Regulation (EU) 2023/1115 · VerifiedGenerate the DDS — €199

Your European Buyer Wants the EUDR Dossier for the Next Container of Carved Sheesham Furniture from Jodhpur. Your Workshop Sources Timber from Three States. Here's How to Generate the Document in 15 Minutes.

India is a growing furniture and handicraft exporter to the EU. Around 35% of India's wooden handicraft exports go to EU markets. The Jodhpur cluster (carved wooden furniture, sheesham, teak), Saharanpur (carved wood) and Jaipur (painted furniture, bone inlay) are the major export centres. India's furniture export sector aims to cross $10 billion by 2030, with Europe expected to account for 35-40% of total exports. Key species: sheesham (Dalbergia sissoo — Indian rosewood), teak (Tectona grandis), mango wood (Mangifera indica). India is classified as low-risk under Implementing Regulation (EU) 2025/1093. Micro/small primary operators may qualify for simplified. But most furniture exporters aggregate timber from multiple sources and operate as operators/traders. Full DDS is the standard path. EPCH (Export Promotion Council for Handicrafts) coordinates the sector. EUDRCheck generates the dossier in 15 minutes. €199 per consignment.

Generate the DDS — €199Free diagnostic: do you need an EUDR DDS?

€199 · One-time · 28-page professional dossier + TRACES NT files · Your data never leaves your browser

Built on Regulation (EU) 2023/1115 · Amended by Regulation (EU) 2025/2650 (23.12.2025) · Annex II fully structured · GeoJSON RFC 7946 validated in-browser · 100% browser-side — your data never leaves your computer

The numbers that matter for Indian furniture exports to the EU

India's wooden furniture and handicraft sector exports approximately $1.8 billion annually, with an estimated 35% reaching EU markets. The Jodhpur cluster in Rajasthan is India's furniture export capital — specialising in carved sheesham (Indian rosewood), teak and mango wood pieces for European home décor retailers.

India is low-risk under Reg (EU) 2025/1093. But furniture workshops are manufacturers, not primary operators harvesting timber. The simplified regime doesn't apply. Full DDS required.

Note for sheesham (Dalbergia sissoo): this species falls under CITES Appendix II. CITES compliance documentation supports but does not replace the EUDR DDS.

$1.8B
India's annual furniture exports — 35% to the EU
Low-risk
India's EUDR classification — simplified only for micro/small primary operators
€199
per consignment for the complete EUDR dossier

What the EUDR requires for each consignment of Indian furniture

Under Article 4 and Annex II, the data fields are defined by law.

1
Commodity description
HS 9403 + chapter 44. Species: Dalbergia sissoo (sheesham), Tectona grandis (teak), Mangifera indica (mango wood). CITES Appendix II for Dalbergia. Annex II point 2.
2
Country of production
India — state + district (Rajasthan–Jodhpur, Uttar Pradesh–Saharanpur, Karnataka–Mysore). Annex II point 3.
3
Geolocation of harvesting plot
Where the timber was harvested — forest or plantation, not the workshop. 6 decimals, WGS-84. Annex II point 4 + Article 2(28).
4
Traceability
Annex II point 5.
5
Compliance with Indian law
Indian Forest Act, state forestry regulations, CITES compliance for rosewood species, third-party rights, labour, human rights, FPIC, tax. Article 2(40) + Article 3(b).
6
Risk assessment
14 criteria. Article 10.2. Article 10.

EUDRCheck generates the complete dossier in 15 minutes.

The three most common EUDR mistakes Indian furniture exporters make

Pattern 1 — Low-risk misread for furniture workshops

Workshops are manufacturers, not primary operators

Simplified regime only for micro/small primary operators who harvest timber. A furniture workshop in Jodhpur is a manufacturer. Full DDS required.

Pattern 2 — Workshop address without timber harvesting geolocation

The forest, not the workshop

The EUDR requires geolocation of where the timber was harvested. If sheesham was harvested in Rajasthan and teak in Karnataka, both harvesting locations must be documented.

Pattern 3 — EPCH membership or FSC certificate as risk assessment

EPCH is trade promotion, not compliance

EPCH is a trade promotion body, not a compliance certification. FSC = complementary evidence under Art. 10.2(m).

What you receive: an 8-document EUDR dossier generated in your browser

EUDRCheck does not generate a single PDF. It generates a complete dossier of eight structured documents, delivered as a ZIP file you download and keep. Every document cites the specific EUDR article it complies with.

1

Scope Dictum

Identifies your role (operator / trader / downstream), applicable regime, legal timeline. Article 2 + Article 8.

2

Pre-filled DDS

Signable PDF + TRACES NT-importable JSON. Every Annex II field completed with your data. Article 4 + Annex II.

3

Validated GeoJSON

File compliant with RFC 7946 + WGS-84. Points for plots under 4 ha, polygons for plots over 4 ha. Visual PDF included. Article 2(28) + Annex II.4.

