As of 1 July 2006, new electrical and electronic equipment must not contain the following harmful substances:
• hexavalent chromium
• polybrominated biphenyls (PBBs)
• polybrominated diphenyl ethers (PBDEs)
The regulations apply to small and large household appliances, IT and telephone equipment, consumer equipment (radios and TVs etc.), lighting equipment (including bulbs), electrical and electronic tools, toys, leisure and sports equipment and vending machines.
Reducing harmful substances is good for the environment and health
The regulations aim to protect consumers from dangerous substances. For example, brominated fire retardants can cause birth defects and cancer.
In addition, the equipment will be less dangerous to the environment when it eventually becomes waste and may be easier to recycle.
Manufacturers, importers and distributors are responsible
The import or sale of products that do not comply with the regulations is prohibited within the EU. Enterprises must ensure that equipment does not contain the prohibited substances.
The Environmental Protection Agency’s chemical inspectors monitor compliance with the regulations and will ensure that illegal situations are brought into compliance. This may involve withdrawing the product from the Danish market, or making the product legal in some other way. Anyone who breaches the regulations may additionally face a fine or prison sentence of up to two years.
No specific documentation requirements
The Danish Environmental Protection Agency has not specified any documentation requirements enterprises must fulfil to demonstrate compliance with the regulations. It is up to individual enterprises to ensure that any suppliers they use supply components that comply with the RoHS regulations. Enterprises may choose to select suppliers with a well-documented quality assurance system that can serve as documentation. It may also be necessary to perform a technical analysis to document that equipment complies with the regulations.
Exemptions where no alternatives exist
The use of mercury in fluorescent tubes and lead in certain soldering materials is still permitted. All exemptions are listed in:
Statutory Order 873 of 12 August 2006 (in Danish at www.retsinfo.dk)
The European Commission may also grant exemptions in other cases where it is not technically possibly or environmentally advantageous to replace the dangerous substances with substitutes. Enterprises seeking such an exemption must send an application to the Commission, proving that it is not possible to use other substances.
Does not apply to old equipment
Equipment transferred for the first time within the EU prior to 1 July 2006 does not have to fulfil the requirements. It can be freely resold after 1 July 2006.
It is not a requirement that equipment has been sold to the consumer.
Equipment produced within the EU is considered to have been transferred once the finished equipment has been physically moved from the producer to a later stage in the distribution chain, or if a binding legal agreement has been made regarding transfer of ownership.
Products imported from non-EU countries are considered to have been transferred when they have cleared customs.
It is a good idea to supply/request documentation in later stages of the distribution chain that shows the equipment was transferred from the producer before 1 July 2006. Such documentation may be necessary during later supervision and inspection.
The regulations also apply to spare parts
Components are covered if they are to be used as spare parts. Components to be used in equipment covered by the RoHS Directive must fulfil the requirements.
Spare parts only to be used for old equipment (see above) are not covered.
The regulations do not apply to electrical and electronic equipment belonging to the following groups:
• Military equipment
• Medical equipment
• Monitoring and regulating instruments
• Large stationary industrial tools
• Equipment that uses voltages above 1000 V (AC) or 1500 V (DC)
Special regulations apply to batteries. The RoHS Directive does not change these requirements.
The requirements do not apply to equipment exported from the EU, but other local requirements may exist.
The full text of the regulations is available (in Danish) at the Retsinfo website:
Statutory Order 873 of 12 August 2006 limiting the import and sale of electrical and electronic equipment containing certain dangerous substances
The Danish regulations are based on EU regulations available at EUR-Lex:
EU Directive 2002/95/EC on the restriction of the use of certain dangerous substances in electrical and electronic equipment.
Relevant links and documents:
The European Commission website on the WEEE and RoHS Directives. This site has links to relevant directives, technical documents and news. The WEEE directive contains examples of what is covered by the various product categories.
Commission website on the WEEE and RoHS Directives (at ec.europa.eu)
The European Commission official FAQ on the WEEE and RoHS Directives (PDF). This FAQ includes a description of which equipment is covered and explains how to apply for an exemption.
Commission FAQ on the WEEE and RoHS Directives (PDF, at europa.eu.int).
The official Great Britain website on the RoHS Directive . (at rohs.gov.uk)
This site has a guide to which equipment is covered, interpretations and links.
The battery regulations can be found in
Council Directive 1991/157/EEC with later amendments . (at EUR-lex)
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National REACH helpdesk is a service established in every Member State providing advice to companies and other stakeholders on the obligations they may have under REACH.
The Danish REACH helpdesk:www.reachhelpdesk.dk (in Danish)
Ph: + 45 7012 0211
Read more about REACH and national helpdesks atThe European Chemicals Agency