Skip to Content

Product Safety and Compliance Statement (EU Market)

RBV Lifestyle Pvt. Ltd. (RANNG) is dedicated to ensuring the safety and compliance of our products within the EU market through rigorous environmental stewardship and sustainable development. This statement outlines the principles and actions guiding our efforts to integrate chemical safety, resource efficiency, and social responsibility into our manufacturing practices, reflecting our commitment to professional excellence and international compliance standards.

Home     Legal Pages


Last Updated Date: 01/07/2025



1. Purpose


This statement explains how RBV Lifestyle Pvt. Ltd., trading as RANNG ("RANNG," "we," "us"), approaches product safety compliance for garments, uniforms, and textile products manufactured for clients who place those products on the European Union market, including our obligations and role under the EU General Product Safety Regulation (GPSR) and related EU product-safety law.

2. Our Role in the Supply Chain


RANNG is a business-to-business contract manufacturer. We do not sell finished garments directly to consumers, and in the ordinary course of business we manufacture to the specifications, branding, and instructions of our clients, who are themselves responsible for placing finished goods on their target markets, including the EU. Depending on the specific commercial arrangement, our client — or an importer or authorised representative appointed by our client — may be the party responsible for EU market-placement obligations, including the GPSR "Responsible Person" role, rather than RANNG. We work with each client to confirm, in writing, which party holds this responsibility for a given order.

3. EU Contact Point


For garments manufactured by RANNG that are placed on the EU market, product-safety documentation requests relating to RANNG's manufacturing can be directed to our representative office:

RANNG (RBV Lifestyle Pvt. Ltd.)
Wuppertal, Germany
[FULL ADDRESS]
[CONTACT EMAIL]

This contact point supports documentation requests; it does not, by itself, constitute an appointment as GPSR Responsible Person or authorised representative unless separately confirmed in writing for a specific client relationship or product line.

4. Technical Documentation We Maintain


For the orders we manufacture, RANNG maintains, or works with clients to maintain, the categories of documentation relevant to GPSR compliance, including:
• Product and specification descriptions per style and purchase order.
• Acceptable Quality Limit (AQL) inspection records.
• Fabric, trim, and dye supplier declarations of REACH compliance, collected as part of our Supplier Code of Conduct requirements.
• Batch and order traceability records sufficient to identify the origin of materials used.

Where a client or its appointed Responsible Person needs access to this documentation to support their own EU compliance file, we will provide it on reasonable request, subject to confidentiality obligations in the relevant client agreement.

5. Chemical and Substance Compliance


We manufacture in accordance with EU REACH restrictions on regulated substances (including Entry 72/Annex XVII restrictions on CMR substances and azo dye restrictions) as agreed for the relevant order, and require REACH compliance declarations from our fabric, trim, and dye suppliers under our Supplier Code of Conduct.

6. Fibre Composition Labelling


Garments manufactured for the EU market are produced with fibre-composition labelling in line with EU Regulation (EU) 1007/2011, using standardised fibre names, as agreed in the relevant technical pack and order confirmation.

7. Serious Incident Reporting


If RANNG becomes aware that a product it manufactured presents a serious risk to health or safety, we will notify the affected client(s) without undue delay so that the party responsible for EU market placement can meet any applicable regulatory reporting obligations, including reporting via the EU Safety Business Gateway where required.

8. Working With Us


If you are a client, importer, or authorised representative and need to confirm the allocation of Responsible Person duties for a specific order, or need supporting technical documentation, please contact [PRODUCT SAFETY / COMPLIANCE CONTACT EMAIL].

9. Review


This statement is reviewed at least annually, and whenever RANNG's manufacturing footprint, client base, or applicable EU product-safety law materially changes.


RBV Lifestyle Pvt. Ltd. (RANNG)

[REGISTERED ADDRESS]