Extended Producer Responsibility (EPR) and Producer Responsibility Organizations (PRO)

 
G
L
O
B
A
L
 
B
E
S
T
 
P
R
A
C
T
I
C
E
S
O
N
 
E
P
R
 
Sebastian Frisch
BlackForest Solutions GmbH
20
th
 March 2023
 
2
 
1.
Introduction BlackForest Solutions
2.
What is Extended Producer Responsibility (EPR)?
3.
Experiences from the German EPR Packaging System
4.
The French EPR System - CITEO
5.
Europe EPR Program Comparison
 
A
GENDA
 
07 March 2024
 
source: BlackForest Solutions
 
Tailored A-Z waste management
solutions
 
More than 200 consultancy projects in fields of
hazardous & non-hazardous waste
management.
 
WEEE PRO OPERATOR IN
INDIA. Implementation
partner in Egypt, Algeria
- 
Consortium with GIZ GmbH
 
07 March 2024
 
3
 
D
e
f
i
n
i
t
i
o
n
 
o
f
 
E
x
t
e
n
d
e
d
 
P
r
o
d
u
c
e
r
 
R
e
s
p
o
n
s
i
b
i
l
i
t
y
 
An environmental policy approach in which a 
producer’s responsibility 
for a
product is 
extended to the post-consumer stage of a product’s life cycle
Source: OECD 
https://www.oecd.org/env/tools-evaluation/extendedproducerresponsibility.htm
 
4
 
 
07 March 2024
 
“Polluter pays“ principle
 
 
Cost not to be covered by municipal waste fees to citizen
No cost for municipalities
No cost for last user / at the point of „disposal“
 
 = Producers to finance 
collection, sorting and recycling
 
W
HAT
 
IS
 
A
 PRO?
 
PRODUCER RESPONSIBLITY ORGANISATION
The vehicle to operate a collective producer responsibility
 
The link between stakeholders, allowing them to focus on their core business
 
 
legal entity which 
organises the compliance of producers with EPR 
obligations
and/or targets
 
 
Offers a more cost-efficient solution than individual EPR solutions 
on the basis
of identical achievements. It is also sometimes mandatory to join a PRO.
 
 
 
5
 
07 March 2024
 
PRO SETUP - BASIC FLOW AMONG STAKEHOLDERS
 
source: LANDBELL GROUP
 
6
 
07 March 2024
 
T
ERRITORY
 
The territory where the EPR initiative must be taken into consideration in order to design a practical
solutions.
 
Is EPR to be deployed at 
national
 level? 
Local
 level? 
Regional
 level?
 
What are the 
characteristics of the territory
?
Geography, demography, economy, infrastructures available…
 
What 
particular challenges 
are to be considered?
 
EPR is not « one size fits all »!
 
 
7
 
07 March 2024
 
EXPERIENCES
 
FROM
 
THE
 
GERMAN
 
EPR
PACKAGING
 
SYSTEM
 
 
8
 
07 March 2024
 
The German EPR System
 
07 March 2024
 
9
 
Producer
Participation in the EPR
scheme or take-back
 
Financial 
responsibility
(100 %)
 
Shareholding
 
System
operator 1
 
Waste disposal
service provider
 
Competition
 
10 system operators
 
System
operator 2
 
System
operator n
 
Competition
 
source: EPR MENA Broschure
 
GERMAN
 
PACKAGING
 
EPR
 
10
 
S
COPE
 
OF
 
THE
 R
EGULATIONS
 
WHO?
 
The Producer 
(means the obliged company)  is the first person commercially (also free
 
of charge if applicable) providing 
b2c packaging 
filled with goods in Germany to a third
 
party with the aim of distribution, consumption or use.
 
WHAT?
 
Sales packaging 
is sales or service packaging which typically accumulates as waste for
 
private households or equivalent sources of waste generation to these.
 
07 March 2024
 
NEW COMPULSORY DEPOSIT FOR FOLLOWING ONE-WAY DRINKS 
(§31)
Drinks with a whey content of more than 50 %
Carbonated fruit and vegetable drinks
 
ONE WAY / REUSABLE : CLEAR MARKING AND VISIBLE CUSTOMERS
INFORMATION ON POINT OF SALE (§32)
Applies to mail order shopping, stationary and online retailers
 
 
Extended Obligation for Beverage Packaging
 
11
 
07 March 2024
 
source: LANDBELL GROUP,
              BlackForest Solutions
 
Duties for Notification for Producers
 
12
 
+
 
07 March 2024
 
source: LANDBELL GROUP,
              BlackForest Solutions
 
Obligation of Data Reports 
(§ 10)
 
13
 
Producers
 are also 
obliged
 to 
immediately
 
transmit
 
to the Central Office 
all
 
the
packaging information they also provided to their compliance scheme within the
scope of their contract, specifying at least the following data 
 - incl. subsequent
quantity changes:
1. 
 
