Status: ✅ Approved EU law
For apparel and footwear brands operating in the EU market, the Digital Product Passport (DPP) will be one of the most visible indicators of a company’s environmental performance. In its 2025–2030 Work Plan, the Commission identified apparel and textiles as a top-priority product group for DPP, with the delegated act planned for adoption in 2027. This digital record will provide a thorough overview of an individual product’s impact throughout its lifecycle.
However, focusing only on compliance risks overlooks a bigger DPP opportunity – improving customer relationships through environmental data accessibility. Even though EU-wide implementation is still pending, some fashion brands have already started implementing Digital Product Passports because climate responsibility is part of their DNA, and DPP provides a way to communicate that. For example, Carbonfact’s workwear customer Coverguard is using DPP as a competitive advantage to win over customers through data transparency.
In this article, we’re taking a deep dive into the EU’s Digital Product Passport and what it means for fashion brands. To gain a general understanding of all EU sustainability regulations and their impact on your brand, we recommend reading our EU textile regulations overview.
In June 2024, the Digital Product Passport was officially approved by the EU as part of the Ecodesign for Sustainable Products Regulation (ESPR), a framework regulation that applies to any apparel and footwear company selling in the EU, no matter where they are based.
In short, the ESPR law introduced certain performance requirements for products placed in the European market, as well as information requirements to enhance transparency and sustainability in product design and manufacturing.
One significant aspect of this framework is the introduction of the Digital Product Passport, which serves as a comprehensive digital record for important, product-related information. Think of the Digital Product Passport for textiles as a "digital fingerprint" for your products. Leveraging a data carrier like a QR code, the DPP will include essential information about a product's supply chain, as well as environmental footprint, details about materials used, chemical compliance data, recyclability, and repairability.
You can read our complete deep dive on the Ecodesign for Sustainable Products Regulation for apparel and footwear here.
Under current ESPR legislation, the Digital Product Passport is designed to apply to all apparel and footwear products sold on the EU market, regardless of where the brand is based or its size. The exact scope and timing will be determined when the delegated acts are finalized. These are technical explanatory documents for specific industries that specify the details for textile companies, a concrete timeline, and what specific data should be collected and displayed in the DPP.
The ESPR framework that makes the Digital Product Passport mandatory was approved in June 2024. However, it does only contain high-level information regarding the DPP; there is no textile industry-specific information just yet. These technical details are currently being worked on and will become law in the form of the above-mentioned delegated acts.
Final delegated act for the DPP for textiles is expected to be shared in 2027; fashion brands will then have at least 18 months to implement it (exact timing to be determined in the act itself).
Although footwear is not among the first-priority product groups, the Commission has acknowledged the environmental relevance of footwear and its potential link to eco-modulated extended producer responsibility (EPR) fees under the Waste Framework Directive. As a result, a dedicated study on footwear is expected by the end of 2027 to assess how ecodesign and information requirements, including the DPP, could apply to this category.
While apparel and footwear products already have a physical label that includes information such as material composition or country of origin, the new Digital Product Passport for textiles will require more extensive reporting. A key element of Digital Product Passport reporting will likely be based on the EU's Product Environmental Footprint Category Rules (PEFCR) for the apparel and footwear sector, ensuring consistency across the European Union regulations.
This study, conducted by the EPRS (European Parliamentary Research Service), published in June 2024, lists 16 categories of information that could be contained in the DPP:
Many brands are beginning their Digital Product Passport journey by publishing an initial version now, with a focus on environmental data. This often involves performing a Life Cycle Assessment (LCA) for each product, which captures a product’s full environmental impact – from cradle to grave. See example here.
A Commission-mandated Textile Preparatory Study, published in December 2025, complements the EPRS analysis by assessing which types of data points are technically feasible to collect and scalable at the product level. Rather than defining DPP requirements, the study evaluates real-world data availability across brands and suppliers.
The study indicates that early DPP implementations are most likely to focus on:
This feasibility analysis supports a phased DPP rollout, where essential environmental and product data are implemented first, with more advanced lifecycle and circularity data added over time. We analyse how the DPP phased roll-out could look at the end of this article.
