19 Feb 2018

Joint Industry Comments on the Database for Energy Labelling

The EU Product Database for Energy Labelling needs to meet the objectives stated in Regulation 2017/1369. It has to be set-up so that the burden for suppliers is minimised (Art 12.7a), data security is ensured (Art 12.9), terms and conditions – including the scope – are known in advance, and a fair and level playing field is safeguarded by identifying free-riders (Recital 6). In addition, it has to ensure that it is fit for purpose for all product groups and it takes into account their various characteristics.

The industries concerned by the product groups to be registered in the EPREL Database welcome the opportunity to comment on the documents published by the European Commission on 19 December. The comments below follow on from our joint position paper of November 2017.

Back to Sustainability
View the complete Policy Paper
PDF
Our resources on Sustainability
05 Jun 2023 Policy Paper
DIGITALEUROPE’s roadmap for Europe’s energy ecosystem digital transformation - The time to transform is now
05 Jun 2023 Policy Paper
DIGITALEUROPE's views on upcoming proposal for EU REACH restriction of flame retardants
15 May 2023 Policy Paper
‘Right to Repair’ Directive: a welcome framework to boost repair
Hit enter to search or ESC to close
This website uses cookies
We use cookies and similar techonologies to adjust your preferences, analyze traffic and measure the effectiveness of campaigns. You consent to the use of our cookies by continuing to browse this website.
Decline
Accept