What is the difference between b2b and b2c weee




















For example, if a product is only supplied through distribution channels available to non-households this could support a decision to classify the product as B2B. However, there must also be evidence to demonstrate that the product has been designed specifically for B2B use to warrant this classification.

Examples of B2B products could include large capacity catering and laundry equipment designed specifically for the commercial sector. Examples of B2B products could include IT equipment with bespoke connectors for use in non-household environments, and commercial data servers and storage systems.

An example of a dual-use luminaire is a downlight designed to take a GU10 or MR16 lamp. Examples of B2B products could include tools that are for continued daily usage and those powered by electricity sources other than v aside from battery-operated tools. Examples of B2B products could include machines designed for use only in medical facilities, such as dialysis machines which are leased rather than bought by patients.

Equipment used in business applications that do not differ in design and specification from equipment used by households should be classified as B2C. This could include smoke detectors and thermostats.

Examples of B2B products could include display screen equipment that is designed to work off a central signal distribution system instead of individual aerials e. However, examples of B2B products could include floodlights for stadiums and lamps used in cinema projectors. A spokesperson for BIS commented: "The guidance published today on gov. View the discussion thread.

Categories Plastic. Hazardous Wastes. Materials Other. Recent Articles. Local council urges residents not to recycle live ammunition. Landfills leak large quantities of methane close to Madrid city At times it can be difficult to work out which party is classed as the obligated producer of EEE placed on the market.

Some online suppliers might not physically handle EEE but could still be obligated as a producer if they own the EEE at the point it is imported into the UK even if it then gets passed directly to their customers. Equally, if your business is an EEE retailer based in the UK, it can be difficult to work out whether the business is classed as a producer when the EEE supplied comes directly to the business from outside the UK. It can be helpful to follow the flow of money in these scenarios, to work out if payments are being made to a company based outside of the UK for the EEE sourced which would likely make your business the producer , or whether the business is paying a UK company to import the EEE on its behalf.

If you are unsure it is worth opening a dialogue with suppliers and customers and speaking to a compliance scheme who can advise which party is obligated. Making sure you are fully aware of who holds the obligation as a producer within your supply chain is important and is not something that should be assumed.

We are an approved WEEE compliance scheme and will register a business with the relevant environment agency and check and submit data to ensure compliance. Call Is my business affected by WEEE compliance? I am obligated, what next? Small producers are able to register directly, whilst large producers must register through a compliance scheme like B2B Compliance.

The scope and applicability of the energy labelling regulations is not influenced by classification decisions under the WEEE regulations. The Recolight team can answer any media queries relating to press releases and events at info recolight. Recolight recommends that all lamps both traditional and LED are classified as B2C except the following: Lamps for use in stadium lighting Xenon and LED cinema projector lamps Any similar lamps designed specifically and solely for industrial applications All incandescent lamps remain out of scope of the WEEE regulations.

The BIS guidance covers all products declared from 1 January



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