publish binding opinions?

I was told only courts in the EU can do that.

Chuck McDowell
Meyer Sound Laboratories Inc.

-----Original Message-----
From: [mailto:emc-p...@ieee.org] On Behalf Of Brian Oconnell
Sent: Friday, September 07, 2012 10:01 AM
To: EMC-PSTC@LISTSERV.IEEE.ORG
Subject: RE: [PSES] RoHS Question

They seem to be the UK body for OIML representation. Do not know what this has 
to do with enforcement of marking directives. Someone from the other side of 
the pond needs to explain to the colonists which organizations publish binding 
opinions. From the website with the URL www.bis.gov.uk/nmo 
<http://www.bis.gov.uk/nmo>  :

Our mission


To provide policy support to Ministers on measurement issues and a measurement 
infrastructure which enables innovation and growth, promotes trade and 
facilitates fair competition and the protection of consumers, health and the 
environment.

 

-----Original Message-----
From: emc-p...@ieee.org [mailto:emc-p...@ieee.org]On Behalf Of Brown, William
Sent: Friday, September 07, 2012 8:45 AM
To: EMC-PSTC@LISTSERV.IEEE.ORG
Subject: RE: [PSES] RoHS Question



One interpretation we received:

 

National Measurement Office of the Department for Business Innovation and 
Skills ( www.nmo.gov.uk <http://www.nmo.gov.uk> )

 

The recast RoHS Directive was published in the Official Journal of the European 
Union on 1 July 2011 and entered into force on 21 July 2011. It will be 
transposed into national law on 2 January 2013. The RoHS Directive is now a CE 
Marking Directive. The general principles governing the CE marking are set out 
in Regulation (EC) No 765/2008. It should also be noted that point 21 of the 
preamble of the RoHS Directive states that: "Procedures for assessing the 
conformity of EEE subject to this Directive should be consistent with relevant 
Union legislation, in particular Decision No 768/2008/EC of the European 
Parliament and of the Council of 9 July 2008 on a common framework for the 
marketing of products. Harmonising conformity assessment procedures should give 
manufacturers legal certainty as to what they have to provide as proof of 
compliance to the authorities throughout the Union." Regulation 768/2008/EC 
establishes a common framework for the marketing of products and states!
  in the preamble that: (29) The CE marking, indicating the conformity of a 
product, is the visible consequence of a whole process comprising conformity 
assessment in a broad sense. General principles governing the CE marking are 
set out in Regulation (EC) No
765/2008 of the European Parliament and the Council of 9 July 2008 setting out 
the requirements for accreditation and market surveillance relating to the 
marketing of products. Rules governing the affixing of the CE marking, to be 
applied in Community harmonisation legislation providing for the use of that 
marking, should be laid down in this Decision. (30) The CE marking should be 
the only marking of conformity indicating that a product is in conformity with 
Community harmonisation legislation. However, other markings may be used as 
long as they contribute to the improvement of consumer protection and are not 
covered by Community harmonisation legislation. (31) It is crucial to make 
clear to both manufacturers and users that by affixing the CE marking to a 
product the manufacturer declares that the product is in conformity with all 
applicable requirements and that he takes full responsibility therefore. This 
clearly indicates that RoHS symbols or other markings should not b!
 e used as a conformity mark [WB - emphasis added]. For information the 
Commission has published an FAQ consultation paper which provides clarity on 
this point. On page 25 it states that: "From 2nd January
2013 EEE in scope that bears a CE marking is presumed to be in conformity with 
the requirements of RoHS 2 and therefore is presumed not to contain more than 
the tolerated maximum concentration values as mentioned in Annexes II, III and 
IV of RoHS 2. From 2nd January 2013, CE marking shall be the only marking which 
attests the conformity of the product with the requirements of RoHS 2." The 
'phase in period' is considered as beginning on entry into force (21 July 2011) 
and ending upon transposition into national law (2 January 2013). Therefore 
products placed on the market on or after 2 January 2013 must comply with all 
requirements of RoHS Directive 2011/65/EU.
The term placing on the market is the initial action of making a product 
available for the first time on the Community market, with a view to 
distribution or use in the Community. This is considered to take place when a 
product is transferred from the stage of manufacture with the intention of 
distribution or use on the Community market and applies to each individual 
product, and not a type, series or line of product. I hope that this 
clarification re. use of RoHS symbols makes sense and is of use.

 

-Will

 

William L. Brown Jr.

Engineering Manager

Regulatory and Compliance

 

Tyco Security Products

6 Technology Park Drive

Westford, MA 01886 USA

 

Mobile: (978) 727 7069

Desk: (978) 577 4205

Email: willbr...@tycoint.com <mailto:willbr...@tycoint.com> 


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