DIRECTIVE (EU) 2019/882 · IN FORCE SINCE 28 JUNE 2025 EU-HOSTED · GDPR-CLEAN
EAA Compliance

Enforcement tracker / Norway

Norway enforces the EAA (EEA) — not “the EAA”.

Norway applies the accessibility requirements through the EEA Agreement, with an established ICT-accessibility regulator that was enforcing long before the EAA. Its signature instrument is the daily accumulating penalty order: NOK 50,000 per day until the failure is fixed and documented.

StatusActive enforcement InstrumentNational EAA alignment under the EEA Agreement (EAA (EEA)) RegulatorUu-tilsynet (Authority for Universal Design of ICT) PatternDaily penalty orders accumulating until documented remediation
01REGIME

The regime at a glance

One law, one regulator — on the record.

National EAA alignment under the EEA Agreement (EAA (EEA)) is Norway’s transposition of Directive (EU) 2019/882, with EN 301 549 as the presumption of conformity. Obligations for services run from 28 June 2025.

Enforcement runs through Uu-tilsynet (Authority for Universal Design of ICT). The register below and the event feed record how that authority actually behaves — not what the statute merely permits.

Norway — key data
National law
National EAA alignment under the EEA Agreement (EAA (EEA))
Services from
28 June 2025
Regulator
Uu-tilsynet (Authority for Universal Design of ICT)
Standard
EN 301 549 → presumption of conformity
Penalties
Daily accumulating penalty orders (dagmulkt), NOK 50,000/day in issued orders
CURATED REGISTER · UPDATED 17 AUG 2026
02PROCESS

What enforcement looks like here

The daily order, and how documentation stops the meter

Uu-tilsynet issues remediation orders with running daily penalties. The meter stops when remediation is documented — which makes the dated evidence file the direct answer: it is the proof the order asks for.

We build and maintain the file. What to sign and how to respond is a question for your lawyer — the file is what makes their job easy.

Letter or request received — the documented response
  1. Day 0The letter or information request arrivesShort deadline, documentation demanded
  2. Day 0–2Export the regulator response packDated ledger: scans, triage, sign-offs, statement history
  3. Day 2–7Counsel responds with the fileA documented remediation plan replaces blanket admissions
  4. OngoingThe ledger keeps recordingEvery fix lands as dated evidence for round two — if there is one
03PRIORITIES

Statement enforcement & sector priorities

The statement is the first thing they check.

In-scope services must publish accessibility information — and a missing or contradictory statement is the cheapest violation to spot and cite. It is the standard opening move of letters and regulator sweeps alike: no scanner needed, just a look at your footer.

Our statement generator keeps the published statement consistent with your actual evidence — it regenerates from the coverage matrix, so the statement never claims more than the ledger can prove. Enforcement attention in Norway currently concentrates where consumer volume lives:

E-commerce Banking & payment services Passenger transport Telecoms
What an operator here should hold
  • Published accessibility statementConsistent with the evidence — regenerated, not hand-edited
  • Current conformance reportEN 301 549 aligned, continuously maintained
  • Dated remediation recordTriage, fixes and sign-offs on the append-only ledger
  • Authenticated-flow evidenceCheckout and login journeys — where enforcement points first
04EVENTS

The live feed

Norway — enforcement events.

Curated, dated, sourced. Only verifiable events enter the feed — letters, orders, sweeps, proceedings, official guidance. No speculation, no ceiling theatre.

NO · NEWEST FIRSTVERIFIED EVENTS ONLY
  1. order Daily penalty orders in useRemediation orders with accumulating daily penalties — NOK 50,000 per day until the failure is fixed and documented.
05NEARBY

Selling into more than Norway?

The requirements are harmonized; the regulators and search terms are not. Each country page carries its national instrument and pattern.

For operators in the Norway market

Open the file before the letter arrives.

Monitoring, statement, conformance report and ledger — maintained continuously, exportable the day you need them. That is the difference between answering a deadline and negotiating an escalation.