China’s GB 46028-2025 Stone Safety Standard: What Quartz Buyers Should Verify

GB 46028-2025 China stone safety standard showing the issue date, implementation date and building decorative stone requirements.

Prepared by: AsiaQuartz Editorial Team
Technical review by: AsiaQuartz Product, QC & Supply Chain Team
Last updated: July 2026

Status on July 31, 2026: GB 46028-2025, Safety Technical Requirements for Building Decorative Stone, was published on August 1, 2025 and takes effect on August 1, 2026. It is a mandatory Chinese national standard. This guide is commercial procurement guidance, not a clause-by-clause legal interpretation.

A new mandatory Chinese standard is about to enter force, and the stone industry has reduced it to a memorable headline: thin stone cannot be dry-hung on walls. That summary is useful for attracting attention, but it is too broad for purchasing decisions.

GB 46028-2025 covers building decorative natural stone, engineered or agglomerated stone, and certain adhesives and protective agents used in production or installation. For an international quartz buyer, the practical question is not simply, “Is the factory compliant?” It is:

  • Does the standard apply to this product, use and transaction?
  • Which clause and test method support the supplier’s claim?
  • Does the evidence identify the same SKU, construction and production route being shipped?
  • What separate destination-country requirements still apply?
Scope of GB 46028-2025 covering quartz engineered stone, natural stone and common building applications.

1. What the Official Record Confirms

The National Public Service Platform for Standards identifies GB 46028-2025 as a mandatory national standard under the Ministry of Industry and Information Technology. Its official scope covers safety technical requirements, test methods, inspection rules and other requirements for building decorative natural stone, engineered stone, and relevant adhesives and protective agents.

ItemOfficial statusBuyer implication
StandardGB 46028-2025Use the exact number and edition in supplier requests.
Chinese title建筑装饰石材安全技术要求Ask suppliers and laboratories to quote the same title.
Publication dateAugust 1, 2025Do not confuse publication with effective date.
Effective dateAugust 1, 2026Evidence and contracts should use the effective edition from that date.
Standard typeMandatory national standardA voluntary company certificate is not a substitute for required product evidence.
Mechanical stone wall cladding system illustrating the minimum panel thickness requirement under GB 46028-2025.

2. The Most Important Boundary: Dry-Hung Wall Stone Is Not the Same as a Countertop Slab

The standard contains requirements for stone panels used in dry-hung installations. That is a mechanically fixed wall or façade application. It is not the same construction condition as a kitchen countertop supported by cabinets, a vanity top, a furniture panel or a cut-to-size component bonded to a substrate.

Do not turn a dry-hanging rule into a universal thickness rule. A statement such as “stone under 20 mm is prohibited” is incomplete unless it identifies the material category, finish, application and installation method. A 15 mm countertop slab and a dry-hung exterior panel are different products in different risk conditions.

Before asking whether a slab is compliant, define the intended use in writing:

  • countertop or vanity;
  • interior bonded wall panel;
  • interior mechanically fixed panel;
  • exterior façade or dry-hung cladding;
  • flooring, stairs or other architectural component.

The supplier should then map the product to the relevant standard clause and test report. A generic statement that “our factory meets the new GB standard” is not enough.

3. What the Standard Does — and Does Not — Prove for an Export Buyer

It can strengthen the factory’s domestic quality-control baseline

A mandatory product-safety standard can push factories to formalize product classification, testing, inspection records and control of adhesives or protective agents. That is useful to buyers because it creates more structured evidence to request.

It is not an international product approval

GB 46028-2025 does not replace the destination market’s tariff classification, product regulation, workplace-silica rules, building code, food-contact requirements, project specification or customer warranty terms.

It does not automatically certify every export SKU

A factory may produce multiple slab constructions, thicknesses, formulations and product families. Evidence for one product should not be assumed to cover another. Export buyers should verify whether the report covers the actual product, production facility and test edition.

Avoid unsupported marketing language. Do not advertise “GB 46028 certified,” “China safety approved,” or “fully compliant with all international standards” unless you possess product-specific evidence and understand exactly what the claim means. A safer statement is: “Product-specific reports are available for review against the agreed specification and applicable standards.”

