Supervision of beauty care and solarium services
The Radiation and Nuclear Safety Authority supervises the use of radiation in beauty care and solarium services, but the responsibility for the safety of the services is always solely on the service provider.
Supervision of beauty care services
The Radiation and Nuclear Safety Authority (STUK) does not supervise the use of non-ionizing radiation for cosmetic purposes when exposure takes place in a healthcare unit. The regulations and restrictions on the use of radiation described on this page apply only to cosmetic services.
Supervision is mainly carried out based on technical documentation available of the equipment being used by beauty salons. By means of a request for clarification, STUK asks the operator for information on the equipment and its technical characteristics. Based on the characteristics of the equipment, STUK assesses the exposure of the customer undergoing a treatment and the safety of the treatment. If a beauty care device is found to be too powerful for beauty salon use, it may be banned from further use. However, the primary aim is usually to determine whether it is possible to bring the use of the device into compliance, for example by means of additional instructions. The safety of a device can also sometimes be improved by technical modifications.
If necessary, STUK may also carry out onsite inspections and measure the radiation emitted by the devices.
For all equipment, the following information about the equipment is requested:
- the intended use of the equipment
- instructions for use of the device and any additional instructions for carrying out the treatments
- model or brand name of the device
- manufacturer of the device
- importer of the device, if known
- explanation of how it has been ensured that the treatments are safe
- list of contraindications to treatments.
For laser devices, the following information on the device is requested:
- laser safety class of the device
- wavelength of the laser radiation
- size of the laser beam on the skin (spot size).
For devices that emit continuous laser radiation, the following is also requested:
- output power or fluence.
For devices emitting pulsed laser radiation, the following is also requested:
- pulse energy, energy or power density (fluence) or output power
- pulse width (pulse duration).
For RF devices, the following information on the device is requested:
- RF radiation frequency
- shape of the electrodes on the treatment heads and the size of the area they delimit or the volume of tissue into which the RF energy is applied.
For devices that emit continuous RF radiation:
- output RF power, energy, power density or energy density.
For devices emitting pulsed RF radiation:
- pulse energy, energy density, power density or output RF power
- pulse width (pulse duration).
For ultrasound equipment, the following information on the device is requested:
One of the following:
- the ultrasonic intensity (ISATA) and peak intensity (ISPTA) or the RBN or BNR value (beam non-uniformity ratio)
- ultrasonic power and effective radiating area (beam area)
- ultrasonic pulse energy, pulse width, pulse duration and effective radiating area (beam area).
For ultrasound focusing devices (e.g. HIFU), the following is also requested:
- spot size in the focal point
- number of focal points if several points are exposed simultaneously.
For intense pulsed light (IPL) devices, the following information on the device is requested:
- pulse energy or fluence
- pulse width (pulse duration)
- aperture size (spot size).
The exposure limit sets the maximum amount of radiation that can be applied to a customer's body during a beauty care treatment. The limit value is not always a single number and may instead depend on the characteristics of the radiation itself. The first step is for the provider to find out the applicable exposure limit value for his equipment. The limit values for the different types of equipment are described in more detail in the contents of the menu below.
The next step is to determine the exposure caused by the use of the equipment and, if necessary, to convert it into the unit corresponding to the unit of the exposure limit value. The exposure may be given in the technical data of the equipment or it may be calculated on the basis of the technical specifications of a device. The exposure caused by the use of the device should then simply be compared with the exposure limit value. Should the exposure remain below the limit value, the use of the device in beauty care services is allowed.
In most cases, exceeding the exposure limit value in beauty care services is not permitted. The content of the menu below describes the exceptions to this rule in which the use of exposures above the limit value is allowed. The menu also contains information on the possibility of demonstrating the safety of a procedure when the limit value is exceeded.
The purpose of the exposure limit values is to protect the safety of customers of beauty care services. However, it is also in the interest of the service provider to use devices not exceeding the limits, thus ensuring the safety of the treatments as far as use of radiation goes. Continuing the use of devices that exceed the exposure limits is not always possible or may require significant changes to the business operations, such as obtaining a license to provide private healthcare services. If there is no acceptable justification for continuing to use a device that is too powerful, the financial loss of the equipment purchase often has to be borne by the service provider.
In the case of laser devices, the laser safety class of the device already gives a fairly strong indication as to whether the device can be used in beauty care services. The laser class should be marked on every laser device. Lasers used in beauty care services must not be Class 4 lasers. Using Class 4 lasers for the treatment of the skin requires a license to provide private healthcare services.