4

Formal Risk Assessment

Systematic analysis of the 14 criteria of Article 10.2 (letters a to n). Formal conclusion on risk level. Article 10.

5

Risk Mitigation Plan

Mitigation measures adopted or recommended when risk is standard or high. Article 11.

6

Supply Chain Mapping

Upstream and downstream map with full traceability data. Annex II.5.

7

Country-of-production Legal Checklist

Eight dimensions of Article 2(40). Article 2(40) + 3(b).

8

Post-DDS Calendar + Compliance Reminders

ICS calendar file with annual review, 5-year retention requirement, 72-hour amend/withdraw window. Article 12 + Article 32.

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

What you pay per consignment

🧾 CONSULTANCY IN NEW DELHI, JODHPUR OR EU
€2,000–€5,000
1-3 weeks.
✓ EUDRCHECK
€199
28-page professional dossier. 15 min.

The EUDR dossier and the timber sourcing data: two layers

● LAYER 1 — THE DOSSIER (EUDRCHECK DOES THIS)

The DDS

Eight documents. 15 min. €199.

∅ LAYER 2 — TIMBER ORIGIN (SEPARATE)

Where was the sheesham/teak/mango wood harvested?

Indian timber supply chains may have state forest department transit permits with harvesting location data. If available, EUDRCheck imports it.

We do not sell field data collection services.

Enforcement reality

Under Article 25, penalties apply to the EU operator.

🇪🇺
Fines — minimum 4% of EU annual turnover
≥ 4%

Article 25.2(a) requires Member States to impose fines with a maximum of at least 4% of the operator's or trader's total annual EU-wide turnover in the financial year preceding the fine decision. The maximum may be raised to exceed the economic benefit gained.

🇪🇺
Confiscation of the commodity and its revenues
100%

Article 25.2(b) and (c) — the relevant product and the revenues from its transaction may be seized by national customs and competent authorities.

🇪🇺
Exclusion from EU public procurement
12 months max

Article 25.2(d) — temporary exclusion from tendering procedures, grants and concessions for a maximum of 12 months.

🇪🇺
Temporary market ban in serious or repeated cases
Indefinite

Article 25.2(e) — prohibition on placing relevant products on the EU market until full compliance is demonstrated. Applies to the European buyer, who will pass the consequence upstream to the non-compliant supplier.

Under Article 25.5, the Commission publishes every infringement decision.

Alternatives Indian furniture exporters consider

AlternativeCostWhat you get
Consultancy (Delhi, Jodhpur, EU)€2,000–€5,0001-3 weeks
Enterprise platform€8,000–€20,000/yearYearly
EPCH / FSCFeesSupporting
EUDRCheck€19928-page dossier, 15 min

Furniture exporters shipping 30 containers/year? Volume pricing.

Email hello@solidwaretools.com.

Request Volume Pricing
One-business-day response

What EUDRCheck guarantees and what it doesn't

EUDRCheck generates a document structured under Article 4 and Annex II of Regulation (EU) 2023/1115 (as amended by Regulation (EU) 2025/2650) based on the information you enter. The truthfulness, accuracy and completeness of that information is your responsibility as operator or supplier of the consignment.

We guarantee that the document structure follows Article 4 and Annex II of Regulation (EU) 2023/1115 and that the legal references cited are correct as of the latest verification date. We do not guarantee that a specific document will be accepted by a market surveillance authority in a specific case, nor by a commercial buyer in a procurement process.

EUDRCheck is not legal advice. For specific situations, consult a lawyer or specialised regulatory consultancy.

Frequently asked questions — Indian furniture exporters

India is low-risk. Does my workshop qualify for simplified?
No. Simplified is for micro/small primary operators who harvest timber. A furniture workshop is a manufacturer.
My sheesham is CITES-listed. Does CITES cover the EUDR?
CITES compliance supports dimension 3 (third-party rights/species) but does not replace the Annex II DDS.
Who files?
EU operator. Your workshop provides data.
Geolocation of the Jodhpur workshop?
No. Geolocation of where the sheesham/teak was harvested — the forest or plantation.
Privacy?
Browser-side.
Legal advice?
No.
⚠️ Important notice: EUDRCheck is a self-assessment documentation tool, not legal advice and not a third-party audit. The document under Article 4 and Annex II of Regulation (EU) 2023/1115 is generated from your input data. You are responsible for the accuracy of the data you provide. EUDRCheck does not replace a qualified professional assessment and does not provide the EU Responsible Person service.

Skip the consultancy queue. Generate the dossier in your browser in 15 minutes.

Eight documents. Annex II fully structured. Regulation (EU) 2023/1115 in its current wording including Regulation (EU) 2025/2650 amendment of 23 December 2025. Your data stays on your device. The ZIP you download is yours forever.

€199 one-time
28-page professional dossier · 15 minutes · No subscription · Browser-side
Generate the DDS — €199
✓ Last regulatory check: 27 April 2026 · No substantive changes detected · View history