The membership list can be used to verify that companies in the supply chain are, in fact, CESA members.
It’s best not to assume that a member company is reporting on your company’s products, as per the Regulation. You should contact them to confirm that they are and develop the necessary agreements if they are not.
There are a few scenarios available to you when it comes to assigning responsibility for fee reporting and remittance. If none of these scenarios apply to your situation, you should contact us to determine if appropriate fees are being applied to the regulated products.