---
title: "Covered electrical and electronic products under China RoHS"
canonical_url: "https://www.sorena.io/artifacts/apac/china-rohs-regulation/covered-electrical-electronic-products"
source_url: "https://www.sorena.io/artifacts/apac/china-rohs-regulation/covered-electrical-electronic-products"
author: "Sorena AI"
description: "Apply the China RoHS function, rated-voltage, China-activity, supporting-product, and electricity-system exclusion tests before checking the 2026 catalogue."
published_at: "2026-07-05"
updated_at: "2026-07-24"
keywords:
  - "China RoHS"
  - "Hazardous substances"
  - "Electrical and electronic products"
  - "Product compliance"
---
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# Covered electrical and electronic products under China RoHS

Apply the China RoHS function, rated-voltage, China-activity, supporting-product, and electricity-system exclusion tests before checking the 2026 catalogue.

*Product* *China*

## China RoHS Covered electrical and electronic products under

A covered product relies on current or electromagnetic fields to work, or is intended to generate, transmit, or measure them, and stays within 1,500 V DC or 1,000 V AC rated working voltage. Equipment involved in generating, transmitting, or distributing electrical energy is excluded.

A product is in the general China RoHS scope when it meets the electrical and electronic product definition and is produced, sold, or imported in China. Catalogue inclusion is a separate check: it adds limits and conformity assessment but does not define the full scope of the Measures.

## The coverage test

Start with function. Article 3 covers equipment and supporting products that rely on electric current or electromagnetic fields to work, or that are intended to generate, transmit, or measure current or electromagnetic fields. A product name, customs code, EU RoHS category, supplier declaration, or presence in another China product list does not replace this test.

Then check rated working voltage and China activity. The definition is limited to no more than 1,500 V DC or 1,000 V AC, and Article 2 applies the Measures to covered products produced, sold, or imported in China.

- Function: identify what the marketed product does and whether current or electromagnetic fields are needed for that function, or whether generating, transmitting, or measuring them is the intended purpose.
- Voltage: record each applicable rated DC and AC working voltage and the controlled specification, rating plate, or technical document that supplies it.
- Configuration: identify the equipment, supporting products, model variants, supplied accessories, and power arrangements covered by the decision. Do not assume every accessory follows the main product without applying the definition to the marketed configuration.
- Territory and activity: record whether the exact model is produced, sold, or imported in China and which organization acts as producer, importer, or seller.
- Express exclusion: document any reliance on the exclusion for equipment involved in electrical-energy generation, transmission, or distribution. The Measures do not state a general exclusion for industrial, professional, medical, automotive, military, spare-part, or component products.

Sources for this answer:

- [Measures for Restriction of Hazardous Substances in Electrical and Electronic Products](https://www.miit.gov.cn/jgsj/zfs/gzdt/art/2020/art_26714a290ac8407fb6df9eb816c2596f.html?ref=sorena.io) - Article 2 supplies the China production, sale, and import trigger. Article 3 supplies the function, equipment and supporting-product wording, voltage ceilings, and express electricity-generation, transmission, and distribution exclusion.

## Decisions that follow the coverage test

The definition decides general coverage; it does not by itself identify the responsible actor, prove compliance with substance or marking standards, set the environmental protection use period, or establish catalogue status. Make those decisions after recording scope.

Borderline systems need a configuration-specific rationale. If a marketed system combines electrical equipment, passive items, detachable accessories, or equipment used around electricity infrastructure, identify what is being produced, sold, or imported and explain which items meet the definition or the express exclusion. Do not extend the exclusion merely because equipment is installed near generation, transmission, or distribution equipment.

- A product can be covered by the Measures even if it is outside the compliance-management catalogue.
- A catalogue entry is not enough on its own; match the exact product name, definition, range, and implementation date.
- A supplier's China RoHS statement may support material review but does not decide the finished product's function, voltage, China activity, or actor.
- If the available facts do not establish how a supporting product or mixed system fits the definition, record the unresolved boundary and obtain product-specific advice rather than inventing an exclusion.

Sources for this answer:

- [Measures for Restriction of Hazardous Substances in Electrical and Electronic Products](https://www.miit.gov.cn/jgsj/zfs/gzdt/art/2020/art_26714a290ac8407fb6df9eb816c2596f.html?ref=sorena.io) - Articles 2-3 establish general coverage; Articles 9-18 separately establish actor, marking, catalogue, and conformity duties.
- [MIIT Announcement No. 11 of 2026: compliance-management catalogue and exception list](https://wap.miit.gov.cn/jgsj/jns/wjfb/art/2026/art_c8f5ccd5bd7e465c99ade198358d5ccc.html?ref=sorena.io) - Current source for the separate catalogue-layer decision, its product-specific timing, exceptions, and conformity requirement.

