The requirements will be defined in the relevant product Standard, on a case by case basis. << Back to FAQ's
The BBA is seeking to rebrand notified body test reports where possible, but advice and clarification by MHCLG is awaited. As things stand, while the Government is encouraging mutual recognition in principle and the BBA would like to be able [...]
Yes, the Construction Products (Amendment etc) (EU Exit) Regulations. << Back to FAQ's
Our product is Zinc based and we did not require CE Marking. Will we now require UKCA Marking for a zinc product in the UK?
If you didn’t previously CE Mark then it is unlikely that you would need to UKCA Mark – UKCA Marking mirrors the requirements of CE Marking. Unless you are covered by a Harmonised Standard (or have produced an ETA) then [...]
I am an FPC 2+ client selling into the UK and EU markets – what is the status after January 1st 2021?
You will possibly need both CE Marking and UKCA Marking, depending on whether your CE marking is based on the mandatory route (via harmonised Standards) or the voluntary option (vie ETAs). If the latter, you will be able to choose [...]
You will continue to require CE Marking. We will work in contract with you and our European partners so that your CE Marking is supported by a Notified Body in an EU member state. In many cases, we may be [...]
You need take no action; the existing surveillance and Certification arrangements can continue to be used in support of UKCA marking. If you wish to do so, we can re-issue your certification from the BBA as a UK Approved Body [...]
The situation with goods being imported to the UK from Commonwealth countries to the EU is unchanged. For importing into the UK however, the same rules apply as for countries within the EU (i.e the UKCA rules will also apply). [...]