Hi Amund, 

You may have enough responses to meet your needs, but just in case...

2011/EU/65 is, of course, a CE marking directive, so consideration of a DoC is 
entirely appropriate. 

2015/863 was, of course, an amending directive. It has no functional standing 
as a directive in its own right, other than to amend 2011/EU/65. So mentioning 
it parenthetically etc., facilitate the understanding of folk less familiar 
with how directives 'work' is probably a good thing, but declaring conformance 
to it is essentially meaningless. 

A resource that is work mentioning are the Consolidated Texts available from 
EurLex. 
https://eur-lex.europa.eu/advanced-search-form.html?action=update&qid=1606148157804
 

There you can find the RoHS directive in all its glory with all amendments to 
date in place (both delegated acts and acts done by other means such as 
2015/863). Reference to 2011/EU/65 is a reference to it in the state expressed 
by the Consolidated Text particularly with regard to new substances and expired 
exemptions. 

Here's a link to the most recent, "M57" version.  
https://eur-lex.europa.eu/legal-content/EN/TXT/?uri=CELEX%3A02011L0065-20200901&qid=1606148207771
 

Best Regards, 
-Lauren


-----Original Message-----
From: Amund Westin <[email protected]> 
Sent: Saturday, November 21, 2020 4:01 AM
To: [email protected]
Subject: [PSES] ROHS and DoC

For EU compliance, I assume Directive 2011/65/EU is still the correct reference 
to use?
I see several parties who is referring to 2015/863 in their DoC, but isn't that 
reference just a replacement for Annex II in 2011/65/EU?

Best regards
Amund

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