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

Your German Importer in Hamburg Just Asked for the EUDR Dossier on Your Next Container of Robusta. Here's the Document They Actually Need — Generated in 15 Minutes.

Uganda is the second largest coffee producer in Africa after Ethiopia and the world's eighth largest exporter. Around 60% of Ugandan coffee exports go to the European Union, making the EU Uganda's single most important coffee market. From 30 December 2026, no container crosses the EU border without an EUDR Due Diligence Statement filed in the Commission's TRACES NT system. Your buyers in Hamburg, Trieste, Antwerp and Rotterdam already know this — which is why they are asking you for geolocation data of every plot, legal documentation of land use, and a formal risk assessment. EUDRCheck generates the full dossier in your browser in 15 minutes. €199 one-time.

Generate the DDS — €199 Free 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 Ugandan coffee exports to the EU

Uganda is Africa's second largest coffee producer and the world's eighth largest exporter. Coffee is the country's top agricultural export by value, generating over one billion US dollars in a record 2024 season. The European Union absorbs roughly 60% of that volume, with Germany, Italy and Belgium as the anchor destinations. Robusta from Bugisu, Rwenzori and West Nile regions, together with the growing Arabica volumes from Mount Elgon, arrive weekly in the ports of Hamburg, Trieste and Antwerp.

The EU is not just a market for Uganda — it is the market. A Ugandan exporter who cannot produce a valid EUDR Due Diligence Statement from 30 December 2026 does not just lose margin. They lose the entire European route.

The Commission's Implementing Regulation (EU) 2025/1093 of 22 May 2025 classifies Uganda as a standard risk country for EUDR purposes. That means Ugandan exporters are not eligible for the simplified declaration regime created by Regulation (EU) 2025/2650 — which only applies to micro and small primary operators in low-risk countries. The full Due Diligence Statement under Article 4 and Annex II is required.

60%
share of Ugandan coffee exports going to the EU market
1.8M+
smallholder coffee farming households in Uganda — the traceability source the EUDR geolocation requirement targets
€199
one-time price of a complete EUDR dossier with EUDRCheck — vs €2,000–€5,000 charged by compliance consultancies

What your German, Italian or Belgian buyer is actually asking you for

When your European importer says "I need your EUDR compliance documents", they are not asking for a certificate or a quality statement. Under Article 4 and Annex II of Regulation (EU) 2023/1115, the specific data fields they need from you, as the supplier of the consignment, are defined by law. Here is what the regulation requires for every single shipment.

1
Commodity description under Combined Nomenclature
HS code 0901 for green coffee, with scientific name Coffea arabica or Coffea canephora (Robusta). Annex II point 2.
2
Country of production
Uganda — with specific administrative subdivision (Central Region, Eastern Region, Western Region, Northern Region, and the relevant district such as Kapchorwa, Bushenyi or Kasese). Annex II point 3.
3
Geolocation of every plot of land
Minimum 6 decimal places, WGS-84, GeoJSON format compliant with RFC 7946. For plots under 4 hectares, a single point per plot. For plots of 4 hectares or more, a full perimeter polygon. Annex II point 4 + Article 2(28).
4
Supplier and buyer traceability data
Name, registered address, business identifier of every operator upstream (primary society, union, washing station) and every recipient downstream in the consignment. Annex II point 5.
5
Declaration of compliance with Ugandan law
Across eight areas: land use rights under Uganda's Land Act, environmental protection under NEMA legislation, forest-related rules, third-party rights, labour rights, human rights, free prior informed consent, tax and anti-corruption. Article 2(40) + Article 3(b).
6
Risk assessment against 14 criteria
Systematic analysis under Article 10.2 (letters a to n), concluding in a formal statement that the risk of non-compliance is negligible. Article 10.

Your buyer is expecting all six of those elements inside one structured document submitted to TRACES NT before the container reaches the EU border. That document is the Due Diligence Statement. EUDRCheck generates it for you, structured exactly under Annex II, with your data, in your browser, in 15 minutes.

