For importers

The record that clears customs.

The moment your manufacturer sits outside the EU, their compliance becomes your liability. GPSR and the EU's market-surveillance rules both name the importer as the reachable operator when there is no one else — Listrar gives that role one structured record instead of a folder of supplier PDFs, built to answer both a market-surveillance request and a customs declaration.

A manufacturer's record clears the EU gate; what crosses is your compliance file.

You already carry the operator duty — now it's structured

Whether GPSR names you the responsible person or Regulation (EU) 2019/1020 names you the economic operator established in the Union, the job is the same: hold the file, answer the request. Listrar gives that file one address instead of a drawer per product line.

One technical file, not a supplier archive

Risk assessments, conformity declarations and the responsible-operator designation live on the record as evidence — sourced, dated, and attached to the field they support, so an audit finds the same document a market-surveillance request already got.

The record a declarant can actually use

Origin, classification and the operator's identity are already structured, machine-readable data — the same shape a customs broker's system reads through the agent feed, instead of a PDF re-keyed for every shipment.

Built for the September 2026 reform

The EU's customs reform treats more importers — including e-commerce sellers with no EU presence today — as the party responsible for customs data and product compliance alike. A structured record is the difference between meeting that duty and discovering it at the border.

Be on the register at launch.

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