Is anyone on the list familiar with the subject decision?  It covers lithium, NiCd, and NiMH cells and packs and application of IEC 62133.  I was able to find a clarification document http://www.iecee.org/whatsnew/PDF/cmc1232inf.pdf but not the original decision.  I am being told by a test house that a battery cell/pack used in a product must have a test report against IEC 62133 in order for a CB Report/Certificate to be issued for the end-product.  That's who I got the link to the clarification document from.  It appears that standards covered by TC108 are exempted from the decision because TC108 says IEC 62133 is not referenced by 60065, 60950, etc.  Other IEC standards that do not fall under TC108 do not reference IEC 62133 standard either (and there are a lot of them), but they were not exempted?
 
This does not make much sense to me.  Is this decision a mandatory and universal requirement for all products that utilize one of the covered battery technologies except if the standard is under the umbrella of TC108 or is the interpretation all wrong?
 
Follow-on questions:  I am concerned about an IECEE decision like this and even more concerned about IECEE decisions that affect standards I use that I am not aware of (yet).  Can anyone shed light on this process in the CB Scheme?  Are the decisions publicly available and are they searchable by standard affected or exempted or by TC? 
 
I have not come across a situation like this before.  I understand the requirements for components in a product to meet their respective component standards or require additional testing.  The product standards I use have their own battery testing requirements.  Does this decision essentially overrule the product standard and force the battery component standard to be used (only)?
 
Thanks!
 
-- 
Dan Roman, N.C.E.
VP Communications Services
IEEE Product Safety Engineering Society
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