Pressure Transmitter Manufacturer
Consultation hotline:15529283736
News Center
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Xi'an Shenghongchuang Instrument Co., Ltd.
Contact: Mr. Zhang
Mobile: 15529283736
Email: shc-sensor@qq.com
Address: Fortune Building, Sanqiao Street, Xixian New Area, Xi'an, Shaanxi Province
Starting from June 10, 2026, the EU’s new revised CE-RED Directive will enter the mandatory implementation stage. For products such as pressure transmitters and temperature and humidity sensors with wireless communication functions including LoRaWAN, NB-IoT, and Wi-Fi, the requirements are no longer limited to traditional wireless compliance; they now also add network security module assessment and additional marking requirements. For manufacturers, brand owners, traders, certification service participants, and procurement and delivery processes in the export market to the EU, this change is worth close attention, because it is directly related to whether products can enter the market, and will also affect project delivery, documentation preparation, and supply chain arrangements.
Confirmed information shows that the EU Radio Equipment Directive (CE-RED) 2026 revised version will be formally enforced on June 10, 2026, and Annex IV has been newly added. According to this requirement, all devices with wireless communication functions, such as pressure transmitters and temperature and humidity sensors, if they involve communication methods such as LoRaWAN, NB-IoT, and Wi-Fi, must undergo independent Network Security Module (NSM) assessment and be affixed with the additional “CYBER” marking. Products that have not obtained the relevant certification will be prohibited from entering the EU market, and this enforcement will not accept a transition period exemption.
For export enterprises targeting the EU market and direct trade participants, the impact is first reflected in market access conditions. If a product carries wireless communication functions, even if its core purpose is industrial measurement such as pressure or temperature and humidity, NSM assessment and the “CYBER” marking must still be included in the compliance review scope before shipment. Relevant enterprises need to pay special attention to whether order confirmation, customer acceptance data, shipping documents, and compliance statements are consistent, so as to avoid shipment or delivery being affected by insufficient certification status.
For processing manufacturers, equipment integrators, and solution providers, this change affects not only the final label, but may also affect product configuration decisions. Any pressure transmitters or temperature and humidity sensors with LoRaWAN, NB-IoT, Wi-Fi, and other wireless communication capabilities need to be brought into the new certification review perspective. Enterprises must pay special attention during model selection, version classification, technical document preparation, and ex-factory procedures to whether wireless functions trigger the new compliance requirements, so as to avoid a disconnect between product functions and certification preparation.
For purchasers, channel distributors, and supply chain service providers, rule changes will be transmitted to supplier screening and delivery arrangements. If the procurement target is wireless instrument products intended for the EU market, whether NSM assessment has been completed and whether the product carries the “CYBER” marking will become a more practical checkpoint. Analysis shows that such changes may make procurement plans, inventory arrangements, and alternative supplier evaluations more dependent on upfront confirmation, rather than waiting until shortly before delivery to supplement compliance materials.
For certification-related enterprises and testing service agencies, the core of this change lies in the newly added requirement for independent network security module assessment. Although the input information does not provide a more detailed implementation path, it can be confirmed that the preparation of certification materials, the assessment process, and the compliance review of markings for products such as wireless pressure transmitters and temperature and humidity sensors will become key tasks in related services.
What enterprises need to do first is not to broadly discuss network security, but to check item by item which pressure transmitters, temperature and humidity sensors, and other devices in existing products and current orders carry wireless communication functions such as LoRaWAN, NB-IoT, and Wi-Fi. Whether they fall within the scope covered by this mandatory requirement will directly affect subsequent certification arrangements, customer communication, and delivery decisions.
From a practical perspective, enterprises need to pay attention not only to whether there is certification, but also to whether the certification status, technical documents, product markings, and external materials remain consistent. Especially in scenarios such as tender documents, procurement technical requirements, shipping documents, and after-sales records, the NSM assessment requirements and the “CYBER” marking may become new review points. Since the input information does not provide specific document formats or execution details, this part is more suitable to be understood as matters that currently require advance preparation and continuous verification.
The absence of a transition period exemption means that enterprises cannot build compliance arrangements on the basis of a buffer period. Observed from the industry perspective, enterprises involved in EU market projects need to assess delivery schedules, inventory arrangements, and suppliers’ current compliance capabilities more carefully, especially whether suppliers can provide certification and marking status statements that match the new requirements.
What is currently clear is the mandatory implementation, assessment requirements, and market access consequences; what has not yet been reflected in the input information are more detailed official interpretations, certification execution paths, and implementation methods under different business scenarios. Therefore, enterprises still need to continue paying attention to subsequent detailed rules, updates in customer requirements, and actual market feedback when promoting exports, procurement, or project delivery, so as to avoid treating unclear items as established procedures.
From an industry perspective, this information is more suitable to be understood as a market access rule change that has already taken effect, rather than a dynamic still in the consultation or principle-reminder stage. The signal it conveys is very clear: for industrial measurement equipment with wireless communication capabilities, the EU market’s compliance focus has extended to independent network security module assessment and additional markings. At the same time, the industry still needs to continue paying attention to subsequent execution details, the specific reflection of customers in procurement documents, and how the certification service chain connects with delivery rhythms.
Overall, the core significance of this change is not that it has added an abstract compliance requirement, but that it has directly linked to the EU market access result. For relevant enterprises, it is now more appropriate to regard this as an effective pre-delivery condition: all pressure transmitters and temperature and humidity sensor products oriented to the EU market and equipped with wireless functions such as LoRaWAN, NB-IoT, and Wi-Fi need to include NSM assessment and the “CYBER” marking in practical business judgments. As for how to further refine subsequent implementation details, it still needs to be continuously observed in combination with later public information and market feedback.
This article was generated based on the information title, event occurrence time, and event summary provided by the user. The information used includes: mandatory implementation on June 10, 2026, the addition of Annex IV in the CE-RED 2026 revised version, wireless pressure transmitters and temperature and humidity sensors requiring independent Network Security Module (NSM) assessment and the “CYBER” marking, products without certification being prohibited from entering the EU market and having no transition period exemption. Since no specific official source link was provided in the input, relevant official announcements, releases from regulatory agencies, standard organization documents, information from trade authorities, industry association explanations, and reports from authoritative media still need to be continuously verified afterward. The content worth paying attention to later includes: policy details, certification execution paths, changes in tender and procurement documents, industry feedback, and actual implementation situations of enterprises.
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