No, this is the adopted text. Its basically an update of the text you linked, which is the regulation from 2020. The relevant part you want might be (38) and (39):
(38) […] A portable battery should be considered to be removable by the end-user when it can be removed with the use of commercially available tools and without requiring the use of specialised tools, unless they are provided free of charge, or proprietary tools, thermal energy or solvents to disassemble it […]
(39) To ensure the safety of end-users, this Regulation should provide for a limited derogation for portable batteries from the removability and replaceability requirements set for portable batteries concerning appliances that incorporate portable batteries and that are specifically designed to be used, for the majority of the active service of the appliance, in an environment that is regularly subject to splashing water, water streams or water immersion and that are intended to be washable or rinseable. This derogation should only apply when it is not possible, by way of redesign of the appliance, to ensure the safety of the end-user and the safe continued use of the appliance after the end-user has correctly followed the instructions to remove and replace the battery. Where the derogation applies, the product should be designed in such a way as to make the battery removable and replaceable only by independent professionals, and not by end-users.
No, this is the adopted text. Its basically an update of the text you linked, which is the regulation from 2020. The relevant part you want might be (38) and (39):
Good post, thanks.
It’s contradictory, what about commercially available specialized tools? Who defines what’s specialized and not?