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General Product Safety Regulation (EU) 2023/988 obliges
GPSR Risk Analysis Required

Mandatory for almost every product: According to the GPSR, producers must draw up technical documentation for the products they place on the market. The technical documentation must be based on an internal risk analysis.

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General Product Safety Regulation requires Responsible Person
EU Responsible Person Service for the GPSR and more

Since 16 July 2021, it is against the law to sell products with CE marking without a Responsible Person in the EU. In addition, a Responsible Person must also be specified in accordance with the General Product Safety Regulation (EU) 2023/988.

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Personal EU Batteries Regulation Training
Ready for the new Batteries Regulation (EU) 2023/1542

Find out which obligations the EU Batteries Regulation places on you and how to deal with them in your specific case. Receive comprehensive information on how to implement your obligations with regard to labelling, battery passport, EPR and due diligence obligations in the supply chain.

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Personal EU Batteries Regulation Training
Ready for the new Batteries Regulation (EU) 2023/1542

Find out which obligations the EU Batteries Regulation places on you and how to deal with them in your specific case. Receive comprehensive information on how to implement your obligations with regard to labelling, battery passport, EPR and due diligence obligations in the supply chain.

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New registration obligation for packaging in Spain

The Spanish packaging law obliges producers to register their packaging. Distributors from abroad must also register through an authorised representative if they sell packaged products in Spain.

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Ban on forced labour products

Products manufactured under forced labour may not be placed, made available or exported on the Union market. In the event of an infringement, the products concerned must be withdrawn from the market or taken off the market. National decisions on market bans apply throughout the EU.

On 19.11.2024, the EU Council adopted a regulation that prohibits the placing on the market, making available and exporting of products manufactured using forced labour on the EU market. The key requirements include:

Risk assessment database: The EU Commission is creating a database on products and areas with an increased risk of forced labour in order to support authorities in assessing and investigating possible violations.

Investigative powers:

  • EU Commission: Responsible for investigating forced labour outside the EU.
  • National authorities: Responsible for investigating suspicions of forced labour within their territory.
  • Exchange of information: Member state authorities and the EU Commission should share findings in order to effectively combat cross-border offences.

Obligations for sellers and producers:

  • Products manufactured under forced labour may not be placed on the Union market, made available or exported.
  • In the event of an infringement, the products concerned must be withdrawn from the market or taken off the market.
  • National decisions on market bans apply throughout the EU in accordance with the principle of mutual recognition.

The regulation will enter into force after publication in the Official Journal of the EU, but will only apply three years after this date. For the first time, it creates a comprehensive legal framework to combat forced labour in global supply chains.

This example shows that optimised Legal Monitoring is necessary as an existential risk precaution in order to protect you in terms of product law.

Is your company affected by products manufactured under forced labour? Take action now! Christopher Blauth and Jens Haasler will be happy to answer your questions at beratung@trade-e-bility.de.

Contact us

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Oliver Friedrichs
Contact

Oliver Friedrichs
CEO

Phone: +49 40 75068730-0

beratung@trade-e-bility.de