Feedback (20)

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  • Test & Measurement Coalition (Belgium)
    12 October 2018 Company/business organisation
    Test & Measurement Coalition (Belgium)

    The Test & Measurement Coalition is an ad-hoc group of companies active in producing Category 9 industrial type products, which represents roughly 60% of the global production of industrial test and measurement products and other Category 9 industrial equipment including chemical analysers. The Test & Measurement Coalition is pleased to contribute to the current consultation on the RoHS evaluation Roadmap. You can find attached our...

  • American Chamber of Commerce to the EU (Belgium)
    12 October 2018 Other
    American Chamber of Commerce to the EU (Belgium)

    The American Chamber of Commerce to the EU (AmCham EU) welcomes the Commission’s initiative to evaluate the performance of the Restriction of Hazardous Substances (RoHS) Directive. Our members have been implementing the directive since its inception in 2003, this has given them the practical experience in effectively evaluating which aspects of the directive have worked well and where improvements are needed. RoHS has in many regards met its...

  • Various industry associations (Belgium)
    12 October 2018 Business association
    Various industry associations (Belgium)

    Since its inception in 2002, the RoHS Directive has become a global reference point for regulation of hazardous substances in electrical and electronic equipment (EEE). This has been effective and given the EU a competitive advantage. The worldwide impact of RoHS is significant and the undersigned associations consider that this should be considered in the roadmap for reviewing the Directive. RoHS-type laws have been introduced or are...

  • EUROMOT - the European Association of Internal Combustion Engines Manufacturers (Belgium)
    12 October 2018 Business association
    EUROMOT - the European Association of Internal Combustion Engines Manufacturers (Belgium)

    Please find attached EUROMOT's feedback on the roadmap.

  • European Environmental Bureau (Poland)
    12 October 2018 Non-governmental organisation (NGO)
    European Environmental Bureau (Poland)

    It is of utmost importance to phase out the use of hazardous substance in products. This is the overarching principle. In the same time a coherence with the Circular Economy STrategy must be achieved. The EEBs report looks into this subject in detail:https://eeb.org/wp-admin/admin-ajax.php?juwpfisadmin=false&action=wpfd&t... To reduce our use of natural resources, the EEB encourages reuse and repair of electrical and electronic...

  • Scania AB (publ) (Sweden)
    12 October 2018 Company/business organisation
    Scania AB (publ) (Sweden)

    Please find attached the input provided by Scania CV AB, a world-leading provider of engine technologies, offering a comprehensive engine range and tailored services for its customers worldwide as well as transport solutions, including trucks and buses for heavy transport applications combined with an extensive product-related service offering. Scania engine applications focus on industrial, marine and power generation solutions that may be...

  • Orgalime, the European Technology Industries (Belgium)
    12 October 2018 Business association
    Orgalime, the European Technology Industries (Belgium)

    Orgalime representing the European Technology Industries welcomes the opportunity to comment on the Commission Roadmap to evaluate the performance of RoHS Directive 2011/65/EU on the restriction of certain hazardous substances in electrical and electronic equipment (EEE). Orgalime considers the framework set by the RoHS Directive for setting restrictions of the use of certain substances in EEE as generally efficient, effective, relevant and as...

  • LightingEurope AISBL (Belgium)
    12 October 2018 Business association
    LightingEurope AISBL (Belgium)

    LightingEurope welcomes the opportunity to comment on the Evaluation Roadmap on Hazardous Substances in Electrical and Electronic equipment. We support the list of topics highlighted in the Roadmap and recommend that the following points are also raised during the detailed evaluation. LightingEurope Recommendations: Improve the efficiency of the exemption process- Based on our experience with RoHS and the application process, both for new...

  • Anonymous (United Kingdom)
    12 October 2018 Company/business organisation
    Anonymous (United Kingdom)

    My feed back on personal experience of working with RoHS II in the private sector in a multinational component and sub-assembly manufacturing company. I have found that electronics industry supply chains application of RoHS II compliance methods options may be confusing for components and sub-assemblies suppliers. The documentation standard EN 50581 (or equivalent) is very useful, but not well publicised and evidence / technical documentation...

  • EuroWindoor AISBL (Belgium)
    12 October 2018 Business association
    EuroWindoor AISBL (Belgium)

    EuroWindoor appreciates the opportunity to give feedback to the evaluation of restrictions included in the RoHS Directive 2011/65/EU. EuroWindoor represent the interest of the European window, door and façade sector and has in this role previously provided input for a study initiated by the European Commission to analyse the impact on the industry when windows and doors with electrical function becomes part of the scope of RoHS legislation...

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