EuroWindoor would like to acknowledge the efforts made by the Commission to improve the implementation of the Construction Product Regulation (CPR) in 2025. The publication – and call for comments – of the draft Standardization Request (SReq) for Doors and Windows and draft Delegated Act for the Assessment and Verification Systems (AVS) have brought some level of clarity regarding the obligations for manufacturers as well as for standard developers. We expect the same attention to be paid to our comments concerning the Digital Product Passports (DPP) when the first draft Delegated Act is available.
Nevertheless, we believe that:
1. Some critical challenges have yet to be addressed – and solutions to be found – outside the scope of the 3 abovementioned documents (SReq, AVS and DPP)
2. Some technical challenges remain present in these documents to make the CPR enforceable in practice and several EuroWindoor concerns have not been addressed yet.
For the full position, see the following link:
EuroWindoor contribution to the implementation framework of the CPR (December 2025)
