What I find troubling in this new reg is the last line of the definition for
equipment in scope..(ref art 2.1)
"also when marketed for non-household or non-office use;"
This seems to create some ambiguity with regard to the question of "does this
regulation apply to consumer-type equipment that happens to be integrated as a
component of industrial equipment?"
Why do these EU "parties" always leave me with a hangover?
Regards,
Lauren Crane
Product Regulatory Analyst
Corporate Product EHS Lead
Applied Materials Inc.
Austin, TX 512 272-6540 [#922 26540]
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"James, Chris" <[email protected]>
Sent by: [email protected]
01/13/2009 06:35 AM To
<[email protected]>
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Subject
First EUP Regulation implementation regarding standby power
http://tinyurl.com/6tkth3 <http://tinyurl.com/6tkth3>
Entered into force 7/1/09
If the interpretation of Annex I (3) (below) is the same as RoHS where
consumer covered B2B professional products also then we have another party to
go to............... :-(
3. Consumer equipment
Radio sets
Television sets
Videocameras
Video recorders
Hi-fi recorders
Audio amplifiers
Home theatre systems
Musical instruments
And other equipment for the purpose of recording or reproducing sound or
images, including signals or other
technologies for the distribution of sound and image other than by
telecommunications
Chris
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