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About the ECGT Directive

Directive (EU) 2024/825
What is ECGT

What is the Empowering Consumers for the Green Transition Directive?

ECGT

Directive (EU) 2024/825, known as the Empowering Consumers for the Green Transition Directive, strengthens EU consumer protection rules against misleading commercial practices. It amends existing EU consumer law to address greenwashing and unclear sustainability communication, including the use of environmental and social claims and sustainability labels on consumer products such as textiles and apparel.

The Directive does not approve or certify products or certification schemes. Instead, it sets conditions under which sustainability claims and labels may be used in business-to-consumer communications in the EU.

Who is Affected

Who Must Comply with the ECGT Directive?

Anyone selling to consumers in the EU

The Directive applies to business-to-consumer commercial practices in the EU. This means:

  • EU-based companies marketing textile products to EU consumers
  • Non-EU companies, whose products are marketed to EU consumers directly or via EU retailers

If sustainability claims or labels are used in EU-facing marketing, packaging or online communications, these rules are relevant.

Regulated Criteria

What does the Directive regulate?

Environmental and Social Claims

Directive (EU) 2024/825 expands on the existing Unfair Commercial Practices Directive (UCPD 2005/29/EC), the list of product characteristics that must not mislead consumers. This includes claims and information related to:

  • Environmental performance (e.g. chemical safety, recycled content, resource use)
  • Social responsibility (e.g. responsible production, working conditions)
  • Product durability and circularity (e.g. durability, repairability, longevity, recyclability)
  • Use of sustainability labels, certification marks and trust badges

Generic or vague environmental claims such as "eco-friendly" or "sustainable" may be considered misleading unless they are clearly substantiated and explained.

Timing & Enforcement

When and how will the ECGT be enforced?

In September 2026 by Member States
  • March 27, 2026: Deadline for EU Member States to transpose Directive (EU) 2024/825 into national law
  • September 27, 2026: Rules in effect
  • Enforcement by national consumer protection authorities, with penalties defined at Member State level

How OEKO-TEX® Relates to the Directive

Independently verified and Transparent Claims

Directive (EU) 2024/825 requires that sustainability labels used in consumer communications are based on credible, transparent and independently monitored schemes. Key requirements include:

  • Independent third-party verification
  • Objective and transparent criteria
  • Competent testing and certification organizations
  • Ongoing monitoring without conflicts of interest

OEKO-TEX® certifications and labels have (always) been designed to align with these requirements through their governance structure, third-party testing framework and accreditation model. When the labels are used correctly and only for what they actually cover, OEKO-TEX® supports sustainability claims and ECGT compliance.

Independence and Verification

A core requirement of the Directive is that sustainability labels are not influenced by commercial interests.

  • OEKO-TEX® is a legally separate entity from the authorized testing institutes (like Hohenstein) and conformity assessment bodies
  • Authorized OEKO-TEX® institutes conduct testing and certification activities independently
  • These institutes are ISO/IEC 17025 accredited, which supports technical competence and the impartiality of laboratory activities

This structure has always been in place at OEKO-TEX® and aligns with the Directive’s requirement for objective, third-party monitoring of certifications.

What This Means for Brands?

For brands and retailers marketing textile products to EU consumers:

  • Sustainability claims and labels must be accurate, specific and verifiable
  • Claims must remain within the scope of the certification or test data
  • Generic environmental claims without clear substantiation carry increased regulatory risk
  • Sustainability labels should be based on credible, independently monitored certification programs

OEKO-TEX® certifications provide independent, third-party verification that brands can rely on when communicating specific product attributes. That is why OEKO-TEX® has strict, long-established rules for the use of its labels and claims, supported by clear labeling and communication guidance. Brands and retailers are responsible for ensuring that claims accurately reflect both the certification scope and the product itself.

Verified Product Claims and Informed Decisions

Independent Testing and Verification

The role of independent verification is to generate reliable data that brands can use to communicate accurately and in line with applicable regulatory and customer requirements.

Hohenstein provides independent testing, certification and technical expertise. Our data, test reports, certificates and labels support verified product claims and help ensure that sustainability communication is grounded in objective, third-party evidence.

Work with our experts

FAQ: OEKO-TEX® and the Empowering Consumers for the Green Transition Directive

Does Directive (EU) 2024/825 apply to US companies?

Yes. If products are marketed to EU consumers, directly or via EU retailers, the Directive can apply to the claims and labels used in EU-facing communications.

Does OEKO-TEX® certification make a product compliant with the Directive?

OEKO-TEX® certification can support compliance by providing independent, third-party verification of specific product attributes. Brands remain responsible for ensuring that all claims are accurate and used correctly.

Can OEKO-TEX® labels still be used in EU marketing?

Yes, provided they are used in line with their defined scope and rules. The Directive requires sustainability labels to be credible, transparent and independently monitored.

Are generic claims like "eco-friendly" still allowed?

Generic environmental claims may be considered misleading unless they are clearly substantiated and explained. Using specific, verified claims is lower risk.

Does the Directive cover social and durability claims?

Yes. The Directive explicitly includes environmental, social and circularity-related product characteristics, including durability and repairability.

Is this the same as the Green Claims Directive?

No. Directive (EU) 2024/825 is already adopted and sets baseline consumer protection rules. The Green Claims Directive is a separate proposal that would introduce more detailed requirements for environmental claims.

Talk with an expert

More Sustainable Development Resources

Contact
Ben Mead
Managing Director
Hohenstein Americas