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Product compliance

GPSR checklist for SMEs

GPSR checklist for SMEs selling non-food consumer products in the EU: responsible person, risk analysis, traceability, warnings, recalls and marketplace evidence.

Direct answer

A GPSR checklist for SMEs should cover product safety assessment, responsible economic operator, manufacturer and importer details, traceability, warnings and instructions, online listing information, technical documentation, complaint handling, corrective actions, recall workflow and Safety Gate reporting where needed.

What should be on a GPSR checklist for SMEs?

A GPSR checklist for SMEs should cover product safety assessment, responsible economic operator, manufacturer and importer details, traceability, warnings and instructions, online listing information, technical documentation, complaint handling, corrective actions, recall workflow and Safety Gate reporting where needed.

  • Risk analysis
  • Traceability
  • Recall process
Applies from2024-12-13
ScopeNon-food consumer products
Main evidenceRisk analysis, traceability and recall process
Source: EUR-Lex Regulation (EU) 2023/988Reviewed:
GPSR checklist for SMEsEUR-Lex Regulation (EU) 2023/988

A GPSR checklist for SMEs should cover product safety assessment, responsible economic operator, manufacturer and importer details, traceability, warnings and instructions, online listing information, technical documentation, complaint handling, corrective actions, recall workflow and Safety Gate reporting where needed.

2024-12-13GPSR application

The General Product Safety Regulation became applicable.

Source: EUR-Lex Regulation (EU) 2023/988

GPSR checklist for SMEs checklist

Action checklist
Risk analysis

Assess foreseeable safety risks before placing products on the market.

Traceability

Keep product, batch, manufacturer, importer and supplier records.

Recall process

Prepare complaint, accident, corrective action and authority notification workflow.

Key deadlines

DateRequirementSource
2024-12-13GPSR applicationThe General Product Safety Regulation became applicable.EUR-Lex Regulation (EU) 2023/988

30/60/90-day action plan

First 30 days

Confirm scope and assign an owner

Evidence needed: Applicability note, business owner, systems or product list, and source links.

GPSR

Days 31-60

Close the evidence gaps

Evidence needed: Policies, supplier records, data maps, technical notes, training records, or process owners.

GPSR

Days 61-90

Prepare for audit or customer review

Evidence needed: Versioned compliance file, action log, exception register, and next review date.

GPSR

Evidence to retain

Applicability decision

Shows whether GPSR readiness applies and why the SME made that decision.

Retain: Scope memo, trigger criteria, country notes, owner approval, and review date.

Action owner list

Regulators and enterprise customers expect named accountability, not generic intent.

Retain: Owner, backup owner, due date, status, and unresolved blocker notes.

Evidence folder

The fastest way to answer customer due diligence is a single audit-ready evidence file.

Retain: Policies, screenshots, registers, exports, supplier responses, and training records.

SME questions answered

Does GPSR apply to online sellers?

Yes, GPSR includes obligations relevant to online sellers and marketplaces for non-food consumer products.

What GPSR evidence should SMEs keep?

Risk analysis, technical information, labels, warnings, traceability records, supplier records and recall workflow.

Turn this guide into a tracked action plan

Start with the Regulation Checker, save the result, and import the action plan into your EuroComply dashboard when you are ready to assign owners.

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Informational only. This page is not legal advice and does not replace a qualified legal review of your business, systems, products or employment practices.