Applicability shortlist
The rules most likely to matter, plus the facts that decide whether you are actually in scope.
Reviewed outcome · Primary sources · Two-business-day delivery
Give us one company or project, one jurisdiction, one sector, and one immediate question. Viridis combines Regulatory Radar with human source review to return a concise applicability and deadline snapshot.
$49 one-time founding offer
Technology-assisted screening, not legal advice. We state assumptions, separate binding rules from voluntary frameworks, and link the authorities you should verify.
The rules most likely to matter, plus the facts that decide whether you are actually in scope.
Application and reporting dates checked against current primary sources, with date type clearly labeled.
A prioritized list of what to confirm, collect, or discuss with qualified counsel.
Worked example · India → Germany steel
A fictional Pune steel-component producer shipping 120 tonnes to a German importer demonstrates the exact decision structure. For qualifying 2026 imports, the first annual declaration and certificate surrender is due 30 Sep 2027.
| Decision | Current screen | Next evidence |
|---|---|---|
| Scope | Likely under the example's covered-code and threshold assumptions | Validate CN codes and the importer's aggregate annual tonnage |
| Responsible party | EU importer or indirect customs representative | Confirm account number or permitted application reference |
| Producer handoff | Installation and embedded-emissions evidence is not ready | Map the production route, methodology, evidence owners, and verifier plan |
The public preview also shows the 30-day action plan, official Commission sources, the Q2 2026 price reference, and the facts Viridis refuses to guess.