Compliance

Complaints Office: Deutsche Gütegemeinschaft Möbel Service GmbH
Person in Charge: Attorney Jochen Winning
E-Mail:hinweisgeberschutzgesetz@dgm-moebel.de
Phone: +49 (0) 911 9509998-40
In-Person Contact: Friedrichstraße 13-15, 90762 Fürth

Our responsibility regarding our supply chains

PAIDI Holding and all its affiliated companies (hereinafter collectively referred to as the PAIDI Group) operate in the field of furniture manufacturing and distribution. As a medium-sized group of companies, the PAIDI Group is not subject to the legal obligations set out in the Supply Chain Due Diligence Act (LkSG).

However, as a sustainable and internationally active group of companies with global partners throughout its supply chain, the PAIDI Group is aware of its special responsibility towards people and the environment. We therefore voluntarily align our supplier relationships with the requirements and principles of the LkSG.

Both the policy statement published on these pages and the Supplier Code of Conduct are continuously reviewed and adapted to new findings and the results of risk analyses within the PAIDI Group’s own business areas and along its supply chains.

Any deviating or newly identified priority risks will be taken into account in future updates to the policy statement and the Supplier Code of Conduct.

 

The Management of PAIDI Holding

Hafenlohr, August 2026

Confirmation of compliance with the EU Packaging Regulation (PPWR)
Regulation (EU) 2025/40 on packaging and packaging waste – obligations as of 12 August 2026

Dear Sir or Madam,

  • As a producer or manufacturer within the meaning of Article 3 of Regulation (EU) 2025/40 (PPWR), we hereby confirm, in respect of the packaged furniture products we place on the market and the packaging used for them (sales, outer and transport packaging):
  • The packaging complies with the requirements of Articles 5 to 12 of the PPWR applicable as at 12 August 2026, insofar as these are applicable at that time; in particular, the limit values for substances of concern are complied with.
  • For each type of packaging, the conformity assessment has been carried out in accordance with Article 38 of the PPWR in conjunction with Annex VII; the relevant technical documentation is available and is kept up to date on an ongoing basis.
  • An EU declaration of conformity in accordance with Article 39 of the PPWR is available for each type of packaging.
  • The labelling requirements for traceability (Articles 12, 13 and 15(5) of the PPWR) have been implemented: Our packaging bears an identification mark (material, batch or type number) as well as the name and address of the manufacturer – either as a printed mark, on a label or in the accompanying documentation.
  • The declarations of conformity and technical documentation are retained in accordance with Article 39 of the PPWR (single-use packaging: 5 years; reusable packaging: 10 years).

 

Contact for enquiries:
Klaus Kaufmann QA / Compliance
Email: kaufmann@paidi.de
Tel. +49 9391 501 169

 

PAIDI Loading Animation