UKCA

ARE YOU PREPARED FOR UKCA?

All you need to know about the UK equivalent to CE marking and CPR fire testing, as exiting the European Union trade deals continue to conclusion – contact the team today for priority testing! The background – BASEC’s position on CE/UKCA marking On 1st September, Ministry of Housing, Communities and

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BDC 321 : Oct 2024

UKCA

UKCA deadline moved but fasteners and fixings manufacturers must not delay in testing, warns expert

UKCA deadline moved but fasteners and fixings manufacturers must not delay in testing, warns expert

Although the deadline for the UKCA certification process has been pushed to 30 June 2025, manufacturers of structural timber fasteners and fixings are being told to start now with getting products tested amidst a shortage of approved testing facilities in the UK.  The advice, from Warringtonfire, a leading testing, inspection and certification company, warns that manufacturers who opt to wait run the risk of finding themselves with nowhere to test their products, as there are only a handful of UKAS-accredited testing facilities in the UK.  Accredited testing to enable UKCA marking can only be issued by an approved body listed on the UK government’s database. Under the UK Construction Products Regulation, from 30 June 2025, manufacturers of structural timber fasteners and fixings within the scope of the UK Designated Standard BS EN 14592 must successfully complete the testing process by a UK based laboratory for any product to be placed on the UK market. This also applies to any products undergoing a chance in specification.  Ben Sharples, Commercial Lead at BM TRADA and sister company to Warringtonfire, said: “UKCA marking is very important for the construction industry, as it symbolises that the product being used conforms to the relevant standard and is a mark of integrity. It is very important that fasteners and fixings manufacturers do not get lulled into a false sense of security with this extended deadline on UKCA marking.  “There are only a few UKAS-accredited bodies in the UK that are able to test fasteners and fixings, of which Warringtonfire is one of them, that will then allow you to go on and achieve UKCA certification. Manufacturers need to be aware that any products on the UK market after the June 2025 will need to have this testing completed. This goes for products undergoing a change in their specification too. For instance, fasteners and fixings that have a change in design or coatings, will also need to be re-tested to gain the UKCA marking and confirm their stated performance.”  To help accommodate the rush for testing, Warringtonfire has launched its state-of-the-art Fastener Testing Laboratory, which is located in High Wycombe. The laboratory can undertake assessments of performance for structural timber fastener and fixing products, so that manufacturers can UKCA mark them to BS EN 14592.   Accreditation for the laboratory was achieved thanks to the expertise of its technicians as well significant investment into high-calibre testing equipment. The facility includes a universal testing machine for compression and tensile testing, a series of bespoke testing rigs, and conditioning rooms for structural timber samples.    The organisation will offer a range of geometric and mechanical testing procedures for dowel type fasteners from a particular group of structural timber fixings, comprising of nails, screws, staples, dowels and bolts. The laboratory can also test steel fixings used to create joints between timber components or to attach other materials to timber.  UKCA certification became mandatory for all new construction products placed on the market in Great Britain as of 1 January 2021, as the UK transitions away from the EU-recognised CE Marking. The original cut-off date for UKCA marking for all applicable construction products placed on the GB market was 1 January 2023, before being pushed to the new date in 2025.  “Although many manufacturers have successfully achieved UKCA certification, a sizeable number have not,” said Ben. “Lead times for testing are long, and laboratory availability is in short supply. The longer the delay in getting the process started, the more likely manufacturers are to be caught out, and this then affects them being able to sell or launch their new products. Our advice is to get in touch as soon as possible, to ensure a smooth transition and prevent any disappointment down the line.”  To find out more about UKCA testing for structural timber fasteners and fixings, please visit: https://www.warringtonfire.com/testing-services/non-fire-testing/fastener-testing.  Building, Design & Construction Magazine | The Choice of Industry Professionals 

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ARE YOU PREPARED FOR UKCA?