Type 
of material and 
weight 
of packaging;
2. 
 
Name of the system
 where system participation is effected;
3. 
 
Period of contract and reporting frequency
 
No quantity thresholds for reporting to the Central Office!
Quantity thresholds only in Declaration of Completeness (§ 11)
 
Easy
 
matching of data
 with system reports is possible - 
because both
data reports go to the Central Office
 = 
Transparency.
 
07 March 2024
 
source: LANDBELL GROUP,
              BlackForest Solutions
 
Fines
 
14
 
In case of non-registration
, or of distribution of goods where the manufacturer has not correctly
registered the brands they are distributing, there is a potential fine of up to 
100,000 EUR
 
non-participation in a compliance scheme 
may be punished with a fine of up to 
200,000 EUR.
 
Failure to report packaging data 
to  the Zentrale Stelle will result in fines of up to 
€10,000€
 
Failure in the submission of the Declaration on completeness 
may result to fines of up to 
€100,000
 
07 March 2024
 
The French EPR System - CITEO
 
07 March 2024
 
15
 
CITEO
 
Producer
Participation in the EPR
scheme or take-back
 
Financial 
responsibility
(80 %)
 
Shareholding
 
Monopoly
for proposal
 
Municipality 1
 
Municipality 2
 
Municipality 3
 
Financial 
responsibility
(20 %)
 
Waste disposal
service provider
 
Organisational responsibility is transferred
from CITEO to the local authorities
 
Competition
 
source: EPR MENA Broschure
 
EUROPE
 
EPR
 
PROGRAM
 
COMPARISON
 
07 March 2024
 
16
 
source: LANDBELL GROUP,
              BlackForest Solutions
 
T
H
A
N
K
 
Y
O
U
 
F
O
R
Y
O
U
R
 
A
T
T
E
N
T
I
O
N
!
 
 
www.blackforest-solutions.com
 
17
 
 
www.blackforest-solutions.com
Slide Note
Embed
Share

This informative content delves into the concept of Extended Producer Responsibility (EPR) and the role of Producer Responsibility Organizations (PRO) in waste management. It covers EPR definitions, experiences from different EPR systems, and the setup flow among stakeholders. The discussion emphasizes the shift of producer responsibility to the post-consumer stage of a product's lifecycle, highlighting the environmental and economic benefits. Explore the intricacies of EPR and PRO to promote sustainable waste management practices.

  • EPR
  • PRO
  • Waste Management
  • Sustainability
  • Environmental Policy

Uploaded on Mar 08, 2024 | 2 Views


Download Presentation

Please find below an Image/Link to download the presentation.

The content on the website is provided AS IS for your information and personal use only. It may not be sold, licensed, or shared on other websites without obtaining consent from the author. Download presentation by click this link. If you encounter any issues during the download, it is possible that the publisher has removed the file from their server.

E N D

Presentation Transcript


  1. GLOBAL BEST PRACTICES GLOBAL BEST PRACTICES ON EPR ON EPR Sebastian Frisch BlackForest Solutions GmbH 20thMarch 2023

  2. AGENDA 1. Introduction BlackForest Solutions 2. What is Extended Producer Responsibility (EPR)? 3. Experiences from the German EPR Packaging System 4. The French EPR System - CITEO 5. Europe EPR Program Comparison source: BlackForest Solutions 2 07 March 2024

  3. WEEE PRO OPERATOR IN INDIA. Implementation partner in Egypt, Algeria - Consortium with GIZ GmbH Tailored A-Z waste management solutions More than 200 consultancy projects in fields of hazardous & non-hazardous waste management. 07 March 2024 3

  4. Definition Definition of Extended Producer Responsibility An environmental policy approach in which a producer s responsibility for a product is extended to the post-consumer stage of a product s life cycle Source: OECD https://www.oecd.org/env/tools-evaluation/extendedproducerresponsibility.htm Polluter pays principle Cost not to be covered by municipal waste fees to citizen No cost for municipalities No cost for last user / at the point of disposal = Producers to finance collection, sorting and recycling 07 March 2024 4

  5. WHAT IS A PRO? PRODUCER RESPONSIBLITY ORGANISATION The vehicle to operate a collective producer responsibility The link between stakeholders, allowing them to focus on their core business legal entity which organises the compliance of producers with EPR obligations and/or targets Offers a more cost-efficient solution than individual EPR solutions on the basis of identical achievements. It is also sometimes mandatory to join a PRO. 5 07 March 2024

