive's amendments into national law.
* **Action Required:** Adopt and publish necessary laws, regulations, and administrative provisions by 29 July 2026, with application from 29 August 2026. Communicate these provisions to the Commission.
**Stakeholder: Toy Manufacturers**
* **Impact:** Need to adhere to updated restrictions and permitted uses of cobalt in toy production.
* **Action Required:** Ensure compliance with the new rules regarding cobalt use in stainless steel, electrical components, and magnets. Avoid cobalt in prohibited toy categories (3D pens, make-up, inks, etc.).
**Stakeholder: Consumers**
* **Impact:** Increased safety due to stricter regulation of cobalt, a CMR substance, in toys.
* **Action Required:** No direct action required, but consumers should be aware of product safety guidelines.
Key Entities Referenced
Directive 2009/48/EC: Directive of the European Parliament and of the Council on the safety of toys, being amended by this directive.
Regulation (EC) No 1272/2008: European Parliament and Council regulation on classification, labelling and packaging of substances and mixtures. Referenced for CMR classification.
SCHEER: Scientific Committee on Health, Environmental and Emerging Risks, whose opinion informs the safety evaluation of cobalt in toys.
Cobalt: The chemical element whose presence in toys and toy materials is being assessed and regulated.
Official Journal EN
of the European Union L series
2026/192 29.1.2026
COMMISSION DIRECTIVE(EU) 2026/192
of 28 January 2026
amending Appendix A of Annex II to Directive 2009/48/EC of the European Parliament and of the
Council on the safety of toys, as regards cobalt
(Text with EEA relevance)
THE EUROPEAN COMMISSION,
Having regard to the Treaty on the Functioning of the European Union,
Having regard to Directive 2009/48/EC of the European Parliament and of the Council of 18 June 2009 on the safety of
toys(1), and in particular Article 46(3) thereof,
Whereas:
(1) Directive 2009/48/EC establishes general requirements for substances which are classified as carcinogenic, mutagenic
or toxic for reproduction (CMR) under Regulation (EC) No 1272/2008 of the European Parliament and of the
Council(2). CMR substances of category 1A, 1B or 2 are not to be used in toys, in components of toys or in micro-
structurally distinct parts of toys, except if those substances are contained in individual concentrations equal to or
smaller than the relevant concentrations established in Regulation (EC) No 1272/2008 for the classification of
mixtures containing them as CMRs, they are inaccessible to children or their use has been permitted. The
Commission may permit the use of CMR substances category 1A, 1B or 2 in toys if the use of the substance has
been evaluated by the relevant Scientific Committee and found to be safe, in particular in view of exposure, the
substance is not prohibited for use in consumer articles under Regulation (EC) No 1907/2006 of the European
Parliament and of the Council(3)and in addition for CMR substances category 1A and 1B, that there are no suitable
alternative substances or mixtures. Appendix A of Annex II to Directive 2009/48/EC contains the list of CMR
substances and their permitted uses.
(2) In its opinion(4)adopted on 16 December 2022 and corrected on 9 March 2023 the Scientific Committee on Health,
Environmental and Emerging Risks (‘SCHEER’) identified that cobalt may be present in toys and toy materials as an
impurity in nickel and in alloys that contain nickel. These materials have a number of applications in toys including
the use of nickel plating, electro-conductive coatings and in alloys such as nickel silver and stainless-steel.
Furthermore, in the same opinion SCHEER identified that cobalt may be intentionally added to toys, as for example
in the case of cobalt-based pigments or colourants, specific hard metals, batteries and materials for 3D pens and 3D
printing.
(3) Cobalt, in its metallic form, but also several cobalt salts, such as cobalt sulfate, cobalt di(acetate), cobalt dinitrate,
cobalt dichloride and cobalt carbonate, are classified under Regulation (EC) No 1272/2008 as carcinogenic category
1B, mutagenic category 2 and toxic for reproduction category 1B, among other hazard classes. The classifications
apply as of 1 October 2021 for the metallic cobalt and as of 1 December 2019 for other cobalt ionic forms.