Class 1C and Class 3B laser equipment must be assessed on a case-by-case basis. Class 1C lasers only work in contact with the skin, but may contain a Class 4 laser source, in which case the skin exposure and therefore the risks associated with their use are similar to those of a Class 4 laser.
Section 6 of STUK regulation S/11/2024 lays down the conditions under which lasers with a power of up to 500 milliwatt (mW) may be used in beauty care services. This includes Class 3B lasers producing continuous laser radiation. However, in the case of Class 3B lasers that produce very short pulses, the service provider must ensure that the limit values for skin exposure to laser radiation laid down in Annex 2 to Decree 1045/2018 of the Ministry of Social Affairs and Health are not exceeded.
The STUK regulation also allows the use of laser equipment that complies with the requirements of SFS-EN 60335-2-113, even if the exposure from the use of the equipment exceeds the limit values. This is based on the fact that the standard lays down requirements for the radiation safety of the equipment.
Radiofrequency (RF) radiation is a type of radiation that targets large amounts of electromagnetic energy directly to the skin and subcutaneous tissues, creating a risk of burns. The absorption of RF radiation into the skin and subcutaneous tissues varies according to factors such as skin conductivity, the surface area and shape of the treatment head and the frequency used. More energy than intended may be absorbed by the skin, resulting in stinging and redness or burns in the worst case. Some of the damage may occur beneath the surface layer of the skin.
The RF energy applied to the body causes a warming effect. The magnitude of this effect is assessed by the local specific absorption rate (SAR). Section 7 of STUK regulation S/11/2024 lays down the RF exposure limits for beauty care services. The exposure limits are 10 W/kg (watts per kilogram) for the head and body and 20 W/kg for limbs. Unfortunately, the exposure caused by the device is not usually indicated as a SAR in the instructions, so it has to be calculated or estimated on a case-by-case basis.
Exceeding the limit values of the STUK regulation during the treatments is not allowed. In some cases, a treatment device exceeding the limits of the regulation can be brought into compliance by drafting additional instructions on how to perform the treatments. If the device cannot be made safe to use despite the additional instructions, it will be banned from further use.
The standard EN 60335-2-115 on beauty care appliances sets practically equivalent radiation safety requirements for cosmetic radiofrequency treatment devices as the STUK regulation. The use of devices that meet the requirements of this standard is therefore permitted in beauty care services.
The intensity and frequency of ultrasound vary greatly depending on the type of treatment. Ultrasound can damage blood vessels and the nervous system and cause inflammation and bleeding in tissues.
In high intensity focused ultrasound (HIFU) devices, a large amount of energy is focused into a small volume, increasing the risk for subcutaneous tissue damage.
Ultrasound cavitation carries risks, particularly for the safety of the fetus. High-intensity ultrasound radiation can reach the fetus endangering its health and development. The Ministry of Social Affairs and Health and STUK consider that ultrasound cavitation should not be performed on pregnant women under any circumstances.
However, ultrasound devices used for skin cleansing (ultrasound spatulas) are probably safe to use.
Section 8 of STUK regulation S/11/2024 sets limits for ultrasound intensity, thermal index and mechanical index. According to the regulation, the ultrasound intensity must not exceed 3 W/cm² (watts per square centimetre) or the ultrasound thermal index must be less than 1,0 and the mechanical index less than 0,7. The spatial-peak intensity must not exceed 24 W/cm². The exposure limit values for the eye are stricter and the application of ultrasound energy to the eye should be avoided.
The standard EN 60335-2-115 on beauty care equipment sets practically equivalent radiation requirements for cosmetic ultrasound equipment as STUK regulation. The use of equipment that meets the requirements of this standard is therefore permitted in beauty care services.
Intense pulsed light (IPL) devices produce a short pulse of light on the skin. According to STUK regulation S/11/2024, the skin exposure from IPL devices must not exceed the limit value Hiho = 300 000 t0,25 J/m², where t is the length of the light pulse in seconds. The exposure caused by IPL devices is often expressed in joules per square centimetre (J/cm²) in which case the limit can also be calculated using the equation H = 30 t0,25 J/cm². For example, a light pulse of 1 millisecond (0,001 seconds) gives a limit value of H = 5,3 J/cm². The regulation also sets out other requirements to ensure the safe use of IPL devices.
