Trying to get a response for competent authorities in EU is proving difficult. Perhaps someone here has insight.
Does EuP apply to in-scope items that components of a out-of-scope machine? Scenarios of interest are importing the machine itself into the EU, and importing the item as a spare part, but *not* placing the component separately on the EU market. To borrow language from the WEEE directive, I believe EuP applies to equipment falling within scope of an EuP Implementing Measure provided that the equipment of concern is not part of another type of equipment that does not fall within the scope of an EuP Implementing Measure. Is this correct? Regards, Lauren Crane Product Regulatory Analyst Corporate Product EHS Lead Applied Materials Inc. Austin, TX 512 272-6540 [#922 26540] - External Use - Save paper and trees! Please consider the environment before printing this e-mail. - This message is from the IEEE Product Safety Engineering Society emc-pstc discussion list. To post a message to the list, send your e-mail to <[email protected]> All emc-pstc postings are archived and searchable on the web at http://www.ieeecommunities.org/emc-pstc Graphics (in well-used formats), large files, etc. can be posted to that URL. Website: http://www.ieee-pses.org/ Instructions: http://listserv.ieee.org/request/user-guide.html List rules: http://www.ieee-pses.org/listrules.html For help, send mail to the list administrators: Scott Douglas <[email protected]> Mike Cantwell <[email protected]> For policy questions, send mail to: Jim Bacher <[email protected]> David Heald <[email protected]>

