OEMs doing business in European Union (EU) markets are likely aware of the Restriction of Hazardous Substances (RoHS). Enacted in 2006, the purpose behind the RoHS directive was to manage the use of lead, mercury, cadmium, hexavalent chromium, polybrominated biphenyls, and polybrominated diphenyl ethers in electrical and electronic products, sub-assemblies, components, or cables.1
RoHS 2, published by the European Commission in July 2011, added stipulations for all electrical/electronic equipment, cables, and spare parts. This revision also made RoHS adherence compulsory for using the CE mark on finished products.2
Fast forward to the implementation of RoHS 3 which applies to non-exempt electronic products going to market on or after July 22, 2019, with an additional two-year compliance window for medical devices and/or monitoring and control tools to ensure continuity of care.3
What do you need to know about this update? How does RoHS 3 affect your business, manufacturing process, and your contract manufacturer partnerships?
RoHS 3 incorporates the provisions of the previous RoHS iterations, with a notable exception. It expands the list of hazardous substances to encompass four phthalates3 that threaten the increasingly fragile environment, pollute landfills, and can even pose health risks to workers who may handle them, specifically:
Not surprisingly, compliance with RoHS 3 is stringent. Working with contract manufacturers that are experienced in maintaining the following mandated restriction limits for the 10 identified hazardous substances4 is a first essential step:
However, an awareness of these limits doesn’t equate to compliance. Electrical and electronic products are subject to RoHS screening and verification prior to certification. Contract manufacturer partnerships could prove pivotal in helping OEMs navigate the four-step compliance process5:
For OEMs with established or growing distribution throughout the EU, RoHS 3 is a key regulation for ensuring safe products are on the market, and that long-term negative consequences for users and the environment are averted. Trusted, experienced contract manufacturers are necessary to help accomplish these important goals.
If you have concerns about your products’ current and future compliance, GMI offers RoHS auditing services that could help you stay on top of RoHS 3, and make any subsequent transitions smoother, simpler, and more economical. Ultimately, build transfer to GMI Solutions may be the right call in achieving and maintaining RoHS 3 compliance. Find out more in our guide, Build Transfers: 12 Things Contract Manufacturers Need from OEMs.
SOURCES
1RoHS Guide, RoHS Compliance FAQ, February 5, 2020
2ChemSafetyPRO, EU RoHS 2 (Directive 2011/65/EU), November 16, 2019
3Matric, What are RoHS 3 Substances & What’s the Implementation Date?, February 18, 2019
4RoHS Guide, Is Your Organization RoHS 3 Compliant for 2020?, February 5, 2020
5MIQ Partners, The Importance of RoHS Compliance, September 20, 2016