Thanks to all who responded to my post. They've been very helpful.
Carl
On Thu, 27 Aug 2015 08:39:13 -0400, Carl Newton <emcl...@gmail.com> wrote:
Group,
I'm dealing with a scenario in which a storage assembly that includes
some electronic functionality is assembled on-site by end-users.
Various elements of this storage product are shipped from different
factories. One package may include the electronic subassembly that has
the product label attached. Another package may include plastic panels
with no inherent standalone function (RoHS does not apply at this
time). The set of component packages that comprise the product are
imported into the EU from the USA. The UK distributor has asked that
all packages have the CE Marking on the box. I'm reluctant to sign-up
to this procedure in view of the fact that the CE Marking should not be
applied to most sub-assemblies.
I've reviewed the 2014 Blue Guide, Regulation (EC) No 765/2008, and
768/2008/E seeking guidance on this scenario but find nothing. Is
anybody within the group aware of some form of legal guidance that
applies?
Thanks,
Carl
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