The outgoing and the new Construction Products Regulation (CPR) offer a voluntary path for CE marking products not covered by harmonised standards. This process involves a technical assessment body (TAB) and the issuance of a European technical assessment (ETA). This complementary approach supports a strong single market and promotes innovative products.
The main content of the ETA is information on the intended use and performance of a product.
EOTA route under the new CPR
The new Construction Products Regulation (CPR) updates the voluntary CE marking system for construction products, providing more legal clarity for manufacturers and regulators.
The following is a non-exhaustive list of important alterations.
EADs cited under the outgoing CPR can be used for issuing ETAs until 2030 (5 years after the date of application of the new CPR). The related ETAs can be used for CE marking products until 2035 (ten years after the date of application of the new CPR), provided that the product and intended use are not covered by a mandatory performance HTS. Once a new performance HTS is applied, it becomes the only way to market a product, and the EAD and related ETAs can no longer be used for CE marking.
ETAGs (equivalent of EADs under the Construction Products Directive) cannot be used for CE marking under the new CPR, as they were not cited under the outgoing CPR. The outgoing CPR applies to CE marking and declarations of performance (DoP) based on existing EADs, which do not need to meet the new CPR’s conditions, such as including environmental sustainability characteristics.
ETAs based on non-cited EADs cannot be used for CE marking under either the outgoing or the new CPR from the date of application of the new CPR. These ETAs will be treated as new CPR ETA requests and must follow new CPR rules if the product and its intended use are not covered by a performance HTS.
An ETA from the outgoing CPR can be used as test results in the new CPR if the product, use, and assessment methods are applicable, providing the technical basis for verification by the relevant technical body. EADs cited under the outgoing CPR can be transferred to the new CPR if a manufacturer requests an ETA for the respective product under the new CPR. The new ETA and EAD must then meet all requirements of the new CPR.
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