Based on our conversations with apparel and footwear brands preparing for the Digital Product Passport, five requirements consistently surface:
A data carrier (such as a QR code) linking to a unique identifier should be physically present on the product (e.g., on the label) at the time of sale.
The goal is to communicate essential information in a standardized and accessible digital format. Each product should have a unique product identifier that links to a digital record in a database or website. Imagine a QR code or RFID tag. In practice, the Digital Product Passport is expected to be created at the SKU level, rather than for each individual item or as a single average across multiple products. The information should also be easy to access for consumers, retailers, and other stakeholders.
Digital Product Passport displayed on Carbonfact’s platform
Brands like Nobody's Child, Chinti & Parke, and Panerai have already led the way in the industry by implementing the Digital Product Passport.
Working with Carbonfact, Fusion Sportswear co-developed a Digital Product Passport that enables the brand to share product-level environmental information directly with customers, embedding transparency into the product experience. Coverguard, a B2B workwear brand, uses Carbonfact’s Digital Product Passport feature to demonstrate a strong data strategy to its clients, supporting its CSR approach and helping to secure contracts and increase sales.
Although the introduction of the Digital Product Passport has faced delays, this should not be interpreted as a signal to pause. In practice, these delays give brands the necessary time to build the data foundations required for compliance. Had the original timeline remained in place, most brands would have struggled to meet the requirements without high last-minute costs.
Avoid Rushed Implementation
Building the data infrastructure needed for the DPP typically takes a year or more. Supplier data can be incomplete, inconsistent, or spread across multiple systems, such as PLM. Beginning too late increases the risk of data gaps, rushed integrations, and expensive last-minute scrambles.
2027/2028: Your Future Collections Depend on Today’s Data
The products being designed now will enter the market in 2027/2028, precisely when DPP obligations are expected to apply. This means the data collected today will form the basis of your future DPP disclosures. Brands need fully operational data systems well before that point to avoid compliance risks.
For Luxury Brands: There’s a Big, Overlooked Advantage to Launching DPPs
DPP can serve as a powerful authentication tool. SKU-level QR codes and product-specific impact data are extremely difficult to replicate, strengthening anti-counterfeiting and grey-market measures.
This level of data collection and analysis will demand a comprehensive carbon management solution specific to fashion and textile brands. Carbonfact enables you to perform comprehensive environmental LCAs for all of your products – and that’s your starting point.
For now, here’s what to know: the DPP will require numerous KPIs to be reported and displayed. Carbonfact can seamlessly provide a product’s environmental score and other sustainability indicators. We offer robust carbon management, encompassing all emissions categories (Scope 1, 2, and 3) and environmental data points, empowering brands to leverage their data for the creation of a Digital Product Passport. We also operate on the “Measure once, report everywhere” philosophy, which means that we’ll help you gather all the data necessary for you to be able to respond flexibly to any changes in regulations and reuse your data for other regulations like CSRD and French Eco-Score.
Carbonfact is actively involved in efforts to guide the development of the DPP. We are currently working with a consortium of climate tech startups like CommonShare, certification bodies, and brands such as AdoreMe to propose a solution to the DPP at the EU level. As such, we’re following this topic closely and will update as soon as further information is released.
The Digital Product Passport roll-out has not yet been decided on as the details are currently being worked out. These will be published as delegated acts in 2027.
A June 2024 study by the European Parliamentary Research Service (EPRS) outlines recommendations for implementing the Digital Product Passport for textile industry. The study proposes a phased approach, suggesting that the DPP for textiles be rolled out in three phases:
This phase proposes a "minimal and simplified" DPP, focusing on providing essential information. The key elements of this phase include:
Mandatory Information:
To support Life Cycle Assessment, the DPP would also include material weights and transport modes and distances.
Recommendations for Phase 1:
This phase involves the expansion and enhancement of the Digital Product Passport system based on the learnings from the first phase. Key points of this phase include:
Increased information collection:
Recommendations for Phase 2:
Phase 3. Deployment of a “full circular DPP” for textiles on a long-term horizon of 2033.
During this last phase, a “full circular DPP” could be fully deployed to promote circularity in the textile sector.
Complete supply chain integration:
Tracking Throughout Product Life Cycle:
Increased Circularity: