Packaging Waste

What is Extended Producer Responsibility .? (Updated 2023)

The . Government are committed to protecting the environment and have pledged to achieve Net-Zero carbon emissions by 2050. This signals their strong intent to introduce Extended Producer Responsibility for packaging.


But what is Extended Producer Responsibility? When does it come into effect and how does it affect the packaging industry? In this article, we will explore all there is to know about Extended Producer Responsibility.

What is Extended Producer Responsibility (EPR)

Extended Producer Responsibility (EPR) is a new . legislation that will replace the current Packaging Waste Regulations with a phased implementation from 2023. It is an environmental policy that requires producers to pay the full costs of dealing with the waste they produce from when it is placed onto the market, through to the end of its life.

It is hoped that this will achieve a reduction in the environmental impact of products throughout their life cycle. The idea is that if you produce the pollution, then you should pay for the costs of the impact it can have on the environment as well as on people’s health. So, under EPR proposals, packaging producers will be responsible for the entire cost of recycling the packaging they place on the market including the cost of collection, treatment, and of course recycling.

Research has already been conducted into EPR's impact on seven paper and packaging recycling programs around the world. The results showed that EPR policy accelerated the collection and recycling of target materials to over 75% in British Columbia, Belgium, Spain, Netherlands and South Korea, with Portugal and Quebec over 60%. This shows that the Extended Producer Responsibility is achieving what it is set out to do.

 

Will the Extended Producer Responsibility affect my business?

The guidance expresses that this change will affect all . organisations that handle or supply packaging. For some further information, handling activities are explained under the current Producer Responsibility Obligations (Packaging Waste) Regulation 2007.

The actions that will need to be taken all depend on the size of your organisation. A small organisation is classified as the following:

  • A small organisation's annual turnover that is between £1 million and £2 million and is responsible for handling and supplying 25 + tonnes of empty packaging or packaged items throughout the . in a calendar year.
  • Alternatively, a small organisation's annual turnover is over £1 million and so is responsible for handling and supplying between 25 tonnes – 50 tonnes of empty packaging or packaged items through the . market in a calendar year.

As for a large organisation -

  • Annual turnover is £2 million or more and so large organisations are responsible for handling and supplying more than 50 tonnes of empty packaging or packaged products within a calendar year.


To assist producers in understanding whether they are obligated under Extended Producer Responsibility, DEFRA has developed an online EPR Obligation Checker. This interactive tool will help you access whether you meet the requirements.

In order to use the tool, you will need to know your annual turnover, how your organisation handles and supplies packaging, and the total weight (in tonnes) of packaging you handled and supplied in 2022.


What actions need to be taken under Extended Producer Responsibility?

The actions that will need to be taken depends on the size of your business.


Small organisations

In order to comply:

  • Make sure to record data about all the empty packaging and packaging items you handle and supply through the . market as of 1st January 2023.
  • Register for the EPR for packaging online service. (Registration opens in 2024 for small organisations)
  • Submit your data about the empty packaging and packaged products you handled or supplied through the . market during 2023.

The data for 2023 will need to be submitted between 1st January 2024 and 1st April 2024. Any missed payments will result in a penalty charge.


Large organisations

Similar to small organisations but with some differences. In order to comply your organisation needs to:

  • Record data about the empty packaging and packaged products handled and supplied within the . from 1st January 2023.
  • Register for the EPR packaging online service from April 2023
  • Pay a fee for the environmental regulator
  • Purchase packaging waste recycling notes (PRNs) or packaging waste export recycling notes (PERNS) in order to meet recycling obligations
  • Submit data about empty packaging and packaged goods you handled or supplied throughout the . market.

Large organisations will need to submit data every 6 months. Additionally, any organisations selling goods in the . including distributors, online marketplaces, retailers, and sellers may also need to submit ‘nation data’. Nation Data is information about which country in the . your packaging has been sold, hired, or loaned in. This means that these types of companies will need to look over the packaging they handle in closer detail than they do currently. The 2023 data for this will need to be submitted by December 2024.

What packaging activities come under the Extended Producer Responsibility regulation?