(1) OJ L 170, 30.6.2009, p. 1, ELI: http://data.europa.eu/eli/dir/2009/48/oj.
(2) Regulation (EC) No 1272/2008 of the European Parliament and of the Council of 16 December 2008 on classification, labelling and
packaging of substances and mixtures, amending and repealing Directives 67/548/EEC and 1999/45/EC, and amending Regulation
(EC) No 1907/2006 (OJ L 353, 31.12.2008, p. 1, ELI: http://data.europa.eu/eli/reg/2008/1272/oj).
(3) Regulation (EC) No 1907/2006 of the European Parliament and of the Council of 18 December 2006 concerning the Registration,
Evaluation, Authorisation and Restriction of Chemicals (REACH), establishing a European Chemicals Agency, amending
Directive 1999/45/EC and repealing Council Regulation (EEC) No 793/93 and Commission Regulation (EC) No 1488/94 as well as
Council Directive 76/769/EEC and Commission Directives 91/155/EEC, 93/67/EEC, 93/105/EC and 2000/21/EC (OJ L 396,
30.12.2006, p. 1, ELI: http://data.europa.eu/eli/reg/2006/1907/oj).
(4) SCHEER – Scientific Opinion on the safety of the presence of cobalt in toys – European Commission (europa.eu).
ELI: http://data.europa.eu/eli/dir/2026/192/oj 1/5EN
OJ L, 29.1.2026
(4) The highest percentage of cobalt as a contaminant of nickel has been estimated by the toy industry to slightly exceed
0,1 % in stainless steel and 0,3 % in metallic toy materials intended to conduct an electric current not made of
stainless-steel. This is higher than the relevant concentration for carcinogens of category 1B provided for in
Regulation (EC) No 1272/2008, which is 0,1 % according to Table 3.6.2 of that Regulation. The related derogation
from the prohibition of CMR substances in toys, laid down in Part III, point 4(a), of Annex II to
Directive 2009/48/EC therefore cannot be applied.
(5) Furthermore, cobalt in toys can be accessible to children during play, such as when touching metallic toy materials
containing metallic cobalt or when coming into contact with cobalt salts contained in pigments or colourants such
as in powder-like kids cosmetics. The derogation from the prohibition of CMR substances in toys referring to
inaccessibility, laid down in Part III, point 4(b), of Annex II to Directive 2009/48/EC therefore, to the extent cobalt
and cobalt salts containing materials are concerned, cannot be applied either.
(6) In light of the above, the Commission mandated SCHEER to evaluate the use of cobalt in toys, in particular in view of
exposure, with a view to possibly permit those uses in toys that have been evaluated to be safe.
(7) In its opinion adopted on 16 December 2022 the SCHEER considered 6 scenarios (each including one or more
exposure mode: inhalation, oral and dermal) as relevant for the exposure assessment and possibly identifying safe
uses for which a derogation could be granted.
(8) In scenario 1 cobalt-containing metals are included to allow conduction of electric current. In its opinion mentioned
above the SCHEER considered that the risk due to cobalt inhalation associated with the use of cobalt-containing
metals can be considered negligible and therefore unlikely to be associated with an increased risk for children playing
with such toys. This is why the presence of cobalt in metals intended to conduct the electric current can be considered
as safe via inhalation exposure. The SCHEER is of the opinion that dermal exposure to cobalt can be considered
negligible, when handling model rail track and model rail track joiners during play or assembly. The SCHEER agrees
that no direct oral exposure is expected to occur through intended use of these products, as it is unlikely that metal
parts will be ingested from these toy types. Mouthing is considered not to be of concern for the age group of users
most likely to play with model railways with metal track. Scrape off during mouthing would not be relevant because
of the hardness of the material. However, a possible indirect route of exposure may occur through ingestion of dust
present on hands or settling on nearby objects, particularly by children’s hand-to-mouth contact.
