Hello,
Under the GPSR, it's stated that a ‘Responsible Person’ needs to be established within the EU for non-food products. However, I've seen several sellers using UK-based companies as their designated responsible contact person, given that the UK continues to participate in some EU trade aspects via the Northern Ireland Protocol.
Could a UK-established company still fulfill this 'Responsible Person' role for GPSR compliance, especially if registered in various EU countries?
The UK left the EU in January 2020 but remained within the single market and customs union during an eleven-month transition period to ensure trade continuity, which may support this approach. I'd appreciate any insights or experiences you may have on this matter