CPSC eFiling: Children's Product Certificate and Import File Checks
CPSC eFiling preparation should review CPC, GCC, test reports, product models, import information, tracking labels and platform fields.
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CPSC eFiling preparation should review CPC, GCC, test reports, product models, import information, tracking labels and platform fields.
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U.S. MoCRA files should review facility registration, product listing, safety substantiation, adverse-event records, labels and English pages.
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ESPR has established the DPP framework, and the EU 2025-2030 work plan will set ecodesign and information requirements by product group. Sellers should map SKU, material, supplier, repair, and environmental information into a traceable data chain first.
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EU PPWR preparation should review packaging materials, EPR responsibility, labels, recycling claims, supplier files and page wording, with exact dates checked against official text.
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Amazon US Toy CPC Review: Check ASTM F963-23 and Certificate Elements First helps sellers review toy safety documents, age grading, warnings, chemical and mechanical risks, and marketplace evidence and align each claim with certificate.
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EU Battery Regulation: Check Carbon Footprint, Removability and Battery Passport Data helps sellers review battery classification, removability, labeling, carbon-footprint declaration, and battery passport readiness and align each claim.
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A green claim becomes risky when wording is broader than the evidence. Companies should separately review FTC Green Guides, Climate Pledge Friendly, Compact by Design and third-party certificate boundaries.
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Germany Packaging EPR: Check LUCID Registration and System Participation helps sellers review packaging minimization, recyclability, recycled-content evidence, labeling, and EPR coordination and align each claim with certificate scope.
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Regulation (EU) 2023/988, GPSR, has applied since December 13, 2024. Sellers of non-food consumer products to EU consumers should check product safety information, EU responsible-person records, traceability files, and online page consistency.
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EU PPWR preparation should review packaging materials, EPR responsibility, labels, recycling claims, supplier files and page wording, with exact dates checked against official text.
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The EU Deforestation Regulation focuses on whether covered commodities and relevant products come from deforestation-free supply chains, supported by information collection, risk assessment and risk mitigation records. For wood products, paper packaging, natural-rubber products and components that may contain natural rubber, preparation should begin with SKU-level traceability.
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The EU Battery Regulation links carbon footprint declarations, labelling, QR code information, battery passports, recycled-content information and due diligence into one lifecycle documentation chain. For sellers and manufacturers of lithium-battery products, the practical starting point is not a QR page. It is a traceable data file.
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The EU Battery Passport is often misunderstood as a QR-code task that can be finished at the end of a project. In practice, the passport depends on product data, supplier evidence, documentation ownership and version control. The GOV.UK EU Battery Passport requirements survey updated in July 2026 also frames the topic as a preparation issue for companies facing upcoming battery passport requirements.
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A green claim becomes risky when wording is broader than the evidence. Companies should separately review FTC Green Guides, Climate Pledge Friendly, Compact by Design and third-party certificate boundaries.
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EU AI Act related pages should review AI functions, risk classification, data explanations, warnings and product-safety files. Penalty percentages should not replace file review.
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PFAS related files should review materials, coatings, supplier declarations, test reports, REACH/SVHC files and page wording. One number should not replace current product evidence.
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For cross-border products, carbon neutrality and low-carbon claims should separate carbon footprint accounting, reduction records, offset boundaries and third-party labels instead of mixing Climate Pledge Friendly, FSC, GOTS, GRS, OCS, OEKO-TEX, RCS and RWS evidence.
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PPWR implementation creates two often-overlooked packaging risks: unclear PFAS restriction boundaries and practical recycling gaps. Sellers should test packaging materials, verify recyclable claims, review target-market infrastructure, and consider PFAS-free alternatives.
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PPWR Compliance Guide: How Amazon Cross-Border Sellers Can Prepare helps sellers review packaging minimization, recyclability, recycled-content evidence, labeling, and EPR coordination and align each claim with certificate scope.
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CPSC states that eFiling requirements impacting most imported consumer products will take effect on 8 July 2026. Products imported into a Foreign Trade Zone and subsequently entered for consumption or warehousing follow the 8 January 2027 date.
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