WEEE
Compliance
Statement
The
Waste
Electrical
and
Electronic
Equipment
Directive
(WEEE)
applies
to
companies
that
manufacture,
sell,
distribute,
or
treat
electrical
and
electronic
equipment
in
the
European
Union.
There
are
a
number
of
obligations
imposed
on
Checkpoint
as
a
supplier
of
electrical
and
electronic
equipment.
Checkpoint's
compliance
approach
for
each
of
these
obligations
is
provided
below.
WEEE
Marking
All
products
that
are
subject
to
the
WEEE
Directive
supplied
by
Checkpoint
are
compliant
with
the
WEEE
marking
requirements.
Such
products
are
marked
with
the
"crossed
out
wheelie
bin"
WEEE
symbol
shown
below
in
accordance
with
European
Standard
EN
50419.
Information
for
User's
According
to
the
requirements
of
European
Union
member
state
WEEE
legislation,
the
following
user
information
is
provided
in
English
for
all
Checkpoint
supplied
products
subject
to
the
WEEE
directive.
This
symbol
on
the
product
or
on
its
packaging
indicates
that
the
product
must
not
be
disposed
of
with
normal
waste.
Instead,
it
is
your
responsibility
to
dispose
of
your
waste
equipment
by
arranging
to
return
it
to
a
designated
collection
point
for
the
recycling
of
waste
electrical
and
electronic
equipment.
By
separating
and
recycling
your
waste
equipment
at
the
time
of
disposal
you
will
help
to
conserve
natural
resources
and
ensure
that
the
equipment
is
recycled
in
a
manner
that
protects
human
health
and
the
environment.
For
information
about
how
to
recycle
your
Checkpoint
supplied
waste
equipment,
please
contact
the
distributor
from
whom
the
product
was
purchased
or
reach
out
to
your
local
Checkpoint
representative
for
details
on
proper
disposal
of
electronics
manufactured
and
sold
by
Checkpoint.
REACH
Compliance
Statement
The
European
REACH
Regulation
1907/2006
on
Registration,
Evaluation,
Authorization,
and
Restriction
of
Chemicals
(REACH),
Annex
XVII
entered
into
force
in
June
2009,
and
affects
all
companies
producing,
importing,
using,
or
placing
products
on
the
European
market.
The
aim
of
the
REACH
regulation
is
to
ensure
a
high
level
of
protection
of
human
health
and
the
environment
from
chemical
substances.
Checkpoint
Systems’
substances
management
system
follows
and
complies
with
the
current
revision
of
the
REACH
Regulation
on
the
substances
as
identified
by
ECHA
(European
Chemical
Agency).
Checkpoint
Systems’
products
are
considered
articles
as
defined
in
REACH
Article
3
(3).
These
products/articles
under
normal
and
reasonable
conditions
of
use
do
not
have
intended
release
of
substances.
Therefore
the
requirement
in
REACH
Article
7
(1)
(b)
for
registration
of
substances
contained
in
these
products/articles
does
not
apply.
Checkpoint
Systems’
products/articles
do
not
contain
Substances
of
Very
High
Concern
or
if
there
are
SVHC
in
the
product/article,
the
content
is
less
than
the
0.1%
(wt/wt)
as
defined
by
REACH
Article
57,
Annex
XIV,
Directive
67/548/EEC.
Therefore
the
requirement
in
REACH
Article
7
(2)
to
notify
ECHA
if
a
product/article
contains
more
than
0.1%
wt/wt of
an
SVHC
and
tonnage
exceeding
1
tonne per
importer
per
year
is
not
applicable.
Checkpoint
Systems’
European
operations
do
not
manufacture
or
import
chemicals,
therefore
Checkpoint
Systems
has
no
obligation
to
register
substances.
Packaging
Compliance
Statement
No
CFCs
(chlorofluorocarbons),
HCFCs
(hydrofluorocarbons)
or
other
ozone
depleting
sub
‐
stances
are
used
in
packaging
material.
Chromium,
lead,
mercury,
or
cadmium
are
not
intentionally
added
to
packaging
materials
and
are
not
present
in
a
cumulative
concentration
greater
than
100
ppm
as
incidental
impurities.
No
halogenated
plastics
or
polymers
are
used
for
packaging
material.
Checkpoint
complies
with
the
EU
Directive
94/62/EEC.
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