In ISO 14001 Certification in Qatar Consulting an environmental legislation is one of the most crucial parts of the ISO 14001 standard. While the standard does not differentiate between various business sectors, it is much simple to imagine the potential negative effects of a chemical plant or power station not meeting the legal requirements, and the resulting negative impact. Henceforth, given the importance of meeting legislation, what steps can an organization take to make sure that these necessities have come across ahead of an external audit? Does it even make sense to have an ISO 14001 legislation checklist to help in achieving compliance for your company? In this article, we will learn why it does.


Environmental legislation: What does the standard say?

Clause 5 of the standard mentions that every company will have a need to fulfil its compliance duty, and this is enlarged upon in clause 6, which addresses “planning.” As we have seen in the article Compliance needs according to ISO 14001:2015 – What has changed? legislation and the requirements of a company’s interested parties can now be categorized together as “compliance obligations.”


The standard proposes that each company should have an approach to obligations that affect it, decided how they might affect the EMS, and take them into account when planning activities while maintaining documented proof. It henceforth becomes understandable that maintaining an audit checklist could be dormant that helps your company to meet these requirements, so what other elements should you consider before creating the checklist?


Compliance obligations: What is important?

According to the ISO 14001 Services in Oman now that we recognize that legislation and the requirements of interested parties are categorized together, we can decide where to document it, how to examine it, and how to verify it effectively. It makes some sense to consider the following questions:


What channels can be recognized and used to make sure the appropriate legislation is identified?

Who is liable for this within your organization?

Do all the stakeholder requirements consider? Do you need inserts from different interior departments and defined exterior partners to achieve this?

How is external and internal communication managed? Do employees and other stakeholders need to be informed of changes that are remade to make sure the processes and behaviours are modified accordingly?

Is there independent checking that all the correct compliance responsibilities have been recognized and executed?


The most important thing is that you can now establish a checklist that makes sure these functions are allocated, executed, and recorded in a procedure that makes it possible to review their success. The ISO 14001:2015 standard makes let alone a checklist, but legislation checking is one instance where creating a checklist can make much sense from a business point of view.


In ISO 14001 Consultant in Chennai an external certification audit is one method of “independent checking” that most businesses select to use. In this article How to prepare for ISO 14001:2015 certification audit, we looked at audit preparation, and the design of a checklist can also assist with this. As well as being a crucial part of the audit scope, observe with legislation can make sure to meet business objectives, neglect expensive financial fines, and, in many cases, make sure that your business reputation remains the same. Combining the legislation changes, liabilities, dates of change and actions are necessary to transmit to stakeholders can assist achieve this efficiently.


What should be included?

It is crucial to note that the standard defines only that “compliance obligations” are required to be considered when organizing the activities of the EMS, but this checklist can also issue an opportunity for improvement for your business. Examine all activities that could affect your agreement to the legislation itself and decide if they are worth including in your checklist.


For example, if your electronics business must obey RoHS legislation (Restriction of Hazardous Substances), you may have to demonstrate your submission twice annually. However, if you pass on six months without checking and then fix a problem, it may be too delayed to fix it in time for the authorized date. In this case, if you have a legislation issue on your checklist (compliance to RoHS legislation), and your compliance requirements (prove compliance on January 1st and July 1st every year and produce declaration for customers), but you should make sure your checklist gives rise to the liable person to examine the status and make appropriate changes every three months, and one month before the compliance dates.


Thinking like this can not only help your business meet compliance and legislation requirements but can create a good practice that makes sure you stay ahead of the competition too. It is also clever to remember that section 9.1.2 interacts with an evaluation of compliance, so it is good practice to make sure that the output of this new process is frequently verified as being precise too.


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