## Catalogue status is the second decision

After confirming general scope, compare the exact product with the 2026 compliance-management catalogue. It contains 33 product groups and replaced the 2018 first-batch catalogue on 28 May 2026. The ten continuing groups remained subject to the catalogue route; the 23 new groups and expanded ranges generally enter it on 1 August 2027.

Examples of new groups include microwave ovens, rice cookers, drinking-water appliances, projectors, portable power banks, smart watches and bands, headphones, smart speakers, robot vacuum cleaners, electronic smart locks, servers, network switching and routing equipment, electronic blood-pressure monitors, blood-glucose meters, and hearing aids. These are examples of catalogue groups, not a complete list and not a substitute for the catalogue's exact scope wording.

- Record the catalogue product name, range and definition, applicable scope note, implementation date, and exact model match.
- If included and the implementation date has arrived, apply the ten-substance limits, current exception list, and conformity-assessment system.
- If outside the catalogue, retain the general-layer marking, disclosure, packaging, and actor-duty analysis.
- Do not use the repealed 2018 catalogue or exception list for a decision made after 28 May 2026.

Sources for this answer:

- [MIIT Announcement No. 11 of 2026: compliance-management catalogue and exception list](https://wap.miit.gov.cn/jgsj/jns/wjfb/art/2026/art_c8f5ccd5bd7e465c99ade198358d5ccc.html?ref=sorena.io) - Makes the 2026 catalogue and exception list effective, repeals the 2018 versions, and establishes the additional limits, exceptions, timing, and conformity layer for listed products.
- [MIIT policy explanation of the 2026 catalogue and exception list](https://www.miit.gov.cn/zwgk/zcjd/art/2026/art_5e3da83febf5461ca1b063165c660dea.html?ref=sorena.io) - Explains the 33 product groups, representative new groups, continuity for ten existing groups, and 1 August 2027 implementation for new groups and expanded ranges.

## Scope record and reassessment triggers

Keep a scope record before production, import, or sale. Tie it to the exact model, revision, and marketed configuration, not a broad product family whose members have different functions, voltages, or accessories.

The Measures do not prescribe a named scope form. A useful record states the facts, cites Articles 2-3, identifies the responsible owner and approver, and separates the general coverage conclusion from the later catalogue conclusion.

- Reassess general scope when function, intended purpose, rated working voltage, power architecture, marketed configuration, China activity, or reliance on the electricity-system exclusion changes.
- Reassess actor duties when the producer, importer, seller, supply route, or private-label arrangement changes.
- Reassess the second layer when the model, catalogue, product-range wording, implementation date, or exception list changes.
- A material or supplier change may leave scope unchanged but still requires a new substance, marking, exception, and release review.

Sources for this answer:

- [Measures for Restriction of Hazardous Substances in Electrical and Electronic Products](https://www.miit.gov.cn/jgsj/zfs/gzdt/art/2020/art_26714a290ac8407fb6df9eb816c2596f.html?ref=sorena.io) - Articles 2-3 are the source for the scope record; the Measures do not prescribe a named internal scope form.
- [MIIT Announcement No. 11 of 2026: compliance-management catalogue and exception list](https://wap.miit.gov.cn/jgsj/jns/wjfb/art/2026/art_c8f5ccd5bd7e465c99ade198358d5ccc.html?ref=sorena.io) - Current source for catalogue and exception-list change triggers.

*Build the scope record*

*Placement: Before primary sources*

## Prepare the China RoHS release evidence file

Sorena AI helps record the product facts, general scope conclusion, catalogue decision, owner, approval, and reassessment triggers.

- [Map official sources to evidence](/solutions/research-copilot.md): Research Copilot connects the official citation, decision, owner, retained evidence, and change history.
- [Review the China route](/contact.md): Check the China RoHS scope decision and unresolved launch questions with Sorena.

## Primary sources

- [Measures for Restriction of Hazardous Substances in Electrical and Electronic Products](https://www.miit.gov.cn/jgsj/zfs/gzdt/art/2020/art_26714a290ac8407fb6df9eb816c2596f.html?ref=sorena.io) - Binding source for the China activity trigger, electrical and electronic product definition, voltage ceilings, supporting-product wording, and express electricity-system exclusion.
- [MIIT Announcement No. 11 of 2026: compliance-management catalogue and exception list](https://wap.miit.gov.cn/jgsj/jns/wjfb/art/2026/art_c8f5ccd5bd7e465c99ade198358d5ccc.html?ref=sorena.io) - Current source for the second-layer catalogue decision.
- [MIIT policy explanation of the 2026 catalogue and exception list](https://www.miit.gov.cn/zwgk/zcjd/art/2026/art_5e3da83febf5461ca1b063165c660dea.html?ref=sorena.io) - Official explanation of the 33 groups, examples, and implementation transition.

