It depends on what "non combustible" means. It seems it's meaning has not been defined in the ammendment.
Indeed, that's essentially the problem. Even more confusing, it says that that CUs should comply with BS EN 61439-3
and shall have enclosures manufactured of non-combustible material. Given that my understanding is that BS EN 61439-3 contains at least some 'combustible' tests(s) (e.g. the 'hot wire' test) it is therefore not clear whether they are saying that they require a degree of non-combustibility (although, as BAS would point out, NON-combustibility can't really have 'degrees'!) over and above that required by the Standard, or whether they are saying that compliance with BS EN 6149-3 is adequate (the "and shall..." words therefore being redundant). All they say is that ferrous metal is "deemed to be an example of a non-combustible material".
As I wrote yesterday, under those circumstances one cannot really blame manufacturers for not producing any plastic ones, since there is no way that they could be sure as to whether or not they were compliant with the new regulation - so very few people would be happy to install any plastic CU come next year.
It really is ridiculous - and there really ought to be some way to 'put pressure on' IET, BSI or JPE/64 to clarify what their regulation actually requires.
Like many others, I'm also sceptical about the whole concept this new regulation, and wonder if it may not result in more, not less, death/injury, particularly amongst 'DIYers', if its interpretation results in a widespread change to metal CUs. However, we are undoubtedly 'stuck with it' - so the least we can ask for is to be told what it actually means (and I won't bother about an "IMO" there - since what I'm saying seems self-evident!). Once we (and the manufacturers) know the answer to that, I feel sure that it ought to be possible for manufacturers to produce compliant non-metal CUs - which is probably what most people would prefer.
Kind Regards, John