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EU Timber Regulation study evaluates best practice

Regulation (EU) No 995/2010 is designed to counter trade in illegally harvested timber and timber products as part of the fight against deforestation. It will mean that operators (all entities who place timber or timber products on the EU market for the first time) have to prove that the timber/timber product is from a legal source. This process is called ‘due diligence’. The trader will have to have access to information about the timber/timber products (e.g. country of harvest, species, details of the supplier), and based on this information must assess the risk level of the supply.

The EUTR study focused on two main areas – what the ‘due diligence’ systems (DDS) for operators could look like, and how third party monitoring organisations can be accredited.

‘Due diligence’ systems

The team found that the variety of operators (who could be anything from a small garden centre to a global-sized corporation) made one single DDS a difficult proposition – the DDS should be tailored to the operator’s conditions and resources. There is a need for information services to ease the administrative burden – this would give a more consistent approach, and make it less costly and more efficient for small and medium-sized enterprises (SMEs) to develop/implement their own DDSs.

Very few SMEs are aware of EUTR, and there is an urgent need for awareness raising. While many SMEs will be considered as “traders” according to the EUTR (in this case only traceability is required) and are not at risk of having to change their normal business methods, small importers/merchants with lots of complex product lines and high-risk timber sources (e.g. tropical hardwood) are more vulnerable.

Recognition of monitoring organisations

Part 2 of the study looked at monitoring organisations (MOs), and the requirements and procedures for their recognition. It analysed existing practices and recommended a procedure for the recognition process.

The study’s recommendations will be considered by the European Commission, which is due to adopt more detailed rules by 3 June 2012.

More information: Gert-Jan Nabuurs, EFI Assistant Director or
Hubert Inhaizer, Forest/Environmental Policy Expert, EFICENT-OEF
(firstname.lastname@efi.int)

Report is available here.


Disclaimer
This project was carried out with financial support from the European Union. The contents of this article can in no way be taken to reflect the official opinion of the European Union.



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