Customs brokers and freight forwarders are on the front line of EUDR enforcement. Regulation (EU) 2023/1115, Art. 26, requires a valid Due Diligence Statement reference number before release for free circulation. No DDS, no clearance. Containers held at port cost hundreds per day in storage. The EUDRCheck Professional Pack includes 70 independent licenses. Each license generates a complete DDS package: 8 structured PDF documents per lot. €1,999 one-time. Browser-side. No integration with customs systems required. Prepare the documentation before the shipment arrives.
€1,999 · One-time · 70 dossiers · 8 PDFs each · Your data never leaves your browser
70 independent licenses. Each one generates the same complete DDS documentation package. No restrictions on importer, commodity type, or port of entry.
The pack is designed for any customs professional who needs to prepare EUDR documentation for multiple importers — before the container reaches the port.
Three inputs. Four answers. No signup required.
Every license generates a complete Due Diligence Statement documentation package. Each document cites the specific article of Regulation (EU) 2023/1115 it complies with. The output is identical whether it comes from an individual license or the professional pack.
Formal declaration per Annex II and Art. 4(2). Operator identification, commodity description, geolocation summary, and negligible-risk confirmation. Reference number for customs clearance under Art. 26(4).
Art. 9(1)(a–c). Trade name, HS code, quantity in net mass, country of production. Full commodity classification per Annex I.
Art. 9(1)(d) and Art. 2(28). Latitude/longitude with six decimal digits. Polygons for plots exceeding four hectares. Production date or time range.
Art. 10(1–2). Systematic assessment against 14 criteria: country risk classification (Art. 29), deforestation prevalence, supply chain complexity, corruption indicators.
Art. 11. Procedures to achieve negligible risk where the initial assessment identifies non-negligible risk. Additional data, independent audits, supplier support measures.
Art. 2(40) and Art. 9(1)(h). Analysis across 8 categories: land use rights, environmental protection, forest rules, labour rights, human rights, FPIC, tax and customs.
Art. 9(1)(e–f) and Art. 4(7). Supplier identification, buyer identification, DDS reference numbers for downstream communication to operators and traders.
Art. 9(1)(g) and Art. 2(13). Evidence that commodities were produced on land not subject to deforestation after 31 December 2020.
See before you buy — Download sample dossier (PDF, fictional company) — Real structure, real articles, real format. Fictional data.
Art. 26(4) requires the DDS reference number before release for free circulation. If the importer has not submitted the DDS, the container sits at port. Storage costs accumulate. The brokerage that prepares DDS documentation proactively — before arrival — avoids delays and offers a higher-value service.
This is not a single-page customs declaration. Art. 9 requires geolocation of every plot of land (coordinates with six decimal digits, polygons for plots above four hectares). Art. 10 requires systematic risk assessment against 14 criteria. Art. 2(40) requires analysis of 8 categories of relevant legislation. EUDRCheck structures the entire dossier article-by-article.
Every container of cocoa, coffee, palm oil, rubber, soya, or wood entering the EU after December 2025 needs a valid DDS. Importers will look for brokerages that can handle this. The customs broker who offers DDS preparation at €300–500 per lot — with a tool cost of €28.56 — has a regulation-driven service line with guaranteed demand.
8 structured PDF documents per lot. Due Diligence Statement (Annex II), risk assessment (Art. 10), geolocation documentation (Art. 9), country-of-production legal analysis (Art. 2.40), supply chain traceability, deforestation-free verification. Generated from lot data in 20 minutes. DDS reference number ready for Art. 26(4) customs declaration.
Customs declaration filing, TRACES NT submissions, physical inspection coordination, AEO certification, duty and tariff calculations, warehousing logistics. These are operational responsibilities that belong to the customs brokerage. EUDRCheck prepares the DDS documentation — it does not file the customs declaration.
EUDRCheck structures and documents. The customs broker files and clears. The two layers complement each other — the documentation is ready before the shipment arrives.
These are the consequences under Article 25 of Regulation (EU) 2023/1115. For any customs brokerage, this is the demand driver — and the argument for DDS preparation as a service.
Article 26(4) and Art. 26(7). Customs authorities shall suspend release for free circulation when the DDS status indicates a high risk of non-compliance. No documentation, no clearance.
Article 25(2)(a) of Regulation (EU) 2023/1115. The fine must effectively deprive the operator of the economic benefits derived from the infringement.
Article 25(2)(b–e). Confiscation of commodities and revenues, temporary exclusion from public procurement (up to 12 months), and prohibition from placing relevant commodities on the market.
Every lot of relevant commodities entering the EU after 30 December 2025 needs a valid DDS. The customs brokerage that prepares it has a structural advantage at every port of entry.
| Option | Cost for 70 lots | Total time | Output quality |
|---|---|---|---|
| Wait for importer to provide DDS | €0 direct + storage costs | Unpredictable delays | Depends entirely on importer |
| Manual internal drafting | €70,000+ (70 × 10h × €100/h) | 700+ hours | Inconsistent across staff |
| Enterprise SaaS platform | €15,000–€30,000/year | 2–4 weeks setup | High, requires integration |
| EUDRCheck Professional Pack | €1,999 (one-time) | ~23 hours total | Structured, Art. 8–12, Art. 26 ready |
EUDRCheck generates a structured documentation package according to Articles 8–12 and Annex II of Regulation (EU) 2023/1115 from the information that the user enters. The truthfulness, accuracy and completeness of that information is the responsibility of the operator — or of the professional entering data on their behalf.
We guarantee that the document structure follows Articles 8–12 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 customs authority or by a market surveillance authority in a specific case.
EUDRCheck is not legal advice. For specific situations, consult a lawyer or specialised regulatory consultancy.
70 licenses. 8 PDF documents per lot. Art. 26 customs-ready. Art. 8–12 due diligence framework. Browser-side. No subscription.