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SPEAC

Safe non-food consumer Products in the EU and China

Toy trampolines

Toy trampolines

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Product definition

Toys are products designed or intended, whether or not exclusively, for use in play by children under 14 years of age. Trampolines are considered toys if they are intended for use in a home setting and by children under 14 years of age. The scope of this Fact sheet extends to toy trampolines for both indoor and outdoor use by one person at a time, but does not cover gymnastic equipment or trampolines used in public playgrounds.

Common risks of toy trampolines

The most common risks identified in this product sector are set out below.

1. Mechanical/physical risks:

  • Accessible holes, slots or gaps can cause entrapment and injuries to fingers, feet, head and neck areas.
  • If the product is not stable, it can tip over and lead to injuries.
  • Sharp edges and points can cause cuts, bruising and other injuries.

2. Chemical risks:

  • Dangerous chemicals can cause short- and long-term adverse health effects if they exceed allowed limits.

This is a list of examples of common risks. However, the manufacturer has to carry out an assessment of the toy that covers all relevant risks that may be associated with the product and actions taken to mitigate these risks where possible. A general definition of risk and its relationship to hazards can be found in the factsheet on Risk management

Examples of dangerous products

Specific examples of measures taken against dangerous toy trampolines offered for sale in the European Union are available on the Safety Gate website. Type ‘toy trampoline’ into the free text search box (but without the quotation marks) and select the ‘Toys’ Product Category to view notified examples. A better understanding of mistakes made in the safety assessment of the toy, or its manufacture can help avoid their repetition. Further examples of dangerous toy trampolines are provided in the EU coordinated activity on home outdoors play equipment.

Main applicable legislation

These products are governed mainly by the Toy Safety Directive (2009/48/EC) (also available in Chinese). The Directive lays down the safety criteria that all toys must meet before they can be marketed in the EU. Toys must comply with the essential safety requirements set out in this Directive. More specific details can be found here.

NB: For toys, certificates are only recommended, as well as involving a third-party laboratory in the conformity assessment excluding exceptional cases (if the manufacturer doesn’t follow the harmonised standards).

Applicable standards

“Harmonised standards” exist in the EU for toys. A toy complying with these standards is presumed to be in conformity with the essential safety requirements set out in the Toy Safety Directive if the standards are referenced in the Official Journal of the European Union (OJEU). Further information on, and the list of harmonised standards for toys is available from here.

Note: The following site of CEN (the European standardisation organisation) provides links to the national standardisation bodies’ websites. In addition, the China Standards Information Services Network can be used to access European standards.

The following standard applies to toys:

EN71 Toys

The standard has been published in 14 parts. The most relevant parts for toy trampolines are:

  • EN 71-1:2014 Mechanical and physical properties
  • EN71-8:2018 Activity toys for domestic use
  • EN 71-14:2018 Trampolines for domestic use

However, the standard series covers other safety issues and manufacturers are strongly advised to consult all parts. It is important to note that the latest edition of the standard referenced in the OJEU (including any amendments) should be applied.

The  toy is intended for children under 36 months

Small parts in toys

Toys indented for use by children under 36 months as well as their component parts and any of their detachable parts must be of such dimensions as to prevent their being swallowed or inhaled.

If the toy (or separate part) fits completely into the small parts cylinder – defined in standard EN 71-1: Mechanical and physical properties – it will be defined as a small part and will therefore fail to meet this requirement of the Toy Safety Directive.

Specific limits for chemicals

Toys intended for children under 36 months need to respect stricter limit values for certain chemicals, as listed in Appendix C to Annex II to the Toy Safety Directive. In addition, specific migration limits for nitrosamines and nitrosatable substances are set out for these two categories of toys in Annex II Part 3 Point 8 of the Directive.

Hygiene

Toys intended for use by children under 36 months must be designed and manufactured in such a way that they can be cleaned. The toy shall fulfil the safety requirements also after having been cleaned. 

See related requirements

Other legislation of relevance:

While manufacturer’s need to familiarise themselves with all the laws which apply to their specific products, the following summarises some further key applicable laws:

  • REACH (Registration, Evaluation, Authorisation and Restriction of Chemicals) – restricts chemical substances in goods. REACH places responsibility on the industry to manage the risks from chemicals and to provide safety information on the substances. Manufacturers and importers are required to gather information on the properties of their chemical substances, which will allow their safe handling, and to register the information in a central database.
  • CLP Regulation (Classification, labelling and packaging of substances and mixtures) – This Regulation requires manufacturers to classify, label and package their hazardous chemicals appropriately before placing them on the market.

Other EU legislation of relevance for toys is available here (click on +Other legislation)

Mandatory labelling & warnings

The following are obligatory:

  • CE Marking is obligatory for all toys. Before marking the toy with the CE mark, the manufacturer needs to carry out a safety assessment on the toy and identify all the applicable essential safety requirements, verify the conformity of the toy with these requirements, compile a technical documentation that evidences this and create a written declaration of conformity. When this has been done, he should affix the CE mark on the product. Refer to the factsheet on CE marking.
  • Information on the manufacturer and the importer in the EU is obligatory. 

Warnings and instructions for use need to draw attention of users and supervisors to the inherent hazards and associated risks and how to avoid injury. 

Safety warnings are obligatory for many types of toys including toy trampolines. For example, toys not suitable for children under 3 years old must include a warning stating “Not suitable for children under 36 months” or “Not suitable for children under three years” or a warning in the form of the graphic below. The warning shall be accompanied by a brief indication, which may appear in the instructions for use, of the specific hazard calling for this precaution.

Attention! This warning should be used only in circumstances where the toy is genuinely NOT intended for children under 3 years old and does not exempt manufacturers from complying with specific additional requirements imposed on these types of toys.

General safety requirements

To ensure safety of toy trampolines, there is also a range of general requirements to be fulfilled. These are explained in the following factsheets and need to be read in conjunction with this factsheet:

You may also visit the SPEAC ACADEMY to learn more about the EU Safety requirements.

Disclaimer

The provided information was updated in 2024. Please note that some of the provided information could change during possible subsequent revisions of legislation, standards, and guidance documents. For any updates of official information on the EU product safety rules, please follow the Link to the webpage of the European Commission.

This document was produced with the financial support of the European Union. Its contents are the sole responsibility of SPEAC project and do not necessarily reflect the views of the European Union.