Battery packaging, labelling and passport suppliers
UN 4G and 4GV lithium battery boxes, pack labels, laser marking systems and battery passport software: {LISTING COUNT} suppliers, indexed by what they sell and by the codes they publish. A packaging record names the UN code the vendor publishes and, where the vendor states it, the packing instruction the design is sold against, including P908 and P911 for damaged or defective cells [VERIFIED: packing instruction names from the UN Model Regulations, secondary sources, text not read directly, 2026-08-04]. Label records name electrolyte and heat resistance where the supplier states it. Software records name the data carrier and the access tiers. Stock formats, minimum order, lead time and delivery regions sit on a record when the company publishes them. Where a company publishes none of that, the record says so and stays short.
Article 13 of the EU Battery Regulation provides that where marking the battery itself is not possible or not warranted on account of the nature and size of the battery, the labels and the QR code go on the packaging and on the documents that travel with it [VERIFIED: Reg. (EU) 2023/1542 Art. 13, wording recovered from secondary summaries, Official Journal text not read directly, 2026-08-04]. That is why a box maker, a label converter, a laser system builder and a passport platform end up on one purchase order. It is also why they are indexed together here. From 18 February 2027, EV batteries, LMT batteries and industrial batteries above 2 kWh placed on the EU market need a battery passport reachable from a QR code [VERIFIED: Reg. (EU) 2023/1542 Art. 77 and Art. 13(6), corroborated across secondary sources, Official Journal text not read directly, 2026-08-04]. The QR code is Article 13. The passport behind it is Article 77. Both scopes were read here from secondary summaries on 4 August 2026, so check them at source before you write a spec against this page.
What suppliers sell
Where they ship from
How this index works
Inclusion turns on one test. A company gets a record when a page on its own website shows it sells something in the category it is filed under. That page is stored as the source, with the date it was opened. A reseller page carrying no product detail does not pass. Neither does a claim that cannot be read anywhere on the company's own site. Records run alphabetically. No other order exists, so no position exists to sell. Nobody pays to be here. When a source URL dies the record is flagged unverified at the top. It comes down at the next recheck if the link is still dead.
A UN mark belongs to a tested design and its test report, not to a company name. Ask a vendor for the approval number and the authority that issued it, then check the code against your inner packaging and your gross mass, because a 4G box certified with one liner is not certified with another. Nothing here is scored or ranked, since a star rating on a 4GV case is invented. Enquiries go straight to the company and never through a form that resells them. No date is printed for an obligation whose implementing act this site has not confirmed as adopted, which is why the Annex VI Part A general information label appears with its conditions instead of a deadline. Article 13 ties that label to 18 August 2026 or to 18 months after the implementing act enters into force, whichever is later. Adoption of the act was unconfirmed when this page was checked on 4 August 2026 [VERIFIED: Reg. (EU) 2023/1542 Art. 13, secondary sources, adoption unconfirmed as of 2026-08-04].