This section contains questions and answers of general interest concerning Ecodesign and Energy Labelling. The answers typically reflect a common understanding between Commission services and the Market Surveillance Authorities of Member States. However, a binding interpretation of Union law is the sole competence of the European Court of Justice, and the Commission shall not be liable for any damage or loss howsoever caused that may result from relying on the information provided here.
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FAQs (392)
RSSIt is the responsibility of the supplier to identify if the product is a light source or a containing product according to Commission Regulation (EU) ...
The definition in the regulation states that (3) “‘multi-speed drive’ means a fan motor that can be operated at three or more fixed speeds plus zero ...
No. Ecodesign requirements need to be fulfilled with all fuels the product is marketed to be ...
Article 2.(c) lists T-temporary-use spare tyres as out of scope of the Regulation. The definition in Article 3.(3) refers to ‘T‐type temporary‐use spare ...
The energy label shows indeed the power consumption in kWh/1000h. It is however the same value if ...
Regulation (EU) 2017/1369 indicates that only economic operators either manufacturers or importers or authorised representatives in the case of non EU ...
Yes. The QR code leads to the label and the product information sheet as stored in EPREL: they appear on the display of a QR reader, such as a smartphone ...
According to Article 3(1) of the Ecodesign Directive, Member States shall ...
As for separate control gears, they are only in scope of Ecodesign, As for light sources, the definition in Article 2(1) in both acts is the same. However, ...
If the individual tyre or batches are stored in the manufacturers’ warehouse and have not been subject yet to any commercial transaction, this means ...