Requirements check

Jewellery and accessories

For example: earrings, necklace, leather bracelet.

1 regulations apply

REACH Annex XVII restrictions bite directly: nickel release from skin-contact items (entry 27), cadmium in jewellery (entry 23) and lead in jewellery (entry 63) — these are the key EU tests; UK REACH mirrors them, verify current GB limits. US: children's jewellery is a CPSC enforcement priority — CPSIA lead limits apply and ASTM F2923 is the reference standard (verify whether your state, e.g. California, mandates it); adult jewellery is a frequent Prop 65 target for lead and cadmium. Precious metal items sold in the UK may require hallmarking under the Hallmarking Act 1973 — additional sector rules, verify. Children's jewellery is generally not a toy unless it has play value (dress-up jewellery is a toy — use the toy category). Smart rings/pendants are wearables — consider the wearable category instead.

United Kingdom (GB)1 instruments

The general safety net for consumer products in Great Britain: no producer may place a product on the market unless it is safe, and producers and distributors must monitor products and notify authorities about unsafe ones. In Northern Ireland these Regulations were superseded on 13 December 2024 by the EU General Product Safety Regulation (EU) 2023/988.

Key obligations

  • 01No producer shall place a product on the market unless the product is a safe product (regulation 5) - one which under normal or reasonably foreseeable conditions of use presents no risk, or only the minimum risk compatible with the product's use.source
  • 02Producers must provide consumers with the relevant information to enable them to assess the risks and take precautions, and enable traceability by indicating the producer's name and address on the product or its packaging.source
  • 03Producers must monitor marketed products: sample-test them, investigate and where necessary keep a register of complaints, and keep distributors informed of the results.source
  • 04Distributors must act with due care to help ensure only safe products are supplied and must not supply products that, as a professional, they know or ought to know to be dangerous (regulation 8).source

Documents you will need

Deduplicated across everything above

  • Traceability and monitoring recordsNo declaration of conformity or technical file is required. Producers should be able to evidence traceability (name and address on product or packaging), sample testing, complaint investigation and, where necessary, a complaints register.source

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