I am trying to determine the process / rules allowing an American (parent)
firm or our Canadian firm to perform manufacturer testing according to
European Norms, then self-declaring compliance with norms appropriate to the
non-medical x-ray baggage scanning product. 

Does the manufacturer have to become registered with the IECEE (or other
organization) as some sort of "Body"? 

I'm aware of (but not familiar with) ISO 25 being relevant to this issue.

Any tips will be appreciated from those who have been down this road already.

Thanks!

Paul Dobrovolny


 

Paul Dobrovolny
(613) 828-7080
[email protected]



This message is from the IEEE EMC Society Product Safety
Technical Committee emc-pstc discussion list.

Visit our web site at:  http://www.ewh.ieee.org/soc/emcs/pstc/

To cancel your subscription, send mail to:
     [email protected]
with the single line:
     unsubscribe emc-pstc

For help, send mail to the list administrators:
     Ron Pickard:              [email protected]
     Dave Heald:               [email protected]

For policy questions, send mail to:
     Richard Nute:           [email protected]
     Jim Bacher:             [email protected]

Archive is being moved, we will announce when it is back on-line.
All emc-pstc postings are archived and searchable on the web at:
    http://www.ieeecommunities.org/emc-pstc

Reply via email to