Transposition refers to the process by which a directive is made applicable to national law. This is because product liability has been treated uniquely in different sovereign European nations.
On 9/5/2026 4:26 AM, Daniel
Thompson-Yvetot via open-regulatory-compliance wrote:
My understanding here: a steward is not obliged to
engage in any reporting activities under the CRA until it is
fully in application (currently expected in December 2027).
I will point out, that some countries (the
nordics) are already looking at expanding the “attention” they
are giving to open source via other legislation and potentially
via transposition of the PLD (which will enter national
jurisprudence starting December 2026).
Would you please explain 'transposition of the PLD'?
On Sat, Sep 5, 2026, at 00:19, Scott Lewis via
open-regulatory-compliance wrote:
Could you please point to where 'under certain
circumstances' is defined/detailed? And is there any
online version of the CRA text?...so that the relevant
Articles could be pointed to?
Thx.
On 9/4/2026 1:00 PM, Juan Rico via
open-regulatory-compliance wrote:
Dear ORC community, and especially to those
planning to act as stewards!
The European Commission
has updated the EC CRA
FAQ today bringing clarity to a topic that
has been largely
discussed.
The new FAQ entry published today
5.5 says:
"5.5 Are open-source software stewards
subject to reporting obligations under the
CRA? Article 24(3) of the CRA establishes that
reporting obligations laid down in Article 14,
paragraphs (1), (3) and (8), apply to
open-source software stewards under certain
circumstances.
In accordance with Article 71(2) of the CRA,
Article 24(3) shall
apply from 11 December 2027."