Many of the replies are similar to Doug’s (below) in that most people say
that they are going for RoHS compliance even if they are excluded.

 

It’s a good idea and one that we would follow (if I had my way) even if our
equipment were determined to be excluded.

 

However…it still is very important to determine if your products are
excluded under the following scenario…

 

Let’s say that we at Nettest go for RoHS compliance regardless of whether we
are excluded from the directive or not.  Let’s say that we get to the drop
dead date (date of implementation of the directive) and we still have some
components that we can’t get RoHS compliant parts for…

 

If our equipment were excluded; then we could still ship and work on cleaning
up these components.

 

If our equipment weren’t excluded; then we would have to go on stop shipment
for the products containing non-RoHS parts.

 

That’s a big difference…ultimately the difference between eating and not
eating, …if you know what I mean.

 

The answers that I am getting are just as confused and varied as I am
(although I still appreciate them greatly).  This just goes to show the level
of confusion out there.

 

Where is the ultimate authority that can answer questions  about the
directive?    There are “consultants” popping up all over the place; but I
don’t see why companies should pay “consultants” for RoHS “opinions”
(as opposed to EMC consultants who usually have some physical knowledge, or
have equipment to measure specific physical properties…”opinions” are
usually just a part of what they provide.).  We at Nettest can come up with
our own “opinions” about RoHS and word them just as elegantly as any
consultant.  This is strictly an applicability issue that needs to be
addressed by an ultimate authority.

 

The questions that I and others are asking have to do with the intentions of
the writers of the Directive…there needs to be some kind of way that
manufacturers can pose their questions to the writers…or to the technical
committee that sponsored them…even if there was a fee involved.

 

At the very least, there should have been a guidelines document, whereby the
authors of the directive gave reasoning for the exemptions that they allowed. 
This would allow us to make decisions based upon similar context.

 

Does anybody know of such an avenue where a company can get direct information
regarding the applicability of RoHS to their products?  (i.e. can the IEEE
technical committee be contacted?)

 

We’re down to considering calling the “heavy hitters” at
1-800-LAW-1010…maybe they can answer our RoHS questions and get me some
money for the carpal tunnel syndrome I’m suffering from due to all of this
typing :-)

 

Chris Maxwell

Nettest

 

 

 

  _____  

From: POWELL, DOUG [mailto:[email protected]] 
Sent: Thursday, April 21, 2005 11:04 AM
To: Chris Maxwell; [email protected]
Subject: RE: RoHS and WEEE

 

Chris,

 

For reasons other than yours, my company is excluded from the scope of the
directive; however we have decided to go through the steps to compliance. 
This was a well though out decision and we have decided to go ahead.

 

We have a few compelling reasons:

1) Our OEM customers are requesting compliance.

2) It won’t be long before component parts will become unavailable.

3) It is viewed as a marketing advantage. 

 

Maybe I’m dating myself but I began work in the elctronics world in the
early 70’s near the time when transitors were replacing vacuum tubes. Item
#2 is reminiscent of that  time.

 

Doug Powell

Staff Engineer

Corporate Compliance Dept.

Advanced Energy Industries Inc.

  _____  

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