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Follow on Google News | EU Commission Implements New Rules under Low Voltage DirectiveNew Low Voltage Directive 2014/35/EU has become effective on 20th April 2016 and replaces the current Low Voltage Directive (2006/95/EC).
The New Legislative Framework (NLF) was published in 2008. The aim of the NLF is to help the internal market for goods to work better and to strengthen and modernize the conditions for placing a wide range of industrial products in the EU market. The Low Voltage Directive was one of the eight directives harmonized with NLF as a part of a so-called ’Alignment Package’. Changes in the Low Voltage Directive (LVD) are reflected in the NLF. Technical changes weren’t introduced. New LVD (2014/35/EU) Clear Product Manufacturer Information The traceability of the economic operators through the whole supply chain must be unambiguous. For example, the name, registered trade name or registered trade mark and postal address of the manufacturer must be on the product. The current LVD requires that only the brand name or the trade mark should be clearly printed on the product. When the product is imported to Europe, the name and postal address of the importer must be on the product as well, together with the manufacturer’ The product must be clearly marked with an element (e.g. type, batch of serial number) that denotes a clear link to the relevant declaration of conformity and to the technical documentation. The manufacturer has to compile the technical documentation, which must make it possible to assess the electrical equipment’s conformity to the relevant requirements. It must also include an adequate analysis and assessment of the risk. The manufacturer is responsible for the risk assessment and the implementation of the necessary measures. The current LVD does not mention explicitly the risk analysis and assessment. Changes to Low Voltage Directive 2006/95/EC In Annex IV, the new LVD introduces a compulsory template of the Declaration of Conformity. The manufacturer, and the authorized representative or the importer, must make the Declaration of Conformity available upon the request of the authorities. One of the major changes is the clarification of the definition ’manufacturer’ ‘Manufacturer’ If an importer or distributor places electrical equipment on the market under its own name or trade mark, that company is considered a manufacturer for the purposes of LVD and will be subject to the obligations of the manufacturer. The same applies if an importer or distributor modifies electrical equipment already on the market in such a way that compliance with LVD may be affected. The new LVD (2014/35/EU) References: - Official Journal of the European Union, Low Voltage Directive 2014/35/EU (http://eur-lex.europa.eu/ - EU Commission, ’Blue Guide’ on the implementation of EU product rules, 2014 (http://ec.europa.eu/ About SGS Electrical & Electronic Services As the world’s leader in third party testing SGS has the global knowledge and local expertise to help customers achieve compliance with Electrical & Electronics regulations covering product safety, EMC, hazardous substances (RoHS, REACH, SVHC etc), energy efficiency (http://www.sgs.com/ For further information, please contact an SGS expert. Contact details: SGS Consumer Testing Services Markus Ahvenus Certification Manager 201 State Rt 17 Rutherford, NJ 07070-2574 USA Website: www.sgs.com/ LinkedIn: www.linkedin.com/ SGS is the world’s leading inspection, verification, testing and certification company. SGS is recognized as the global benchmark for quality and integrity. With more than 80,000 employees, SGS operates a network of over 1,650 offices and laboratories around the world. End
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