Accessibility Statement
This Accessibility Statement concerns the website www.okkia.it and is issued by Più Forty S.r.l., as the service provider, pursuant to Italian Legislative Decree No. 82 of 27 May 2022 (implementing EU Directive 2019/882 – European Accessibility Act) and in accordance with the technical standard UNI CEI EN 301 549, with adherence to the Web Content Accessibility Guidelines (WCAG) 2.1, Level AA.
1. COMPLIANCE STATUS
The website www.okkia.it is partially compliant with the requirements set out in Annex A of Italian Legislative Decree No. 82/2022 and in the EN 301 549 standard, due to the instances of non-compliance listed in section 2.
2. NON-ACCESSIBLE CONTENT
The content listed below is not accessible for the reasons indicated. The instances of non-compliance were identified during a technical audit carried out on the homepage, product page, and cart/checkout page.
a) Non-compliance with Italian Legislative Decree No. 82/2022
2.1 – The colour/variant selector on the product page is implemented using non-interactive elements and cannot be operated using a keyboard. Selecting a variant, which is a necessary step in the purchasing process, is therefore not accessible to users navigating without a mouse. (WCAG Criterion 2.1.1)
2.2 – There is no “Skip to content” link. Keyboard users must navigate through the entire header and menu before reaching the main content. (WCAG Criterion 2.4.1)
2.3 – Some controls do not have an accessible name, including access to the reserved area, the currency selector, the search submit button, and the buttons used to remove items from the cart. (WCAG Criterion 4.1.2)
2.4 – Some form fields, including login, registration, newsletter, search, and order process fields, are not programmatically associated with a label. The quantity selection menus in the cart also do not have labels. (WCAG Criteria 1.3.1 and 3.3.2)
2.5 – In the cart and checkout, fields collecting personal data, including first name, last name, email address, street address, city, and postcode, do not expose their purpose through the autocomplete attribute, making assisted form completion more difficult. (WCAG Criterion 1.3.5)
2.6 – The keyboard focus indicator is present on form fields but is suppressed on links and navigation items. As a result, keyboard users cannot identify their current position within the page. (WCAG Criterion 2.4.7)
2.7 – Modal windows and pop-up panels (drawers) do not consistently expose a dialog role, and most do not have an accessible label, resulting in unreliable focus management for users of assistive technologies. (WCAG Criterion 4.1.2)
2.8 – Native browser validation on the fields used during the order process produces accessible messages, but any custom error messages are not programmatically associated with the corresponding fields. (WCAG Criterion 3.3.1)
2.9 – Some links in the product grid on the homepage display a URL as their text instead of a readable label. (WCAG Criterion 2.4.4)
2.10 – Some small-sized text has a contrast ratio against the background below the required threshold of 4.5:1. (WCAG Criterion 1.4.3)
2.11 – Some content embedded through iframes, including widgets and third-party content, does not include a title attribute describing its content. (WCAG Criterion 4.1.2)
b) Disproportionate burden
Not applicable. The service provider does not invoke the disproportionate burden exemption under Article 3-ter of Italian Legislative Decree No. 82/2022. The identified instances of non-compliance can be addressed through ordinary corrective work on the website code and do not involve a disproportionate organisational or financial burden.
c) Content outside the scope of the applicable legislation
The website includes the following third-party content, which is neither produced nor directly controlled by the service provider and whose accessibility depends on the respective providers:
- Trustpilot review widget;
- Video content and players embedded from YouTube;
- Maps provided by OpenStreetMap;
- Google reCAPTCHA anti-fraud protection system, operating in invisible mode.
The service provider endeavours, wherever possible, to select accessible third-party components and to encourage the relevant providers to bring them into compliance.
REMEDIATION PLAN
The service provider has planned the corrective actions required to address the instances of non-compliance listed in section 2, giving priority to the elements that affect the completion of a purchase, including a keyboard-accessible variant selector, the association of labels with form fields, and the identification of field purposes through the autocomplete attribute. Completion of the main corrective actions is expected by February 2027. This statement will be updated once the corrections have been implemented.
3. PREPARATION OF THIS STATEMENT
This statement was prepared on 4 August 2026 following a self-assessment carried out directly by the service provider. The statement was last reviewed on 4 August 2026.
4. FEEDBACK MECHANISM AND CONTACT DETAILS
Più Forty S.r.l. provides a feedback mechanism through which anyone may report cases of non-compliance and request information or content excluded from the scope of the applicable legislation. Reports may be sent to the email address [email protected] or submitted through the contact form available on the website. A response is expected within 30 days of the report.
5. ENFORCEMENT PROCEDURE
In the event of an unsatisfactory response or failure to receive a response within the stated period, users may contact the competent authorities to initiate the complaint procedures provided for under the applicable legislation concerning the accessibility of products and services.
6. INFORMATION ABOUT THE SERVICE PROVIDER
Company name: Più Forty S.r.l.
VAT number: 02262820976
Registered office: Viale Vittorio Veneto 60, 59100 Prato (PO), Italy
Operational headquarters: Viale A. Labriola No. 249, 59013 Montemurlo (PO), Italy