Requirements for Controlled Wood
The requirements for Controlled Wood are identical to Chain of Custody
Role :
Type :
Management System

A management representative who acts as compliance officer needs to be appointed, with responsibility and authority for the organization’s conformity to mitigate and manage the risk of non-conforming products.
NOTE: The appointed management representative for conformity with applicable certification requirements may also act as the compliance officer.
Records should be kept that show you are following the FSC Regulatory Module.
If there is new information or concerns that suggest there might be a problem/risk with products following the FSC Regulatory Module, this has to be considered in the evaluation.
Non-conforming products are not to be put on the market. If non-conforming products are found the relevant competent authorities are immediately informed and the necessary assistance is provided.
NOTE: A non-conforming product may also be identified by a competent authority.
Compliance with Timber Legality Legislation

When asked, details have to be shared about:
- Species (both common and full scientific names)
- Plot of land geolocation
- Date or time range of harvest
- Due diligence statement
- Extended Company Risk Assessment
- Descriptions of the mitigation measures needed by operators and regulatory traders further down the supply chain
This helps to confirm negligible risk in the respective Due Diligence Systems and ensures compliance with timber legality laws.
Due Diligence

The Due Diligence includes completing the following three steps (Unless operating in a country classified as low risk (in this case only a Simplified Due Diligence is necessary)):
- The collection of information, data and documents
- Risk assessment
- Risk mitigation measures
The Due Diligence is in place in order to prove that:
- The product is deforestation-free.
- The product has been produced in accordance with the relevant legislation of the country of production.

Information Collection

Risk Assessment

Risk Mitigation Measures
Due Diligence Statement
Exceptional Cases
Simplified Due Diligence

A simplified due diligence can be conducted when the Management Unit is located in a country or parts thereof classified as low risk in accordance with the EUDR three-tier risk system.
In cases where a simplified due diligence is exercised, Risk Assessment and Risk Mitigation Measures are not necessary.
Relevant documentation demonstrating that there is a negligible risk of circumventing the EUDR is made available to the competent authority upon request.
NOTE: FSC Forest Management Certification is considered an effective risk mitigation measure to demonstrate no or only a negligible risk.
Non Compliance

If a competent authority establishes non-compliance with the EUDR or that a non-compliant product has been placed on the market or exported, the certification body is informed about the non-compliance immediately.
If new information is obtained or made aware of, including substantiated concerns, indicating that a product placed on the market is at risk of non-conformity with the FSC Regulatory Module, the relevant competent authorities of the country(ies) involved and organizations to whom the product has been supplied must be immediately informed.