The three most common reasons Ugandan DDS submissions are rejected by EU buyers — and how to avoid them

Pattern 1 — Cooperative aggregation kills plot-level traceability

Primary society coordinates submitted instead of smallholder plot geolocation

The classic Ugandan coffee supply chain aggregates at primary society, union or washing station level. Under Article 2(28) of the EUDR, geolocation must be reported at the level of each plot of land where the coffee was produced, with six decimal precision. Primary society coordinates or union headquarters addresses are automatically rejected by TRACES NT validation. EUDRCheck's GeoJSON validator catches aggregated coordinates before your buyer does.

Pattern 2 — Mailo, freehold, leasehold, customary — all four Ugandan land tenures need documentation

Missing legal documentation on land use rights

Uganda has four land tenure systems (mailo, freehold, leasehold and customary) under the 1995 Constitution and the Land Act. Article 2(40) of the EUDR requires explicit documentation that the coffee was produced on land over which the producer holds legal use rights consistent with Ugandan land legislation. Customary tenure without written support, common among smallholder coffee farmers, is a frequent rejection trigger. EUDRCheck's legal checklist walks you through each of the eight legal dimensions required by Article 3(b), including the specific Ugandan land tenure documentation that supports a valid declaration.

Pattern 3 — Uganda Coffee Development Authority (UCDA) certification ≠ EUDR DDS

UCDA, Fairtrade or Rainforest Alliance certificate submitted as risk assessment

None of the Ugandan or international certifications replace the risk assessment required by Article 10.2 of the EUDR. The Regulation requires a systematic analysis of 14 criteria (letters a to n of Article 10.2), and Article 10.2(m) treats certifications as one complementary input, not a substitute. A DDS that cites only the UCDA grade certificate or the Fairtrade certificate and omits the 14-criteria analysis is rejected. EUDRCheck produces the full Article 10.2 risk analysis, with your certifications incorporated as supporting evidence where applicable.

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): land use, environmental, forest, third-party rights, labour, human rights, FPIC, tax and anti-corruption. 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 to get a valid EUDR dossier in front of your European buyer

🧾 COMPLIANCE CONSULTANCY IN KAMPALA, NAIROBI OR EU
€2,000–€5,000
Typical fee for an EUDR dossier from a compliance consultancy. Lead time: 1 to 3 weeks. Same Annex II structure. No guarantee of TRACES acceptance.
✓ EUDRCHECK
€199
One-time. 28-page professional dossier + TRACES NT files. Annex II fully structured. 15 minutes. Browser-side. No consultancy, no retainer, no sales call.

The EUDR dossier and the smallholder mapping: two separate layers

● LAYER 1 — THE DOSSIER (EUDRCHECK DOES THIS)

The structured Due Diligence Statement

The eight-document dossier complying with Article 4, Annex II, Article 10 and Article 12 of Regulation (EU) 2023/1115. This is the document that your European buyer uploads to TRACES NT. EUDRCheck generates it in 15 minutes, browser-side, for €199 per dossier. One license per shipment. The ZIP you download is yours permanently.

∅ LAYER 2 — SMALLHOLDER PLOT MAPPING (SEPARATE)

Gathering plot-level GPS data from farmers

Collecting GPS coordinates from each coffee-growing plot is a separate operational layer. If your primary society or union does not yet have plot-level data, the EUDRCheck browser-side map generator (included in the form) lets you capture coordinates point by point at WGS-84 with 6 decimals, compliant with RFC 7946. Uganda has also made progress through the UCDA Coffee Traceability Initiative and FAO-supported mapping projects — if your data is already in a spreadsheet, EUDRCheck imports it directly.

We do not sell field data collection services. We generate the dossier from the data you already have or from coordinates you capture in our built-in map tool. If you change geolocation provider in the future, your EUDRCheck dossier remains valid — the PDF and GeoJSON you downloaded are yours.