## Related Topic Guides

- [China RoHS compliance checklist](/artifacts/apac/china-rohs-regulation/checklist.md): Release checklist for China RoHS scope, actor duties, marking, disclosure, the 2026 catalogue, exceptions, conformity assessment, and transition dates.
- [China RoHS deadlines and compliance calendar](/artifacts/apac/china-rohs-regulation/deadlines-and-compliance-calendar.md): China RoHS legal dates, product-release triggers, catalogue timing, and evidence to review before production, import, or sale in China.
- [China RoHS FAQ](/artifacts/apac/china-rohs-regulation/faq.md): Practical China RoHS answers on product scope, actor duties, marking and disclosure, supplier evidence, the 2026 catalogue, the 2027 standard transition, EU RoHS, and e-waste.
- [China RoHS marking and disclosure evidence](/artifacts/apac/china-rohs-regulation/marking-and-disclosure-evidence.md): How to choose and document China RoHS product marks, substance information, environmental protection use period, and catalogue evidence.
- [China RoHS penalties and enforcement exposure](/artifacts/apac/china-rohs-regulation/penalties-and-fines.md): China RoHS Article 19 violations, responsible actors, enforcement boundaries, and why the Measures do not provide one universal fine amount.
- [China RoHS requirements](/artifacts/apac/china-rohs-regulation/requirements.md): China RoHS duties by actor, including product controls, packaging, marking, disclosure, the 2026 catalogue, exceptions, and conformity-assessment transitions.
- [China RoHS supplier declaration template](/artifacts/apac/china-rohs-regulation/china-rohs-supplier-declaration-template.md): A voluntary China RoHS supplier declaration template with fields for part coverage, substances, evidence, exceptions, and change control.
- [China RoHS supplier material declaration checklist](/artifacts/apac/china-rohs-regulation/supplier-material-declaration-checklist.md): A China RoHS checklist for supplier declarations, BOM mapping, substance evidence, catalogue status, and change control.
- [China RoHS vs China e-waste rules](/artifacts/apac/china-rohs-regulation/china-rohs-vs-china-e-waste.md): Compare China RoHS product duties with China's separate recovery, treatment, processor-licensing, and end-of-life evidence requirements.
- [China RoHS vs EU RoHS](/artifacts/apac/china-rohs-regulation/china-rohs-vs-eu-rohs.md): Compare China RoHS and EU RoHS scope, substance limits, exemptions, marking, conformity routes, actors, and evidence without treating one decision as proof of the other.
- [Does China RoHS cover my electrical or electronic product?](/artifacts/apac/china-rohs-regulation/faq/does-china-rohs-cover-my-electrical-electronic-product.md): Start with the China RoHS legal definition and product facts. Keep a covered-product note before collecting supplier material declarations or preparing marking/disclosure evidence.
- [How is China RoHS different from China e-waste rules?](/artifacts/apac/china-rohs-regulation/faq/how-is-china-rohs-different-from-china-e-waste-rules.md): China RoHS addresses hazardous substances, marking and disclosure before or during market placement; China e-waste rules address recovery and disposal at end of life.
- [Is China RoHS the same as EU RoHS?](/artifacts/apac/china-rohs-regulation/faq/is-china-rohs-the-same-as-eu-rohs.md): No. China RoHS and EU RoHS overlap in substance control but use different scope rules, exclusions, actors, marking and disclosure outputs, conformity routes, and transition dates.
- [What is China RoHS marking and disclosure evidence?](/artifacts/apac/china-rohs-regulation/faq/what-is-china-rohs-marking-and-disclosure-evidence.md): Keep the approved China RoHS mark or instructions, hazardous-substance disclosure, environmental protection use period rationale, technical support, and release approval for the exact model.
- [What supplier evidence should we keep for China RoHS?](/artifacts/apac/china-rohs-regulation/faq/what-supplier-evidence-should-we-keep-for-china-rohs.md): Keep supplier declarations and test evidence traceable to the exact part, material, site, revision, substance conclusion, and finished China model. Supplier data supports, but does not replace, the product-level China RoHS decision.


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