I agree; even internal fixed batteries should be marked. The markings
are for service technicians and recycling people, not just users.
But 60065 and 60950-1 are nearly dead. You should look at 62368-1.
Best wishes
John Woodgate OOO-Own Opinions Only
J M Woodgate and Associates www.woodjohn.uk
Rayleigh, Essex UK
On 2019-02-20 17:06, Scott Xe wrote:
The end product safety standards EN 60065 & EN 60950-1 consider the
compliance if lithium-ion rechargeable battery meets EN 62133. EN
62133 asks for some rating markings and WEEE and battery Directives
also ask for recycle symbols. For individual selling on battery cells
and packs, they must comply with all markings. The users can
reference to those markings for safe use of those components. For end
products such as clock radios, wireless headphones, etc., the battery
is bulit into the unit and not allowed to be replaced or repaired by
the customers. The markings are not useful for the customers so those
components are often NOT included all the markings. Is it considered
not to fully comply with EN 62133? Should the end product be
sufficient to comply with the markings specified by EN 60065 or EN
60950-1 only?
Since the end products have to be separated from household waste and
the rechargeable battery are required to be separated from household
waste and normal EEE waste, how can it be presented to the customers
without leading the confusion?
Thanks and regards,
Scott
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