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EU Construction Products Regulation
By Dan Arnold, Sales Engineer
Product Safety Consulting Inc.
We hear from numerous manufacturers currently precluded from selling in the EU because their products are not CE marked. This is especially true of construction products, which are often sold under large contracts that specify CE marking. Construction products are a good example of a well-established Directive being transitioned to a Regulation, which we covered in a previous article. Construction Products Directive 89/106/EEC (CPD) was fully replaced by Construction Products Regulation 305/2011/EU (CPR) on 1 July 2013. The CPR has several interesting differences from the more common Directives and Regulations used for electrical products.
Instead of the more familiar Declaration of Conformity (DoC), the CPR requires a Declaration of Performance (DoP). Although basic information of DoC and DoP is the same, the DoP requires a declared performance level of essential characteristics. One example characteristic is compressive strength for some structural products. The essential characteristics are an important CPR concept and are in the harmonized standards for each construction product type or family. The performance levels of essential characteristics are intuitive for construction products, which must have physical integrity to function as intended over many years. Performance to at least one essential characteristic must be declared, but to be competitive and comply with the intent of harmonized standards, multiple characteristics are likely.
Another important attribute of the CPR are the Assessment and Verification of Constancy of Performance systems (AVCP systems). The AVCP is a surveillance mechanism to ensure the declared performance of essential characteristics is maintained. Each essential characteristic specified in a harmonized standard will have one of these AVCP system numbers assigned: 1+, 1, 2+, 3 or 4, from most to least comprehensive. System 1+ requires the manufacturer to maintain Factory Production Control (FPC) and periodically test samples. It also requires a Notified Body to assess product performance, initially inspect the manufacturing plant and FPC, periodically assess the FPC, and audit test the product. Conversely, AVCP system 4 only requires the manufacturer to assess performance and maintain FPC.
CE marking can be arduous for some construction products, but the legislation and compliance scheme is well established and generally intuitive, given the critical function of these products. Product Safety Consulting can help manufacturers understand the requirements and achieve CE compliance.
References:
https://ec.europa.eu/growth/sectors/construction/product-regulation_en
Our 25 years of experience in testing has shown us that 9-out-of-10 products fail the first time they undergo testing. We can help you avoid many testing problems, and find solutions for whatever noncompliance issues might arise.