(9) In scenario 2 cobalt-containing metals serve a function other than electrical conductance like for metal toys, toy
jewellery, fidget spinners and magnets. Based on the negligible inhalation exposure related to the use of these toys,
the inhalation pathway for cobalt is associated with negligible risk and also exposure to cobalt via the dermal route
for these toy types is negligible and unlikely to be associated with increased risk. As concerns oral exposure,
although it is the most relevant as to the risk of ingestion of cobalt containing metallic toys, due to data gaps the
SCHEER could not perform a quantitative exposure assessment for all these toys since only data for a stainless-steel
ball bearing and a slot car magnet was provided.
(10) In relation to metal toys, the analysis of a stainless-steel ball bearing does not appropriately address all possible oral
exposure sources from other metallic toys falling under this scenario. However, based on available toxicological
reference values for oral exposure, the SCHEER calculated new migration limits for cobalt in toys. In its opinion
SCHEER states that compliance with those migration limits should prevent risks associated with oral exposure.
Given that scenario 2 covers toys and toy components made of stainless steel, their use should be permitted.
(11) However, due to the uncertainties regarding the carcinogenic properties of cobalt after oral exposure, the SCHEER
recommended reducing migration limits to the lowest technically achievable levels.
2/5 ELI: http://data.europa.eu/eli/dir/2026/192/ojEN
OJ L, 29.1.2026
(12) In relation to magnets, the analysis was based on the data provided for a slot car magnet. The SCHEER supports the
view that exposure to cobalt via the dermal route for a slot car magnet is negligible and unlikely to be associated
with increased risk. The SCHEER considers the oral exposure as most relevant and recommends migration analysis
for oral exposure. Moreover SCHEER recommends using neodymium-based magnets (‘NdFeB magnets’) in toys as an
alternative to Samarium-cobalt (SmCo) magnets.
(13) As NdFeB magnets contain metallic cobalt in quantities exceeding the relevant concentration for carcinogens of
category 1B provided for in Regulation (EC) No 1272/2008, their use would be prohibited. Therefore, the use of
such magnets should be permitted where those magnets cannot be swallowed or inhaled, i.e. those magnets, toys
and their components containing magnets which are not small parts according to the relevant harmonised standard.
(14) In scenario 3 cobalt is used in kids’ make-up. No or scant data are available on the amount of cobalt (as impurity or
part of a colourant) in such toys. Therefore the SCHEER could not provide a quantitative exposure assessment on a
representative sample nor conclude on safe uses of cobalt that should be permitted under Directive 2009/48/EC.
(15) In scenario 4 cobalt is used in 3D pens, materials for toy printers and printed toys. The SCHEER considered that
specific attention should be given to inhalation exposure from the emerging use of cobalt-containing materials in 3D
pens and 3D printers. According to the SCHEER opinion cobalt-containing materials should therefore be avoided for
3D printing. No safe use for cobalt-containing materials in 3D pens and 3D printers can thus be identified.
(16) In scenario 5 cobalt is used in paintings, inks and coatings used for toys, chalks and chalk bombs, and toys made of
leather or textiles. The SCHEER is of the opinion that the possibility of ingestion and mouthing needs to be taken
into account when assessing the exposure of children to cobalt from those toys. Due to data gaps the SCHEER could
however not perform a quantitative exposure assessment. A potential risk could be associated for inhalation exposure
to cobalt from chalks and chalk bombs as well as from powder-like toy materials, containing cobalt-based pigments
or colourants in scenario 5. For such toys, the SCHEER recommended that cobalt-free pigments should be used.
Accordingly, for this scenario the SCHEER did not identify any safe uses that should be permitted under
Directive 2009/48/EC.
(17) In scenario 6 cobalt is used in batteries. The SCHEER is of the opinion that exposure to cobalt from batteries cannot
be excluded and that batteries (especially the small button ones) are a realistic source for possible exposure to cobalt,
although no quantitative exposure scenario could be provided. Although not specifically concluding on any safe uses
that should be permitted under Directive 2009/48/EC, in its abovementioned opinion, the SCHEER acknowledges
that the relevant harmonised standard supporting Directive 2009/48/EC requires that small batteries, i.e. batteries
that fit wholly within the small parts cylinder, as specified in point 8.2 of EN 71-1:2014+A1:2018, are not to be
removable without the aid of a tool (EN IEC 62115 :2020/A11:2020, clause 13.4.1).
