Gary Nevison, Premier Farnell, UK
UK: If you thought that progress was slow on the implementation of the so called “China RoHS Catalogue” first published in September 2009 but not yet in force, then now there is “China RoHS2” to consider.
A draft was published in July and now it is a question of which version of China RoHS will be taken forward and, if so, will the other be rejected (or amended) once and for all?
On 16 July 2010, the Ministry of Industry and Information Technology released the “draft measures for the pollution control of electrical and electronic product” the so called China RoHS2 for public consultation.
Among other things, the proposed measures would amend the coverage of products by modifying the definition from “electronic information product-EIP” to “electrical and electronic product-EEE”.
This new definition largely corresponds to EEE in the EU RoHS Directive and within the same scope of designed for use with a voltage rating not exceeding 1500Vdc and 1000Vac.
This is a much broader scope than before but, so far, there is no indicative list of products. However, they may not produce one if it is felt that everything electrical is in scope.
The six restricted substances remain the same as EU RoHS, but one difference is that accessories will be included as well as component parts. Another interesting observation is that there is no mention of the China Compulsory Certification (CCC) in the July 2010 draft.
This draft would also change the title of the Catalogue from “key management catalog for the control of pollution by electronic information product” to read the “standard product catalogue for the pollution control of electrical and electronic product.
So, the scope of EU RoHS will expand due to the recast as will China RoHS because of these proposals. Finally, though, no timescales are known at present.
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