最近的中国ROHS要求
由某公司内部文件转化而来。
*All clarifications to requirements have not been finalized by Chinese government.
1》China RoHS Summary:
1。1 China RoHS mimics EU RoHS in material restrictions. No engineering changes are required.
1。2 Compliance deadline will remain March 1, 2007.
1。3 March 1 is ‘placed on the China market’ date.
1。4 China RoHS requires the following:
New mark on regulatory label
A chemical disclosure table in PIG or equivalent document
Changes to packaging labeling
1。5 China RoHS impacts systems, peripherals, and parts.
1。6China RoHS impacts new product as well as customer kits & service parts that are sold
2》Label EPuP
The label is referred to as EPuP (Environmental Protection use Period)
EPuP Periods:
Client : 10
Battery Packs AND Ink & Toner : 5
ESG : 20
The logo shall be physically put onto the product if the surface area is > 7.75 in2 (>5000mm2). Some irregularly shaped items are exempt from physical labeling.
Can be black and white. Minimum size is 5x5mm.
If product is smaller than above limit, label must be included in product documentation
3》Part to Label
Parts with a Regulatory label will need to add the EPuP label
4》 end-user document
4。1 All products require China RoHS documentation / chemical disclosure table
4。2 Can be printed on paper or on CD, but must accompany product
4。3 Must be in Simplified Chinese
5>> Key Uncertainties on China RoHS
Industry is pushing MII for official confirmation on the following critical interpretation items, expect close by end of November when MII issue its revised China RoHS Q&A:
Effective date of labeling requirement – March 1st, 2007
MII insists the March 1 labeling effective date is a “sales date” versus a “manufacturing date”.
For Direct business model, March 1 can be understand as “manufacturing date” or “out of factory date”.
Parts labeling requirements
Service parts for repair and parts for system upgrade are exempted for labeling, only those for retail or “separate sale” should be considered as product and need label.
*All clarifications to requirements have not been finalized by Chinese government.
1》China RoHS Summary:
1。1 China RoHS mimics EU RoHS in material restrictions. No engineering changes are required.
1。2 Compliance deadline will remain March 1, 2007.
1。3 March 1 is ‘placed on the China market’ date.
1。4 China RoHS requires the following:
New mark on regulatory label
A chemical disclosure table in PIG or equivalent document
Changes to packaging labeling
1。5 China RoHS impacts systems, peripherals, and parts.
1。6China RoHS impacts new product as well as customer kits & service parts that are sold
2》Label EPuP
The label is referred to as EPuP (Environmental Protection use Period)
EPuP Periods:
Client : 10
Battery Packs AND Ink & Toner : 5
ESG : 20
The logo shall be physically put onto the product if the surface area is > 7.75 in2 (>5000mm2). Some irregularly shaped items are exempt from physical labeling.
Can be black and white. Minimum size is 5x5mm.
If product is smaller than above limit, label must be included in product documentation
3》Part to Label
Parts with a Regulatory label will need to add the EPuP label
4》 end-user document
4。1 All products require China RoHS documentation / chemical disclosure table
4。2 Can be printed on paper or on CD, but must accompany product
4。3 Must be in Simplified Chinese
5>> Key Uncertainties on China RoHS
Industry is pushing MII for official confirmation on the following critical interpretation items, expect close by end of November when MII issue its revised China RoHS Q&A:
Effective date of labeling requirement – March 1st, 2007
MII insists the March 1 labeling effective date is a “sales date” versus a “manufacturing date”.
For Direct business model, March 1 can be understand as “manufacturing date” or “out of factory date”.
Parts labeling requirements
Service parts for repair and parts for system upgrade are exempted for labeling, only those for retail or “separate sale” should be considered as product and need label.
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steven123 (威望:0) (江苏 太仓)
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