(18) In conclusion, from the SCHEER opinion it appears that cobalt-containing metal toy components intended to
conduct electric current, can be permitted as chemically safe. In addition, cobalt can also be permitted in toys and
toy components made of stainless steel and in NdFeB magnets used in toys if those magnets cannot be swallowed or
inhaled.
(19) The analysis of alternatives carried out by the toy industry in accordance with Part III, point 4(c)(ii), of Annex II to
Directive 2009/48/EC, was considered as incomplete by the SCHEER because the analysis did not cover all relevant
scenarios. However, as regards metallic cobalt contained in metal toy components intended to conduct electric
current, in toys and toy component made of stainless steel, which contain cobalt as an impurity in nickel, and in
NdFeB magnets the assessment was complete and did not identify any suitable alternative substances or mixtures
available.
ELI: http://data.europa.eu/eli/dir/2026/192/oj 3/5EN
OJ L, 29.1.2026
(20) In accordance with Part III, points 4(c)(iii) and 5(c)(ii), of Annex II to Directive 2009/48/EC, the use of CMR
substances of category 1A, 1B and 2 cannot be permitted if the substance is prohibited for use in consumer articles
under Regulation (EC) No 1907/2006. Entries 28 and 30 of Annex XVII to that Regulation only restrict the placing
on the market and use of, inter alia, cobalt as a substance or in mixtures for supply to the general public, but not in
consumer articles. Entry 75 of Annex XVII to that Regulation only restricts the placing on the market and use of,
inter alia, cobalt in mixtures for tattooing purposes, but not in consumer articles. Entry 3 of Annex XVII to that
Regulation only restricts the placing on the market and use of liquid substances, including cobalt, in ornamental
articles intended to produce light or colour effects, tricks, jokes, games for one or more participants, and articles
intended to be used as such games, as well as the placing on the market of lamp oils and grill lighter fuels. The
restriction of entry 3 of Annex XVII to Regulation (EC) No 1907/2006, because it applies to cobalt in liquid form, is
not considered to amount to a prohibition of use of that substance in consumer articles for the purpose of this
derogation as the stainless steel containing cobalt is not expected to be in liquid form. Therefore, the amendment to
Directive 2009/48/EC, as set out in this Directive, does not affect the application of entry 3 to toys covered by that
entry.
(21) Directive 2009/48/EC should therefore be amended accordingly.
(22) The measures provided for in this Directive are in accordance with the opinion of the Committee established by
Article 47 of Directive 2009/48/EC,
HAS ADOPTED THIS DIRECTIVE:
Article 1
In Appendix A of Annex II to Directive 2009/48/EC, the following row is added:
‘Cobalt CMR 1B In toys and toy components made of stainless steel, as an impurity in
the nickel contained in the stainless steel.
In toy components which are intended to conduct an electric current.
In neodymium-based magnets used in toys if those magnets cannot be
swallowed or inhaled.’
Article 2
1. Member States shall adopt and publish, by 29 July 2026 at the latest, the laws, regulations and administrative
provisions necessary to comply with this Directive. They shall forthwith communicate to the Commission the text of those
provisions.
They shall apply those provisions from 29 August 2026.
When Member States adopt those provisions, they shall contain a reference to this Directive or be accompanied by such a
reference on the occasion of their official publication. Member States shall determine how such reference is to be made.
2. Member States shall communicate to the Commission the text of the main provisions of national law which they
adopt in the field covered by this Directive.
4/5 ELI: http://data.europa.eu/eli/dir/2026/192/ojEN
OJ L, 29.1.2026
Article 3
This Directive shall enter into force on the twentieth day following that of its publication in the Official Journal of the
European Union.
Article 4
This Directive is addressed to the Member States.
Done at Brussels, 28 January 2026.
For the Commission
The President
Ursula VON DER LEYEN
ELI: http://data.europa.eu/eli/dir/2026/192/oj 5/5