You are a marketplace agency managing product listings for sellers of connected electronics — smart home devices, WiFi cameras, Bluetooth speakers, IoT sensors, LED controllers. Delegated Regulation (EU) 2022/30 activated the cybersecurity requirements of Article 3(3)(d), (e), and (f) of Directive 2014/53/EU on 1 August 2025. Marketplaces are requesting compliance evidence. REDCheck Professional Pack: 70 licenses, €999 one-time. 8 structured PDF documents per product. Generated in your browser in 20 minutes.
€999 · One-time · 70 dossiers · 8 PDFs each · Your data never leaves your browser
You manage product listings. You know that compliance documentation is now a condition for keeping those listings live. The question is whether you can produce Art. 3(3) cybersecurity dossiers at the pace your seller portfolio demands.
REDCheck Professional Pack is built for professionals who manage compliance for multiple sellers of connected products on EU marketplaces and need to produce Art. 3(3) cybersecurity documentation at scale.
Three inputs. Four answers. No signup required.
Every license generates a complete Art. 3(3) cybersecurity documentation package for one product. Each document cites the specific article of Directive 2014/53/EU and Delegated Regulation (EU) 2022/30 it addresses.
Classification per Delegated Regulation (EU) 2022/30: internet-connected, childcare, toy, wearable, payment-capable. Determines which Art. 3(3) requirements apply.
Assessment demonstrating the product does not harm the network or its functioning nor misuse network resources. Article 3(3)(d) of Directive 2014/53/EU.
Safeguards for the protection of personal data and privacy of the user and of the subscriber. Article 3(3)(e) of Directive 2014/53/EU.
Features ensuring protection from fraud for devices enabling transfer of money, monetary value, or virtual currency. Article 3(3)(f) of Directive 2014/53/EU.
Per Annex V of Directive 2014/53/EU. Product description, design, cybersecurity measures, conformity assessment references.
Module determination per Article 17(3) or 17(4) of Directive 2014/53/EU for the applicable Art. 3(3) cybersecurity requirements.
Per Annex VI. Manufacturer identification, product identification, applicable requirements, conformity assessment reference. Article 18.
Printable reference with CE marking requirements, manufacturer contact, applicable Art. 3(3) requirements. Articles 19 and 20.
See before you buy — Download sample dossier (PDF, fictional company) — Real structure, real articles, real format. Fictional data.
A product can have a valid CE mark for electromagnetic compatibility and electrical safety and still lack any cybersecurity documentation. Delegated Regulation (EU) 2022/30 activated separate cybersecurity requirements under the Radio Equipment Directive on 1 August 2025. The original CE certificate from the factory does not cover these requirements. Market surveillance and marketplaces check both.
Art. 3(3)(d) requires network protection assessment. Art. 3(3)(e) requires privacy and data protection safeguards. Art. 3(3)(f) requires fraud protection features for payment-capable devices. A generic compliance template does not map to these specific articles. The documentation needs to trace back to each requirement individually.
EU marketplaces are requesting Art. 3(3) compliance evidence for WiFi, Bluetooth, and IoT products. A listing suspension costs the seller thousands in lost revenue per month. The agency that resolves this proactively retains the seller. The agency that waits loses the account to a competitor who can.
8 structured PDF documents per product. Network protection, privacy safeguards, fraud protection assessments, technical documentation, Declaration of Conformity, CE marking guidance. Generated from input data in 20 minutes. Article-by-article traceability to Directive 2014/53/EU and Delegated Regulation (EU) 2022/30.
Radio frequency testing, encryption implementation, firmware security hardening, penetration testing, protocol analysis, antenna characterisation. These are implementation-level services. REDCheck documents the cybersecurity posture — it does not create it.
REDCheck structures and documents. The agency coordinates compliance and communicates with sellers. The two layers complement each other.
These are the consequences under Directive 2014/53/EU. This is the argument to present when a seller asks why cybersecurity documentation is necessary on top of their existing CE marking.
Article 40 of Directive 2014/53/EU. Market surveillance authorities can require corrective measures, withdrawal from the market, or product recall if documentation is insufficient.
Article 43. Covers failure to produce technical documentation (Annex V), missing or incorrect EU Declaration of Conformity, and non-compliant CE marking.
Article 46. Member States impose penalties for infringement of the Directive, which may include criminal penalties for serious infringements.
The sellers face these consequences. The agency offers the documentation that prevents them.
| Option | Cost for 70 products | Total time | Output quality |
|---|---|---|---|
| Manual drafting (Word templates) | Professional time only | 840+ hours | Variable, no Art. 3(3)-specific structure |
| Outsource to radio compliance consultant | €42,000–€105,000 | Depends on provider | High, but cost-prohibitive at scale |
| Enterprise compliance platform | €5,000–€15,000/year | 2-4 weeks setup | High, requires integration |
| REDCheck Professional Pack | €999 (one-time) | ~23 hours total | Structured, Art. 3(3), article-by-article |
REDCheck generates a structured documentation package according to Article 3(3)(d), (e), and (f) of Directive 2014/53/EU and Delegated Regulation (EU) 2022/30 from the information that the user enters. The truthfulness, accuracy and completeness of that information is the responsibility of the manufacturer — or of the professional entering data on their behalf.
We guarantee that the document structure follows Article 3(3) of Directive 2014/53/EU, Annex V for technical documentation, and Annex VI for the Declaration of Conformity, 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 marketplace in a compliance review.
REDCheck is not legal advice. For specific situations, consult a lawyer or specialised regulatory consultancy.
70 licenses. 8 PDF documents per product. Art. 3(3)(d)(e)(f) structure. Browser-side. One payment.