CN Last reviewed: 2026-08-12

China CSAR for SME cosmetic brands

China regulates cosmetics under CSAR: NMPA/provincial filing or registration, Safety and Technical Standards for Cosmetics (STSC), and from 2026 a mandatory national standard (GB 7916—2026) plus lighter filing paperwork under Announcement No. 70.

Who should care

Domestic registrants/filers and overseas brands using a China Responsible Person. Importers, infant/children SKUs, special cosmetics, and new-ingredient users should treat 2026 texts as a process reset — not optional reading.

Competent authority: National Medical Products Administration (NMPA); technical support via NIFDC

Official sources

SME: first 5 things

  1. 1
    Name the China legal person

    Registrant/filer plus a domestic Responsible Person for imported products.

  2. 2
    Split special vs general

    Special cosmetics still register; general cosmetics file — duties differ.

  3. 3
    Read No. 70 as process, not a free pass

    Raw-material safety files move to on-site archive, but you still own the evidence.

  4. 4
    Track STSC + GB 7916 together

    NMPA describes a “one body, two wings” standard system. Implementation dates are not the publication date.

  5. 5
    Treat NCI as its own project

    New ingredients follow Announcement No. 59 from 15 July 2026; do not bury them in a finished-product file.

Obligation map

Topic SME note Source
Registration / filing NMPA platform duties Official
New ingredients No. 59 dossier rule from 15 Jul 2026 Official
Safety standard GB 7916 + STSC Official
Testing methods Methods incorporated into STSC by numbered announcements Official
Claims & safety assessment Shared dossiers allowed for similar formula systems under No. 70

Common pitfalls

  • Confusing publication date with implementation date
  • Deleting raw-material evidence because “NMPA no longer collects the code”
  • Treating GB 7916 as a full replacement of STSC on day one
  • Skipping infant/children extra controls
  • Using animal-test relief without checking whether your product actually qualifies

More context

China is a filing/registration market with a living technical annex (STSC) and, from 2026, a mandatory national safety standard sitting above it. Start with who you are (registrant/filer), then map special vs general cosmetics, then ingredients and claims.

What this page covers

Mainland China CSAR orientation. Hong Kong, Macao, and Taiwan are different regimes. Always open the NMPA announcement, not a consulting recap.

Recent regulatory updates

All news

Related Insights

Track updates in Workbench, or upgrade for full Regulatory Details and follow-up tools.

Always confirm requirements against official publications before decisions.

Scroll to Top