All you need to know about the UK equivalent to CE marking and CPR fire testing, as exiting the European Union trade deals continue to conclusion – contact the team today for priority testing! The background – BASEC’s position on CE/UKCA marking On 1st September, Ministry of Housing, Communities and Local Government (MHCLG) communicated the latest position regarding withdrawal from the European Union (EU) and the future position regarding CE marking under CPR. Statutory Instrument 2019 No 465 covers all aspects of how those trading with the UK must move forward with Construction Products building market standards, for full details read more here: http:/www.legislation.gov.uk/uksi/2019/465/made BASEC is in the unique position of having established both BASEC UK as a UKCA approval body NB 2661 and BASEC Conformity Limited (BCL) as an EU27 notified body via NB 2851. Moving forward On 1st January 2021, BASEC UK will cease to be an EU27 notified body and automatically gain status as a UK approved body. This will be reflected in a database for UK approved bodies similar to NANDO (yet to be published). The current intention is that the same notified body (NB) number will remain, so BASEC will be UK approved body with the existing NB 2661 number. It has been confirmed that the UK approval scheme will be a mirror of the current CPR, all EN standards will become UK designated standards and will again be identical to the EN’s. In this way, the AVCP (testing and FPC) will be no different. As a part of the move away from CE marking to UKCA, the government has allowed a 1-year transition period. Where until 1st January 2022, it will be permissible to use CE marked product that fulfils the below criteria and are: Covered by a harmonised European standard, which is the same as a UK designated standard (as noted above) Affixed with CE marking Accompanied by a manufacturer’s declaration of performance, and Have been assessed by an EU-recognised notified body, where third party assessment is required. Find out more about fire cable standards, testing and certification by downloading the guide. The action industry must take On the surface it appears that there is a further year before definitive action must be taken, however, the below statement brings into focus some urgency, in respect to how transfer of certification between NB’s will need to happen: “Where a UK notified body (which becomes a UK approved body) had carried out tasks or issued certification in relation to the Assessment and Verification of Performance (AVCP) for a product before 1st January 2021, then those tasks and/or that certification may be used to support affixing of the UK marking if the product is placed on the GB market after this date” This means, for all current BASEC customers that have AVCP system 1+ with BASEC it is permissible for BASEC to use this information in support of UK marking i.e. there will be no need for additional parallel auditing/testing. Additionally, any transfers that occur before 1st January 2021 will constitute tasks and the same will apply. Anything after this date will require full parallel testing/auditing. Under the group of notified bodies (GNB) transfer guidance, there is the possibility of cooperation with the current issuing notified body of a customer. This would involve a desktop review of all Initial visit reports, FPC, CoCP and testing. It would then be at BASEC’s discretion of how to validate this information, as it cannot simply be “taken as read”. It would be BASEC’s intention to review all documentation including CoCP and test reports for alignment with CPR requirements. Upon successful review BASEC would then establish a test programme, on a risk basis, as to how many tests would be required to verify alignment between the testing of the issuing NB and BASEC. Successful completion of this process would lead to certificate transfer. At this stage, all system 3 documentation remains valid as previously communicated. BASEC will continue to offer classification reports for existing customers for UKCA system 3, but may wish to retest, dependent on the age of the original test. In summary Key takeaways for you to assess your next steps include: As of January 1st, 2021, BASEC will become a UK approved body and no longer an EU27 NB BASEC Conformity Limited (BCL) NB 2851 will offer System 1+ CPR AVCP as an EU27 notified body BASEC UK will offer UKCA System 1+ and System 3 There is a 12-month transition period where CE marked product will still be allowed into the UK All work carried out by BASEC prior to 31st December 2020 is allowed to be used as technical information to validate UKCA marking This will include any transfers prior to 31st December 2020 Post 1st January 2021 all UKCA work will require new testing/auditing Post 1st January 2021, BASEC/BCL’s service offering will allow 1 set of auditing/testing to satisfy both UKCA (System 1+ and System 3) AND CE (System 1+ ONLY) marking obligations For any further information on the transition to UKCA marking, please contact Mark Froggatt mark.froggatt@basec.org.uk

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