Enforcement reality: what happens when the EUDR DDS is missing or invalid

Under Article 25 of Regulation (EU) 2023/1115, Member States set national penalty regimes but must meet minimum EU-wide standards. The following consequences apply to any operator or trader placing non-compliant products on the EU market — including importers buying from Ugandan exporters.

🇪🇺
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 European Commission publishes name, date and summary of every final infringement decision. Reputational exposure is permanent and public.

Alternatives Ugandan exporters usually consider — and where each one actually stands

AlternativeCostWhat you actually get
EU compliance consultancy (Kampala, Nairobi, Amsterdam)€2,000 – €5,000 per dossierSame Annex II structure, 1 to 3 weeks lead time
Enterprise EUDR platform (LiveEO, Koltiva, TraceX)€8,000 – €20,000 per yearEnd-to-end supply chain platform, yearly contract, not self-service
UCDA / Fairtrade / Rainforest Alliance certificationCertification feesSupports but does not replace the DDS under Article 10.2(m)
EUDRCheck€199, one-time28-page professional dossier + TRACES NT files, Annex II fully structured, 15 minutes, browser-side, yours forever

Handling 30 containers of Robusta per season? One DDS at a time is not a plan.

Ugandan exporters and unions shipping multiple containers per season often need 20, 40 or 100 DDS files across a single harvest campaign. EUDRCheck offers volume-pack pricing on packs of 10 dossiers or more. Email hello@solidwaretools.com with how many DDS files you need and we respond within one business day with a pack quote.

Request Volume Pricing
One-business-day response · No sales call · Direct quote by email

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 — Ugandan coffee exporters

Does EUDRCheck guarantee my European buyer will accept the DDS?
No. EUDRCheck guarantees that the dossier follows the structure of Article 4, Annex II and Article 10 of Regulation (EU) 2023/1115 with the data you provide. Acceptance by your specific buyer or by the competent authority in Germany, Italy or Belgium depends on the accuracy of the data you supplied and on the specific buyer's internal review process. EUDRCheck is a documentation structuring tool, not a certification authority.
My primary society is Fairtrade and Rainforest Alliance certified. Do I still need a separate DDS?
Yes. Article 10.2(m) of the Regulation treats third-party verified certification as complementary supporting evidence, not as a substitute for the Due Diligence Statement. The DDS must still be filed in TRACES NT by the EU operator placing your coffee on the European market, and that operator will request the underlying data from you. EUDRCheck incorporates your certification as part of the risk assessment but produces the full Article 10.2 analysis separately.
Who files the DDS in TRACES NT — the Ugandan exporter or the EU importer?
The DDS in the EU's TRACES NT system is filed by the EU-based operator who places the coffee on the European market for the first time. That operator — typically the German, Italian or Belgian importer — needs the data from you, the Ugandan exporter, to complete the DDS. EUDRCheck produces the structured data package your European buyer needs, in the exact format they will paste into TRACES NT.
I have GPS points collected through UCDA's mapping initiative. Can EUDRCheck convert them into a valid GeoJSON?
Yes. The EUDRCheck form accepts uploaded GeoJSON files, manual point-by-point entry, polygon entry for larger plots, and also spreadsheet imports (CSV with latitude, longitude columns). There is also a built-in browser map tool where you can drop points or draw polygons directly on a satellite view and export a valid RFC 7946 GeoJSON at WGS-84 with 6 decimal precision.
What happens to my smallholder data? Does it leave my computer?
No. EUDRCheck processes everything in your browser. Smallholder coordinates, supplier details, primary society data, country-of-production documentation — all of it is handled client-side. The resulting dossier is generated on your device. No servers hold your data.
Is EUDRCheck legal advice?
No. EUDRCheck is a documentation structuring tool, not a legal service and not a third-party audit. The truthfulness, accuracy and completeness of the information you enter is your responsibility as the operator or supplier. We guarantee that the dossier structure follows Article 4 and Annex II of Regulation (EU) 2023/1115 as in force on the date of generation. For specific situations, consult a lawyer or specialised regulatory consultancy.
⚠️ 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