Which results in another question. The FAQ states "...CE marking shall be
the only marking which attests the conformity of the product with the
requirements of RoHS 2."

Some customers want a RoHS logo on the label. Would this extra logo be
considered a non-conformity under the re-cast directive?

Brian

-----Original Message-----
From: emc-p...@ieee.org [mailto:emc-p...@ieee.org]On Behalf Of Crane, Lauren
Sent: Thursday, September 06, 2012 9:33 AM
To: EMC-PSTC@LISTSERV.IEEE.ORG
Subject: RE: [PSES] RoHS Question

The directive itself does not address such fine point questions well, but
the FAQ seems to tend towards the logic of differentiating things that can
be separated from each other and still function successfully, vs. things
that must be together. If they must be together, and one of the items is
EEE, then the whole thing is EEE. If they can function separately
successfully then they can be considered for being EEE separately. 
 
Draft FAQ --
http://ec.europa.eu/environment/waste/rohs_eee/events_rohs3_en.htm
 
See, for example, their discussion of lights in a clothes wardrobe.  
 
Regards,
Lauren Crane
 
From: Kunde, Brian [mailto:brian_ku...@lecotc.com] 
Sent: Thursday, September 06, 2012 10:53 AM
To: EMC-PSTC@LISTSERV.IEEE.ORG
Subject: [PSES] RoHS Question
 
A few weeks ago we discussed if cables were included in the RoHS Directive.
I would like to take this a step further and ask if this directive applies
to the non-electrical items that may be shipped with, used with, or bundled
with an electronic device. 
 
For example, mouse pad, wrist pad, manuals and other documentation,
disks/media, mounting stand/bracket/legs, security lock/cable, desk and/or
chair (workstation), cabinets, hand tools (hex wrench, screw/nut drivers,
etc.), consumables such as standards, inks, cleaners, wipes, crucibles, test
strips, or packaging.
 
And in the case where you have a cabinet, stand, or desk to which an
electronic device can be or is mounted, does RoHS apply to the entire
assembly or only the electronic device being that it can be separated or is
a completely separate assembly? 
 
Would the WEEE directive apply to such non-electrical components if shipped
with but not mechanically attached to an electronic device? 
 
Thanks for all replies and advice.
 
The Other Brian

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