EU battery rules summary for suppliers and factories

This page lists the main EU legal points used in the guide. Each point shows the regulation, article, a plain-English summary, why it matters in factory work, and a direct link to the original EUR-Lex source.

Main battery regulation

Primary source for battery marking, labelling, CE, QR code, manufacturer duties, importer duties, built-in battery removability, and instructions.

Regulation (EU) 2023/1542

Article 13(4), 13(5), 13(6), 13(7)
Marking / QR

Plain English

  • All batteries need the separate collection symbol.
  • Cd or Pb must be added if the threshold is exceeded.
  • From 18 February 2027, batteries need a QR code.
  • If size or nature makes direct marking impractical, packaging and accompanying documents can carry the information.

What this means for factory and supplier

  • Prepare artwork for cell plus packaging together.
  • Do not assume all markings fit on AA/AAA cells.
  • Build a QR target page plan before 2027.

Regulation (EU) 2023/1542

Article 38(6) and 38(7)
Manufacturer

Plain English

  • The battery needs an identification reference such as model, batch, lot, or serial information.
  • The manufacturer must be identified by name or trade name and postal address.
  • If this is not possible on the battery itself, the information may move to packaging or an accompanying document.

What this means for factory and supplier

  • Create a stable lot / traceability code format.
  • Keep full manufacturer contact data in artwork files.
  • Do not leave the supplier name unclear.

Regulation (EU) 2023/1542

Article 41(3)
Importer

Plain English

  • If the battery comes from outside the EU, the importer must be identified by name or trade name and postal address.
  • If not possible on the battery, this can go on packaging or an accompanying document.

What this means for factory and supplier

  • Always prepare importer data as part of the EU artwork set.
  • Do not print only the China supplier and forget the EU importer.

Regulation (EU) 2023/1542

Article 11 and Article 12
Built-in batteries

Plain English

  • Portable batteries built into products must become removable and replaceable by the end-user under the conditions set by the Regulation.
  • Products with built-in batteries need instructions and safety information for use, removal, and replacement.
  • Those instructions must be permanently available online on a public website.

What this means for factory and supplier

  • Do not treat built-in rechargeable batteries like simple AA/AAA cells.
  • Prepare manuals, online help, and removal instructions early.
  • Product design and documentation must be aligned.

Regulation (EU) 2023/1542

Article 18, Article 19, Article 20, Annex VI
DoC / CE / Label

Plain English

  • A compliant battery needs an EU declaration of conformity.
  • CE marking must be affixed in the required way.
  • Annex VI defines the general battery label information, the separate collection symbol, and the QR code concept.

What this means for factory and supplier

  • Artwork, compliance files, and declarations must match each other.
  • Do not use random symbols or inconsistent CE artwork.

Other linked EU rules

These rules matter because batteries are sold in products and because non-EU manufacturers need an EU-side responsible economic operator.

Regulation (EU) 2019/1020

Article 4
EU operator

Plain English

  • A product covered by EU harmonisation rules must have a responsible economic operator established in the EU.
  • If the manufacturer is outside the EU, this will often be the importer.

What this means for factory and supplier

  • The EU importer is not optional in practice when the manufacturer is in China.
  • Supplier files should clearly identify who the EU-side operator is.

Regulation (EU) 2023/988

Article 9
General product safety

Plain English

  • Manufacturers must assess product risks and keep technical documentation for product safety.
  • This rule matters in addition to the battery-specific regulation.

What this means for factory and supplier

  • Keep safety reasoning, test references, and technical documentation under control.
  • Do not assume battery marking alone is enough for the overall product.
This page is a practical summary for suppliers and factories. The official legal text remains the original EUR-Lex source. Final artwork and compliance decisions should always be checked against the latest consolidated legal version.