Sustainability and ESG consultancies are now responsible for operational EUDR compliance — not just reporting. Regulation (EU) 2023/1115 requires a Due Diligence Statement for every lot of cocoa, coffee, palm oil, rubber, soya, cattle, or wood placed on the EU market. Each DDS demands geolocation data (Art. 9), risk assessment against 14 criteria (Art. 10), and country-of-production legal analysis (Art. 2.40). The EUDRCheck Professional Pack includes 70 independent licenses. Each license generates a complete DDS package: 8 structured PDF documents. €1,999 one-time. Browser-side. Use across different clients, commodities, and origins.
€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 client, commodity type, or country of origin.
The pack is designed for any advisory firm that needs to produce EUDR documentation for multiple clients — across the food, cosmetics, leather, and wood industries.
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.
Art. 9(1)(a–c). Trade name, HS code, quantity, 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, deforestation prevalence, supply chain complexity, indigenous peoples, corruption risk.
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.
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.
Sustainability reporting frameworks operate at corporate level. The EUDR requires a Due Diligence Statement for every individual lot of relevant commodities placed on the EU market. A chocolatier with 15 cocoa origins needs 15 DDS per quarter — not one annual report. The consultancy that treats this as reporting will under-deliver.
Market surveillance authorities will check the DDS against the regulation's own structure. Generic ESG risk matrices do not cover country risk classification (Art. 29), geolocation requirements (Art. 2.28), or the 8 categories of relevant legislation (Art. 2.40). EUDRCheck structures every assessment against all 14 points of Art. 10(2).
EUDR creates a new, regulation-driven service line. Every food, cosmetics, leather, and wood manufacturer that sources relevant commodities will need structured DDS documentation. The consultancy that can produce it at scale — 20 minutes per dossier instead of 15 hours — has a structural advantage over competitors still doing it manually.
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. Article-by-article traceability to Regulation (EU) 2023/1115.
CSRD reporting, EU Taxonomy alignment, supplier engagement programmes, certification scheme alignment (RSPO, Rainforest Alliance, FSC), stakeholder consultations, on-the-ground verification. These are advisory responsibilities that belong to the consultancy. EUDRCheck documents the due diligence — it does not design the sustainability strategy.
EUDRCheck structures and documents. The consultancy advises and implements. The two layers complement each other — and scale independently.
These are the consequences under Article 25 of Regulation (EU) 2023/1115. For any consultancy offering EUDR services, this is the demand driver.
Article 25(2)(a) of Regulation (EU) 2023/1115. The fine must effectively deprive the operator of the economic benefits derived from the infringement, and increase for repeated violations.
Article 25(2)(e). Competent authorities may temporarily prohibit the operator from placing or making available relevant commodities and products.
Every operator placing relevant commodities on the EU market after 30 December 2025 needs this documentation. The consultancy that produces it has a regulation-driven service line with recurring demand.
| Option | Cost for 70 lots | Total time | Output quality |
|---|---|---|---|
| Manual internal drafting | €105,000+ (70 × 15h × €100/h) | 1,050+ hours | Inconsistent across consultants |
| Outsource to specialised firm | €105,000+ (70 × €1,500) | Weeks per batch | High — but eliminates margin |
| 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, article-by-article |
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 market surveillance authority or by a customs 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. Annex II structure. Art. 8–12 due diligence framework. Browser-side. No subscription.