20 questions on the regulation of wood imports (EUTR)

1. Does the certification and verification of legality prove the legality of wood products imported from outside the EU ?

Yes
No
Don't know

Correct!

Wrong!

2. If all my wood products imported from outside the EU are FSC© or PEFC™ certified, do I have to prepare other documents in addition to the certificates from my suppliers ?

Yes
No
Don't know

Correct!

Wrong!

3. What is the deadline given by the competent authority in France to transmit the risk analysis procedure (DDS) of the company upon receipt of mail announcing the control of the company on the EUTR ?

1 week
2 weeks
1 month
2 months

Correct!

Wrong!

4. My company needs to put in place its risk analysis (DDS); I have to build this system alone, I have no other solutions; is it true ?

Yes
No
Dont know

Correct!

Wrong!

5. Does the verification of applicable legislation in the country of harvest also include environmental legislation for forest management and biodiversity conservation ?

Yes
No
Don't know

Correct!

Wrong!

6. How many criteria must the risk assessment procedure include ?

4
5
6
7
8

Correct!

Wrong!

7. In order not to lose some customers, I do not apply the risk analysis procedure (DDS) of my Monitoring Organisation (MO). I do not really have any risk because my MO issues to my company every year its attestation of compliance with the application of its DDS. Is it true ?

Yes
No
Don't know

Correct!

Wrong!

8. Are wood products imported with a FLEGT certificate from a FLEGT licensed country identifiable and distinct from the same imported wood products from other countries?

Yes
No
Don't know

Correct!

Wrong!

9. I import a wood end-product processed by my supplier located outside the EU ; the lot of wood used by my supplier to produce this product has a FLEGT certificate (origin of a country under FLEGT license) ; my imported wood end-product is therefore considered with a FLEGT certificate. Is it necessary to carry out a risk analysis (DDS) ?

Yes
No
Don't know

Correct!

Wrong!

10. Due to seasonality of my wood products sales, I need to quickly import my collections manufactured by my non-EU supplier as soon as the design is complete, then deliver them to my clients; is it mandatory to carry out the risk analysis before having received all my products in my company ?

Yes
No
Don't know

Correct!

Wrong!

11. To meet the needs of my customers to the nearest trend (fashion), I found manufacturers abroad (non-EU) very responsive and competitive for my wood products. The risk analysis (DDS) gives me a non-negligible risk. Do I have the obligation to mitigate the risks for this unique and one-shot import ?

Yes
No
Don't know

Correct!

Wrong!

12. If I use the risk analysis (DDS) of my Monitoring Organisation (MO) that issues me a certificate each year on the application of its DDS, will I be controlled by the competent authority ?

Yes
No
Don't know

Correct!

Wrong!

13. My company has many suppliers outside the EU and we have already carried out a risk analysis (DDS) for each of our wood products ; these suppliers have been working for many years with our company. The wood products ordered are unchanged (models and species) for many years. Is it possible to use the result of the initial risk analysis for the following years ?

Yes
No
Don't know

Correct!

Wrong!

14. My non-EU supplier of wood products has selected a complementary forest operator due to increased log requirements ; to the extent that the forest concession is in the same country and the same species, is my risk analysis (DDS) the same for my supplier ?

Yes
No
Don't know

Correct!

Wrong!

15. My supplier is in a non-EU risk country and has sent me the documents of legality of the forest manager and his forest concession concerning sawnwood made by his partner ; do I need additional documents for my risk analysis (DDS) ?

Yes
No
Don't know

Correct!

Wrong!

16. All links (companies) in the supply chain of my wood product have FSC© certification ; for economic reasons, I buy these non-certified wood products from my non-EU supplier ; for my risk analysis, should I collect only FSC© certificates from each company ?

Yes
No
Don't know

Correct!

Wrong!

17. The CITES authorization for a species of an imported timber product of non-EU origin makes it possible not to carry out a risk analysis (DDS) for this wood product. Is it true ?

Yes
No
Don't know

Correct!

Wrong!

18. I import exotic wood products from plantations in a non-EU country. Do I have to do a risk analysis (DDS) since it is not natural forests ?

Yes
No
Don't know

Correct!

Wrong!

19. My supplier abroad (non-EU) of processed wood products has sent me his documents proving compliance with local legislation (exporter) and the documents of the forest concession used to produce the wood products (non-processor forest manager). Are these documents sufficient for my risk analysis (DDS) ?

Yes
No
Don't know

Correct!

Wrong!

20. If a company places on the EU market wood products without having adopted a risk analysis (DDS) or without having respected the DDS to mitigate the risk that this wood comes from an illegal harvest, is this considered as an offense in France ?

Yes
No
Don't know

Correct!

Wrong!

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