Which of your parts rely on RoHS exemptions expiring in 2027?

The EU just restructured 21 RoHS exemptions under Pack 22. First deadline: December 2026. But expiring exemptions are just the beginning. Do you know if your suppliers' test reports match their declarations? Or if critical substance tests are missing entirely?

Send any supplier declaration to convert@bomsync.io. We return structured compliance data within 48 hours. Free for your first 10.

Your suppliers send messy data. We make it usable, and find what's wrong with it.

What your supplier sends

Material Pb (ppm) Exemption
Leadframe 25 -
Die Attach 925,000 7(a)*
Glass Passivation 17,500 7(c)-I*
Encapsulant <5 -
Plating 30 -

* Exemption footnotes buried in rows 17-20

Be test results not included for leadframe

Cl: 111 ppm detected in encapsulant - not reported in FMD

Lab reports embedded as OLE objects in Sheet 3

What BOMSync returns

Supplier
Widgets Inc.
Part
TVS Diode
Data Level
3 (FMD)
Materials
6
Verdict
COMPLIANT - Exemptions Applied
Exemptions
7(a) - expiring June 2027 | 7(c)-I - expiring June 2027
Pack 22 action required before expiry
REACH Article 33

Lead in die attach solder - reportable

Lead in glass passivation - UVCB, not reportable

Testing gaps

Leadframe: Be not tested (major OEM requirement)

Encapsulant: BFR/CFR, PBB/PBDE, PFAS not tested

Supplier Action Required

  • Chlorine detected at 111 ppm in encapsulant test report but not reported in FMD: supplier should explain discrepancy, correct the data, and resubmit
  • Beryllium test results missing for leadframe: supplier should provide if required by your specification
  • Exemptions 7(a) and 7(c)-I expire June 2027: supplier should resubmit with updated Pack 22 exemption codes

IPC-1752A XML attached

Three steps. No software to install.

Step 1 - Send

Forward your supplier declaration to convert@bomsync.io. Excel, PDF, XML, any format.

Step 2 - We analyze

BOMSync transforms the data, runs substance verdicts, detects exemptions, identifies testing gaps, and checks REACH Article 33 reporting obligations.

Step 3 - You receive

A complete compliance file with clear supplier actions: which discrepancies need explanation, which tests are missing, which exemptions need updating. Plus structured IPC-1752A XML, exemption register, and REACH Article 33 data. Ready to send back to your supplier or attach to your part record.

Every supplier file returns a complete compliance file

Substance Verdicts

Pass/fail for each RoHS substance at the material level, with compound-to-element resolution.

Exemption Detection

Every declared exemption identified, validated against current EU RoHS Annex III, with expiry dates.

REACH Article 33 Reporting

Identifies substances requiring Article 33 notification. Distinguishes reportable lead (e.g., in solder) from UVCB substances like lead in glass, where lead oxide is chemically transformed into a new glass matrix during manufacturing and is not reportable.

OEM Testing Gaps

Per-material test requirements mapped from major OEM restricted substance specifications. Identifies missing tests for beryllium on leadframes, BFR/CFR on encapsulants, PFAS/fluorine on polymers, and lead on solder joints.

Lab Report Cross-Reference

CAS-level comparison of test results against declared concentrations. Discrepancies flagged.

IPC-1752A XML

Standardized output from any input format. Ready for PLM import or customer delivery.

Supplier Rejection Workflow

When BOMSync finds discrepancies, missing tests, or unreported substances, it generates a structured supplier notification identifying what needs to be corrected and resubmitted.

21 exemptions. Three deadlines. The clock is running.

Dec 11, 2026

2 exemptions

Lead in alloys (6(a), 6(b)-I)

June 30, 2027

9 exemptions

7(a) - lead in high-temperature solder (die attach, wave solder) and 7(c)-I - lead in glass/ceramic (glass passivation, glass frit terminations). The two most commonly declared exemptions in the electronics industry - both expire on the same date.

Dec 31, 2027

10 exemptions

Capacitor dielectrics, specific solder applications

See the full timeline →

Do you know which of your parts are affected? Send your supplier declarations to convert@bomsync.io and find out.

Pay for results, not a platform

$10 per declaration

Base fee

Format transformation from any input (Excel, PDF, XML, proprietary). Canonical normalization and IPC-1752A XML output.

$5 per part

Within each declaration

Substance verdicts, exemption detection with expiry tracking, REACH Article 33 analysis, OEM testing gaps, IEC 62474 scan.

$5 per lab report

Cross-referenced

PDF extraction, CAS-level comparison against declared concentrations, discrepancy detection, missing test identification.

Single component:

Component (1 part, 2 lab reports): $10 + $5 + $10 = $25

Single assembly:

Assembly (20 parts, 10 lab reports): $10 + $100 + $50 = $160

Full product: Product with 400 component-level declarations and 5 assembly-level declarations with 20 components each:

405 declarations ($4,050) + 500 parts ($2,500) + 100 lab reports ($500) = $7,050

Compare: a compliance engineer reviewing 500 parts manually would spend 750+ hours at $50/hr, costing $37,500.

Add product-level rollup with REACH Article 33 reporting and executive summary: starting at $1,000 per product.

Find out what your suppliers are missing

Questions? john@bomsync.io