Traceability requirements in EU regulations the industry perspective



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UNECE WP6 Conference Traceability: a tool for managing risks Traceability requirements in EU regulations the industry perspective 31 October 1 st November 2011, Geneva Philippe Portalier Standardisation and Technical policy Manager, Orgalime

Orgalime: 34 Member associations, 22 countries Austria FEEI FMMI Belgium AGORIA Bulgaria BASSEL Denmark DI Finland Federation of Finnish Technology Industries France FIEEC FIM Germany VDMA WSM ZVEI Great Britain BEAMA EAMA GAMBICA Ireland IEEF Latvia MASOC Lithuania LINPRA Italy ANIE ANIMA Luxembourg ILTM The Netherlands FME-CWM METAALUNIE Norway Norsk Industri Poland PIGE Portugal AIMMAP ANEMM Slovenia GZS-MPIA Spain CONFEMETAL SERCOBE Switzerland SWISSMEM Sweden TEKNIKFÖRETAGEN Croatia HUP 130,000 companies, 1,510 billion of annual output, 9.7 million people employed

Orgalime industries 28% of the EU manufacturing output = A link in industry value chains Our industry, mostly composed of SMEs, produces all sorts of electrical, mechanical and metallic products for professional users and consumers For instance in: Buildings E-mobility Home appliances

Traceability in EU legislation for technical products: A tool for efficient market surveillance: Feasible risk assessment Proportionate risk manag t. Legal framework: Harmonised legislation Regulation 765/2008/EC + Dec. 768/2008/EC + General product safety Directive Risk managemen t Compliance checks

Placing on the market What traceability in EU legislation? Manufacturer Design Importer Production Supply PUBLIC Export post-marketing Mandatory traceability Distribution pre-marketing (mostly) voluntary traceability Risk managemen t Compliance checks

Traceability needs vary according to the product / business model Industrial installation High added value On-demand production Reduced supply chain* Direct B2B relationship Contractual management of postmarketing pbs Placing on the market Consumer good Low added value Mass production Spread supply chain* Multiple distrib. channels Standard conditions Consumer protection law MSA & Labour inspection * in majority of cases Market surveillance

B2B and traceability an example: earth moving machinery product and parts are ID tagged Product identification number Below left-hand door on chassis Cab serial number Left-hand side of front console Rops canopy serial number Right-hand side of canopy Backhoe bucket part number Engine serial number Loader bucket part number Three-point hitch serial number Transaxle serial number Front drive axle serial number

Dangerous consumer products of unknown origin are decreasing in proportion % Unknown Total nb 2010 Data from EC DG Sanco/Rapex

Consumers and traceability of non-food products Legitimate expectation of consumers with technical products: That the product is safe (i.e. CE certified) food sector: Traceability info about all components irrelevant Indication of the country of origin often irrelevant (too complex supply chain) Brand matters more That recourse is possible in case of problems (product liability laws) to get compensated

Challenges of an effective regulatory traceability Traceability without enforcement is pointless Traceability needs flexibility and the least administrative cost

Challenges of an EU single market surveillance instrument Compliant producers are overwhelmed by legislative requirements Weak market surveillance and enforcement across the EU Scarcity of resources but duplication of controls Poor cooperation between Member States Problems arise from weak enforcement, not from lack of traceability EU proposal of alignment of the GPSD with NLF should not add more legal requirements to lawful manufacturers

Solution 1: Unification of Traceability Requirements? All products to bear the same ID/traceability requirements Name and address of manufacturer, importer Declaration of Conformity + Customer/supplier registers Technical file/evidence of Risk Assessment Consequences No proportionality between level of danger and level of traceability requirements Unnecessary administrative burden for manufacturers Consumer overwhelmed with unnecessary information Streamlining the requirements for all products would ease the administrative burden, unifying can be detrimental

Solution 2: National Registers? The experience of WEEE Directive Problematic for enforcement Authorities Difficulties to make use of national registers at EU level High administrative and financial cost Problematic for companies Legal uncertainty due to different requirements in each member state Generates administrative burden: need to register in 27 countries Fee imposed for registration in some Member States Consumers Still need to bring back the waste at specific collection points (out of control of market operators)

Solution 2: an EU Register? The experience of Reach Facilitating to Market Surveillance Authorities Replacement of the different rules and regulations More information is available Volume of information registered created problems to IT tools But Complex for companies Downstream users who have to contact suppliers and negotiate the right registration of a substance and its uses Non transparent to consumers REACH heavily criticised by consumer organisations

Solution 2: an EU Register? Review of the R&TTE Directive European Commission considers the possibility to introduce in the revision of the Directive a register of either Producers or Products However: such a register would Not solve hard non-compliance issues: rogue economic operators will simply not register or forge the registration number Add burden on lawful companies (encoding, additional IT ) Remove authorities resources from focused surveillance actions in order to administer the register Create legal uncertainty as to common requirements for the marketing of CE-marked products (Decision 768/2008/EC), which do not require a registration.

Conclusions: Recommendations to policy makers 1. Keep traceability requirements Cost effective and flexible Identification of the market operator could make use of modern means Web address (url) Technology neutral interoperability is key Affordable to economic operators esp. SMEs (no mandatory management system standards with third party conformity assessment) Proportionate to The added-value of the product The level of risk / severity of harm 2. combined with effective controls

Industry supports pro-active market surveillance Newly launched of a searchable Industry Support Platform http://machinery-surveillance.eu/

Thank you for your attention! Philippe Portalier Standardisation and Technical Policy Manager ORGALIME aisbl I Diamant Building Tel.: +32 (0)2 706 82 43 Fax: +32 (0)2 706 82 50 Email: philippe.portalier@orgalime.org www.orgalime.org