  6. PRO SETUP - BASIC FLOW AMONG STAKEHOLDERS PRODUCERS EEE/BATTERIES/PACKAGING SERVICE for registrations, declarations, reporting, collection and treatment of waste EEE, packaging and batteries, documentation DATA & FINANCING CONTRACT FOR TREATMENT INFORMATION CONSUMER/ PRODUCER RESPONSIBILITY ORGANIZATION PRO SORTING AND RECYCLING PROFESSIONAL USERS RECYCLING CERTIFICATES RETURN OF WASTE COLLECTION CERTIFICATES CONTRACT FOR COLLECTION COLLECTION source: LANDBELL GROUP 6 07 March 2024

  7. TERRITORY The territory where the EPR initiative must be taken into consideration in order to design a practical solutions. Is EPR to be deployed at national level? Local level? Regional level? What are the characteristics of the territory? Geography, demography, economy, infrastructures available What particular challenges are to be considered? EPR is not one size fits all ! 7 07 March 2024

  8. EXPERIENCES FROM THE GERMAN EPR PACKAGING SYSTEM 8 07 March 2024

  9. The German EPR System 10 system operators System operator 1 Producer Participation in the EPR scheme or take-back Waste disposal service provider System operator 2 Competition Competition Financial responsibility (100 %) Shareholding System operator n source: EPR MENA Broschure 07 March 2024 9

  10. GERMAN PACKAGING EPR SCOPE OF THE REGULATIONS WHO? The Producer (means the obliged company) is the first person commercially (also free of charge if applicable) providing b2c packaging filled with goods in Germany to a third party with the aim of distribution, consumption or use. WHAT? Sales packaging is sales or service packaging which typically accumulates as waste for private households or equivalent sources of waste generation to these. 10 07 March 2024

  11. Extended Obligation for Beverage Packaging NEW COMPULSORY DEPOSIT FOR FOLLOWING ONE-WAY DRINKS ( 31) Drinks with a whey content of more than 50 % Carbonated fruit and vegetable drinks ONE WAY / REUSABLE : CLEAR MARKING AND VISIBLE CUSTOMERS INFORMATION ON POINT OF SALE ( 32) Applies to mail order shopping, stationary and online retailers source: LANDBELL GROUP, BlackForest Solutions 07 March 2024 11

  12. Duties for Notification for Producers ... before putting packaging into circulation 2. 1. 3. 4. System Participation (or evtl. industry solutions) Registration Quantity Reports Declaration of Completeness Dual System Central Agency | ZSVR LUCID + Publication of ALL registered manufacturers/distributors by the Central Office = full transparency source: LANDBELL GROUP, BlackForest Solutions 07 March 2024 12

  13. Obligation of Data Reports ( 10) Producers are also obliged to immediately transmit to the Central Office all the packaging information they also provided to their compliance scheme within the scope of their contract, specifying at least the following data - incl. subsequent quantity changes: 1. Type of material and weight of packaging; 2. Name of the system where system participation is effected; 3. Period of contract and reporting frequency No quantity thresholds for reporting to the Central Office! Quantity thresholds only in Declaration of Completeness ( 11) Easy matching of data with system reports is possible - because both data reports go to the Central Office = Transparency. source: LANDBELL GROUP, BlackForest Solutions 07 March 2024 13

  14. Fines In case of non-registration, or of distribution of goods where the manufacturer has not correctly registered the brands they are distributing, there is a potential fine of up to 100,000 EUR non-participation in a compliance scheme may be punished with a fine of up to 200,000EUR. Failure to report packaging data to the Zentrale Stelle will result in fines of up to 10,000 Failure in the submission of the Declaration on completeness may result to fines of up to 100,000 07 March 2024 14

  15. The French EPR System - CITEO Monopoly for proposal Producer Participation in the EPR scheme or take-back CITEO Organisational responsibility is transferred from CITEO to the local authorities Financial responsibility (80 %) Shareholding Municipality 1 Waste disposal service provider Financial responsibility (20 %) Municipality 2 Municipality 3 Competition source: EPR MENA Broschure 07 March 2024 15

  16. EUROPE EPR PROGRAM COMPARISON Germany France Portugal Program Scope Residential some IC + I Residential some away from home Residential IC + I Cost coverage Full Partial Partial Profit/ Non-Profit For Profit Not for profit Not for profit Awareness Role Low High medium Funding Fees Modulated fees Fees Competition/ Monopoly Competition Monopoly Competition PRO Governance Shareholder Shareholder + State Shareholders Recycling rate (2017) 69,9 % 68,1 % 55,3 % source: LANDBELL GROUP, BlackForest Solutions 07 March 2024 16

  17. T THANK HANK YOU YOUR YOUR ATTENTION ATTENTION! ! YOU FOR FOR www.blackforest-solutions.com 17 www.blackforest-solutions.com

Related


More Related Content

giItT1WQy@!-/#giItT1WQy@!-/#giItT1WQy@!-/#giItT1WQy@!-/#giItT1WQy@!-/#giItT1WQy@!-/#giItT1WQy@!-/#giItT1WQy@!-/#giItT1WQy@!-/#