Reg (EU) 2024/2847Generate dossier — €149
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You manufacture connected household appliances in Turkey and export them to the European Union under the customs union framework. The Cyber Resilience Act is a product regulation — Regulation (EU) 2024/2847 — that applies to any product with digital elements placed on the EU market, regardless of the manufacturer's location. Your existing CE marking does not cover CRA cybersecurity requirements. CRACheck generates the missing documentation.

Turkish appliance manufacturers are deeply integrated into the EU market. The customs union covers industrial products under existing harmonisation directives. But the Cyber Resilience Act is a new regulation with new requirements. It adds cybersecurity documentation obligations — Annex VII technical file, Annex I essential requirements, Art. 14 vulnerability reporting — on top of your existing CE framework. Your EU importers and retailers will need to verify this documentation under Article 19 and Article 20 before placing your products on the market after 11 December 2027. CRACheck generates the 8-document dossier in 15–25 minutes. €149 per appliance model. All data stays in your browser.

Generate CRA dossier — €149Free: check your product classification

€149 one-time · 8-document ZIP · 15–25 minutes · Browser-side

Regulation (EU) 2024/2847 · Art. 31 + Annex VII · 8 documents · 100% browser-side — your data never leaves your device

Key numbers

11 Dec 2027
Deadline for CRA compliance — connected appliances
Art. 19
EU importers must verify manufacturer compliance
€149
Per appliance model, one-time payment

How CRACheck works

You enter your product data. CRACheck structures the documentation per Article 31 + Annex VII.

1
Classify your appliance
CRACheck determines whether your connected product is Default or Important Class I (Annex III item 17 for smart home products with security functionalities)
2
Enter appliance specifications
Connectivity type, firmware version, app connectivity, data processing, user authentication mechanisms
3
Map your cybersecurity implementation
How your appliance meets Annex I requirements: encryption, secure defaults, OTA updates, data minimisation, factory reset
4
Document vulnerability handling
Your incident response process, firmware patch distribution, coordinated disclosure policy
5
Set your support period
At least 5 years of security updates from market placement, or the expected product lifetime if shorter (Art. 13(8))
6
Generate the 8-document dossier
Structured for your appliance category, aligned with Art. 31 + Annex VII
7
Include in your EU export package
The CRA dossier complements your existing CE technical file for LVD, EMC, RED, RoHS

Common mistakes

CUSTOMS UNION CONFUSION

"The EU-Turkey customs union means we automatically comply with the CRA"

The customs union covers the free movement of industrial goods and alignment with certain EU harmonisation directives. Regulation (EU) 2024/2847 is a new regulation that Turkey has not yet transposed into domestic law. Even under the customs union, Turkish manufacturers placing products on the EU market must comply with all applicable EU product regulations. The CRA applies based on market placement, not manufacturer location.

EXISTING CE RELIANCE

"Our CE marking under LVD and RED already covers the cybersecurity aspect"

CE marking under the Low Voltage Directive, EMC Directive, or Radio Equipment Directive addresses electrical safety, electromagnetic compatibility, and specific radio requirements. None of these covers the full scope of the CRA's cybersecurity essential requirements (Annex I), vulnerability handling obligations (Art. 14), or technical documentation structure (Annex VII). The CRA adds a separate, parallel layer.

RETAILER ASSUMPTION

"Our EU retailer or distributor will handle the CRA paperwork"

Under Article 20, distributors must verify that the manufacturer has complied with CRA obligations — not create documentation on the manufacturer's behalf. Under Article 19, importers must ensure that the conformity assessment has been carried out and that technical documentation exists before placing the product on the market. Both are verification roles. The documentation obligation is yours as manufacturer under Article 13.

What the ZIP contains

8 PDF documents generated from your data. Each cites the specific article of Regulation (EU) 2024/2847 it complies with.

1

Product Classifier

Classifies your connected appliance. Smart home products with security functionalities (Annex III Class I, item 17) include devices with smart locks, security cameras, or alarm functions. Determines your conformity assessment path.

2

Technical Documentation

Art. 31 + Annex VII dossier: appliance design, connectivity architecture, firmware management, security features, production quality controls.

3

Risk Assessment

Annex I Part I cybersecurity risk analysis for connected household appliances: remote access risks, data exposure, firmware tampering, physical interface attacks.

4

User Information

Annex II consumer documentation in the language required by the destination market: secure setup guide, password management, update instructions, factory reset procedure, support contact.

5

Declaration of Conformity

Art. 28 + Annex V. A separate CRA Declaration alongside your existing LVD, EMC, and RED Declarations.

6

CVD Policy

How consumers and security researchers report vulnerabilities in your appliances. Response timelines and patch distribution process.

7

Notification Template

Art. 14 ENISA notification: 24h early warning, 72h notification, 14-day final report for actively exploited vulnerabilities.

8

Obligations Calendar

CRA enforcement dates, your model-specific support period, firmware update milestones.

Mira antes de comprar — Descargar dossier de muestra (PDF, empresa ficticia) — Estructura real, artículos reales, formato real. Datos ficticios.

Generated from your data, in your browser. No data leaves your device.

What you pay

🧾 TURKISH OR EU COMPLIANCE CONSULTANCY
€8,000–€20,000
6–12 weeks. Requires sharing product design with external firm. CRA-specific expertise scarce in the Turkish consultancy market. Separate engagement for each product line.
✓ Last regulatory check: 1 May 2026 · No substantive changes detected · View history