4. Six Documents to Request from the Supplier

  1. Product classification statement. Identify whether the item is resin-bonded engineered stone, inorganic engineered stone, natural stone or another construction.
  2. Application statement. Countertop, bonded interior panel, dry-hung interior panel, exterior cladding or another use.
  3. Clause-and-test matrix. The supplier should identify which GB 46028-2025 requirements apply to the product and which test method supports each claim.
  4. Product-specific test reports. Reports should identify the legal manufacturer, factory, SKU, thickness, finish, specimen description, test method, report date and result.
  5. Batch or production traceability. Link the approved product and report to the production lot, slab labels, packing list and shipping documents.
  6. Change-control statement. Require written notification before changes to resin, aggregate, filler, reinforcement, backing, protective treatment, production facility or slab construction.
Stone testing equipment and mandatory performance items reviewed under the GB 46028-2025 safety standard.

5. How to Review a Test Report

CheckAcceptable evidenceRed flag
Product identitySKU, dimensions, finish and construction match the orderReport uses a broad family name only
ManufacturerFactory and legal entity are identifiableReport belongs to another company or unexplained facility
MethodExact standard and edition stated“Tested to international standard” without a number
ResultMeasured result and requirement shown separatelyOnly “PASS” appears, with no data or acceptance criterion
Laboratory scopeLaboratory competence and relevant accredited scope can be checkedLogo or accreditation mark is used without a verifiable scope
TraceabilityReport sample can be linked to the ordered product and current formulationOld report, different thickness or unclear sample source

6. Questions to Ask a China Quartz Supplier

  1. Which GB 46028-2025 clauses apply to our exact product and intended use?
  2. Which legal entity and facility manufactured the tested sample?
  3. Does the report cover our slab thickness, finish, backing and formulation?
  4. What changed in your QC plan before the August 1, 2026 effective date?
  5. How will you notify us if the formulation, line or production facility changes?
  6. Which destination-market reports remain separate from the GB documentation?
Supplier test reports, product certificates and technical documents used to review compliance with GB 46028-2025.

Pair this standard with our GB-compliant silica-free surface documentation guidance to connect test evidence to a specific product and order.

7. What Buyers Should Do Now

For a repeat countertop order from an established factory, the standard should trigger a documentation review — not panic. Update the purchase specification, request the relevant product reports, and verify that the report identity matches the order.

For a new supplier, project wall application or unusual slab construction, go further: obtain a controlled copy of the standard, ask the supplier or laboratory for a written clause matrix, and have the intended application reviewed by the relevant designer, engineer or compliance professional.

Most importantly, keep three evidence packages separate:

  • China product evidence: applicable GB requirements and factory records;
  • destination evidence: local product, customs, safety and building requirements;
  • commercial evidence: approved sample, PI, QC criteria, packing specification and batch records.

FAQ:

Does the new standard ban 15 mm quartz slabs?

No. The widely discussed thickness provisions relate to defined stone-panel applications, including dry-hung installation. A countertop supported by cabinets is not the same application. Review the product and installation clause rather than applying one headline to every slab.

Does every Chinese export slab need a GB 46028-2025 certificate?

Do not assume that. The standard is a Chinese mandatory national standard, but the evidence required for a particular export transaction depends on product scope, contract, destination rules and the applicable Chinese legal framework. Ask for product-specific reports, not a generic certificate.

Can I use GB compliance as proof that a slab is safe for the United States, Australia or Europe?

No. It can be part of the supplier evidence package, but it does not replace destination-country product requirements, workplace-silica rules, project specifications or customer approvals.

What is the most useful evidence to request?

A product-specific report with measured results, exact method, sample identity, manufacturer, laboratory information and traceability to the current SKU or production route. A one-page marketing certificate is much weaker.

Sources and methodology

Limitations: This article summarizes official status and procurement controls. It is not a substitute for the controlled Chinese standard text or legal, engineering or destination-market advice. Clause applicability should be checked against the actual product and use.

Need a Product-Specific Documentation Review?

AsiaQuartz can help align the slab specification, supplier evidence, pre-shipment QC records and shipping documents for a China or multi-origin quartz order.

Request a Supply Review →

You May Also Like

Table of Contents

Inspired by This? Share it !

Request a Quartz Slab Supply Quote

Tell us your target product, destination market, and estimated quantity. AsiaQuartz will review sample options, current availability, QC support, and container planning.

✅ Your Quartz Quote Request Submitted Successfully!

We have received your inquiry, our sales team will contact you within 24 business hours with detailed quartz pricing & supply plan.

Thanks for choosing AsiaQuartz.

Request a Quartz Supply Quote

Tell us your product requirements, volume, and destination. Our team will review your request and provide suitable supply options.