Information on product labelling and GPSR regulation

Dear trading partners,
We would like to inform you about the current status regarding product labelling and the requirements of the new EU regulation on the law on making products available on the market (GPSR).
Our products have long carried a label that already contains the following information in accordance with the EU minimum labelling requirements:
- Company address (Beheim International Brands)
- Article EAN
- Since the HW24 collection, a contact e-mail address (service@beheim.de). For NOS and runners this will gradually be added to the labels..
This label is always sewn into the inside pocket of our products at the bottom and fulfils the valid labelling requirements in the EU, including the new EU regulation, which, according to our interpretation, does not impose any additional requirements.
There is no legal requirement for our product groups to label care instructions or material compositions directly on the product. Our assessment is based on the current EU legal text 2023/988, according to which our products fall under categories 16 ‘Fancy goods’ and/or 17 ‘Travel goods’, for which there is no labelling requirement for material compositions or care instructions.
Nevertheless, we are taking account of rising consumer expectations and the increasing need for transparency. When designing the FS25 collection, we decided to voluntarily add the material composition of the products to the label. This information can also be found on the inside label. However, voluntary labeling of the products with care instructions is not currently planned.
In summary, we can confirm that our products already fulfil the required labelling obligations before 13.12.2024 and will even exceed them with the FS25 delivery.
If you have any further questions, please do not hesitate to contact us.
With best regards in partnership,
Yours,
