Installation and Operational Instructions for
ROBA-stop
®
-Z Type 892.101.0
Size 125
(E073 01 046 000 4 EN)
18/05/2022 TK/HW/SU
Chr. Mayr GmbH + Co. KG
Eichenstraße 1, D-87665 Mauerstetten, Germany
Phone: +49 8341 804-0, Fax: +49 8341 804-421
Page 2 of 16
www.mayr.com
, E-Mail:
Guidelines on the Declaration of Conformity
A conformity evaluation has been carried out for the product (electromagnetic safety brake) in terms of the EU Low
Voltage Directive 2014/35/EU and the RoHS 2011/65/EU with 2015/863/EU. The Declaration of Conformity is laid out in
writing in a separate document and can be requested if required.
Guidelines on the EMC Directive 2014/30/EU
The product cannot be operated independently according to the EMC directive.
Due to their passive state, brakes are
also
non-critical equipment according to the EMC.
Only after integration of the product into an overall system can this be evaluated in terms of the EMC.
For electronic equipment, the evaluation has been verified for the individual product in laboratory conditions, but not in the
overall system.
Guidelines on the Machinery Directive 2006/42/EC
The product
is a component for installation into machines according to the Machinery Directive 2006/42/EC.
The brakes can fulfil the specifications for safety-related applications in coordination with other elements.
The type and scope of the required measures result from the machine risk analysis. The brake then becomes a machine
component and the machine manufacturer assesses the conformity of the safety device to the directive.
It is forbidden to start use of the product until you have ensured that the machine accords with the regulations stated in the
directive.
Guidelines on the EU Directive 2011/65/EU (RoHS II) with 2015/863/EU (RoHS III – from 22 July 2019)
These
restrict
the use of certain hazardous substances in electrical and electronic devices as well as in products /
components (category 11), the proper operation of which is dependent on electric currents and electromagnetic fields.
Our electromagnetic products / components fulfill the requirements laid down in the RoHS Directive(s), taking
into account the valid exceptions (according to Appendix III and IV RoHS (2011/65/EU) with delegated Directives
(EU) 2018/739-741 from 01.03.2018 for Category 11 – until 21 July 2024) and comply with the RoHS.
Guidelines on the ATEX Directive
Without a conformity evaluation, this product is not suitable for use in areas where there is a high danger of explosion.
For application of this product in areas where there is a high danger of explosion, it must be classified and marked
according to Directive 2014/34/EU.
Guidelines on the REACH Regulation (EC) No. 1907/2006
of the European Parliament and of the Council concerning the Registration, Evaluation, Authorization and Restriction of
Chemicals (REACH). This regulation governs the manufacture, placing on the market and use of chemical substances in
preparations and, under certain conditions, also of substances in finished products.
mayr
®
power transmission exclusively manufactures products (articles: overload clutches, shaft couplings,
electromagnetic brakes / clutches, permanent magnet motors and the appropriate control modules / rectifiers) in
accordance with the definition in Article 3 of the REACH Regulation.
mayr
®
power transmission is aware of its responsibility towards the environment and society. As a matter of precaution,
we pay attention to particularly critical substances in the supply chain and strive to avoid using any such substances
completely or to replace them in the near future.
In compliance with Article 33 of the REACH Regulation, we would like to inform you that in our overload clutches and shaft
couplings, electromagnetic brakes / clutches as well as permanent magnet motors, subcomponents with a lead content of
> 0.1% are or may be used. These are manufactured from raw materials such as machining steel / copper alloys (e.g.
brass, bronze) or aluminum alloys.
Besides high-melting-point (HMP) solders (electronics), this also affects integrated machine elements as well as standard
parts (screws / nuts / set screws / pins / etc.) among others, provided that the relevant standards allow this.
For example, lead can occur as an alloying element with more than 0.1 mass percent, based on the respective total mass,
in screws and set screws of the following property classes: 4.6, 4.8, 5.8, 6.8, 04, 4, 5, 6, 14H, 17H, 22H, 33H, 45H.
Products made from copper and copper alloys do not fall within the area of applicability of Regulation (EC) No. 1272/2008
of the European Parliament and Council on the Classification, Labeling and Packaging of Substances and Mixtures (CLP
Regulation) and are therefore not subject to the classification and labeling obligations.
To our knowledge, when used for their intended purpose and disposed of correctly (recycling), the contained substances
pose no threat to health or environment.
We would like to point out that the proportion of lead used here is not prohibited according to the REACH Regulation. It is
merely necessary to declare the use of this substance.
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