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April 2007

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Subject:
From:
David Harrison <[log in to unmask]>
Reply To:
(Leadfree Electronics Assembly Forum)
Date:
Tue, 10 Apr 2007 08:35:17 -0500
Content-Type:
text/plain
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text/plain (39 lines)
Good morning everyone,

I would like to have opinions on the following case. This will probably be a
quick and easy one:

One of our product we sell to China was verified for China RoHS compliance.
The product itself contains nothing else than exempt lead (from the EU
directive). We added the EFUP 50 label on the final product (number found
using the "General Rule of Environment-Friendly Use Period of Electronic
Information Products (draft)").

This product can be sold with a guiding rail kit which was confirmed to
contains no lead (no exempt lead in metal alloy either). Therefore, the Logo
1 should be used for the guiding rail kit. The problem is that because this
is a kit, we cannot label all the parts in it with the Logo 1.

The rails will also end up beeing used in the final product, which is EFUP
50. So when installed, the final product with the rails installed will be
EFUP 50.

We also added a label for the China Recycling policy on the boxes of both
products (final product and guiding rail kit).

Would it be acceptable to add the China RoHS Logo 1 on the box of the
guiding rail kit. If the box is discarded after installing the rails in the
final product, it should not matter since the EFUP 50 label is present.

Thanks

Regards

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