STUK regulation also allows the use of IPL devices that meet the requirements of SFS-EN 60335-2-113, even if the exposure from the use of the device exceeds the limit values. This is because the standard lays down requirements for the radiation safety of the devices.
In the marketing of IPL devices, other abbreviations such as SHR, ILS or E-light are sometimes used. However, the devices are based at least in part on the use of light pulses and are therefore subject to the same exposure limits.
In beauty care, ultraviolet radiation (UV radiation) is used, for example, to cure nail polish and the glue used in bonding eyelash extensions. UV radiation is subject to exposure limit values laid down in the Decree 1045/2018 of the Ministry of Social Affairs and Health and in Annex 2 of the Decree.
STUK's market surveillance measurements conducted on nail polish dryers did not reveal any devices exceeding the limit values. Although there is no safe lower limit for UV radiation per se, the UV exposure from nail polish dryers is so low that their occasional use is unlikely to have adverse effects. If desired, the backs of the hands can be protected with sunscreen or with gloves that leave just the fingertips bare.
In nail polish dryers with replaceable lamps, only lamps specified by the manufacturer as suitable replacement lamp for the device should be used. It may be possible to fit some appliances with, for example, a germicidal UV lamp, which can burn the skin after only a short exposure time.
When applying eyelash extensions using UV-curable glue, it is essential to ensure that the customer cannot look directly at the light source as the eye is sensitive to the effects of UV radiation. When using a curing device, it is important adhere to the correct way of using it. The customer’s exposure to UV increases significantly if the operating distance of the device is reduced, the curing time is extended, or many lash extensions are applied during the same visit. To be on the safe side, the device should be used at the furthest possible distance and with short curing times. Always follow the instructions for use of the equipment and pay attention in particular to the distances and curing times specified therein.
The use of exposure above the exposure limit values in cosmetic treatment may be allowed if the safety of the treatment can be reliably demonstrated. The equipment manufacturer, who has the best knowledge of the technical characteristics of the equipment and of other factors affecting radiation safety, is best placed to provide such a demonstration.
Demonstrations of safety are evaluated on a case-by-case basis and there are no predefined requirements for their content. However, the content of the demonstration should describe how it has been ensured that exposure exceeding the limit values will not cause unintended tissue damage or other adverse effects. The level of detail required of the contents of the demonstration also depend on the extent to which the limit values are exceeded.
In all cases, a demonstration of the safety of the procedure cannot be made in practice. For example, skin treatment with a Class 4 laser is considered to be such a demanding procedure that it can only be performed in a healthcare unit. In this case the company providing the service must apply for a license to provide private healthcare services from the Regional State Administrative Agency (AVI) or the National Supervisory Authority for Welfare and Health (Valvira).
Supervision of solarium services
The use of sunbeds is prohibited for children under 18 years of age. In addition, according to the Radiation Act, each sunbed site shall have a designated responsible person who is always present when the sunbed equipment is used. Thus, unsupervised sunbeds are illegal in Finland.
The operator is responsible for the safe use of sunbeds. The sunbed devices shall be placed or arranged so that the customer cannot use the sunbed device without being noticed by the staff. This provision applies to all sunbed sites, including swimming pools and fitness centres. At the site, the presence of a person at least 18 years of age appointed by the operator and duly trained is required. Where necessary, this person will verify the age of the young person and ensure that a customer under the age of 18 years cannot use the sunbed device.
The operator shall ensure that the operating and radiation safety instructions of the device are in the immediate vicinity of the sunbed devices. The Radiation and Nuclear Safety Authority's (STUK) poster ‘The age limit for the sunbed is 18 years’ covers instructions related to radiation safety. Notwithstanding the written instructions, the responsible person should instruct the customer on the correct and safe use of the sunbed device, particularly during the first session.
Provisions on the prevention of adverse health effects caused by sunbed services are laid down in the Radiation Act. Commercial sunbed services shall not be provided in a manner that causes adverse health effects, and sunbed devices shall remain within the limits of the maximum UV radiation values for a sunbed specified in the STUK regulation. It is the duty of the operator to ensure that the customer protects their eyes during the use of the sunbed and that eye protectors are available at the site.
STUK monitors the safety of sunbed devices and their use under the Radiation Act. The main form of monitoring consists of site inspections, which may be carried out in a random manner without prior notification.
Municipal health protection authorities may carry out sunbed inspections during monitoring visits under the Health Protection Act. The health protection authorities will submit the inspection information to STUK for a decision on potential further measures.