So you may be wondering what packaging activities will be coming under this new regulation. You may need to act if your business does any of the following:

  • Supply packaged goods to the . market under your own brand
  • Place goods into packaging that’s unbranded when it’s supplied
  • Import products in packaging
  • Own an online marketplace
  • Hire or loan out reusable packaging
  • Supply empty packaging

What should the data submission include?

According to Gov.UK, your business should start preparing now to capture your packaging data. The data submission must include:

  • Packaging activity – this is how you supplied the packaging
  • Packaging type – for example, if the packaging is household or non-household
  • Packaging class - whether the packaging is primary, secondary, shipment or tertiary
  • Packaging material and weight

The scheme administrator will then use your 2023 data to calculate your waste management fees for the year 2024 to 2025. It will then use your 2023 data to calculate the amount of PRNS and PERNS you need to buy to cover your recycling operations for 2024. Then from 2025, the scheme administrator will adjust your waste management fees - and this depends on the cost of recycling the materials used in the packaging you handle and supply.

Latest update: Originally set for October 2024, the implementation of EPR fees to local authorities will now take place in October 2025. The government have said that it would use the extra year to discuss the scheme’s design with the supply chain and reduce costs wherever possible. Nevertheless, Defra clarified that all other timelines remain unaffected, requiring producers to report packaging data for 2023 as planned.

For the full information and guidance about the Extended Producer Responsibility regulation, visit Gov.UK.

What are the environmental benefits of EPR?

Research showed that EPR policy accelerated the collection and recycling of target materials to over 75% in British Columbia, Belgium, Spain, Netherlands, and South Korea, with Portugal and Quebec following closely behind at over 60%.

Based on the fact that the new regulations should hold . producers more accountable for their environmental decisions, and that positive change has been seen across the world already, the benefits of EPR include:

1. Incentivising sustainable practices

EPR offers a powerful incentive for the adoption of more sustainable practices throughout the entire lifecycle of your products. By holding producers financially responsible for the end-of-life management of all packaging, EPR encourages businesses to explore eco-friendly materials, design products with easier recyclability in mind, and implement efficient waste reduction strategies.

2. Promoting innovation in packaging design

With the introduction of EPR, packaging producers are driven to think creatively and innovate. The further development of innovative packaging will have a positive environmental impact while still ensuring product protection and market appeal. As a result, we can expect to see a surge in sustainable packaging solutions, such as biodegradable materials, reusable packaging, and reduced material usage.

3. Reducing waste generation

By choosing more sustainable materials and designing products with less excess packaging, overall waste generation can be minimised. As producers take responsibility for the recycling and proper disposal of packaging waste, it reduces the burden on local waste management facilities.

What are the potential challenges and concerns with EPR?

While ERR offers several environmental benefits, certain challenges and concerns are likely to surface for those affected. Some of the potential issues include:

1. Potential cost burdens on businesses

One of the main concerns surrounding the implementation of Extended Producer Responsibility is the potential increase in costs for your business. Compliance with EPR regulations might require additional investments in tracking and reporting systems, waste management infrastructure, and recycling processes. It’s crucial to find a balance that ensures environmental responsibility without imposing excessive financial burdens.

The cost to business will rise substantially, with the current system said to be costing . companies between £200-300 million a year. Extended Producer Responsibility (EPR) is predicted to cost around £2.7bn, which will mean costs for companies could increase 10 to 30 times more.

2. Administrative complexities

EPR implementation involves intricate administrative processes, data collection, and reporting requirements. For businesses, navigating the complexities of EPR compliance can be daunting with businesses having to categorise the packaging into this new categories Simplified and clear guidelines, as well as support from government agencies, will be essential to help businesses adapt smoothly to the new regulations.

At Swiftpak, we understand the need for greater data collection and reporting. That’s why we’ve been working hard to implement a brand-new online tool for our customers. Designed to help track waste types, packaging activity, and waste amounts over set periods, our EPR tool allows you to categorise packaging and download data . For more on this, speak to our friendly team at Swiftpak today – we’d be more than happy to give you a demonstration and answer any questions you may have.

A phased approach: What changes are expected to come?

The . Government plan to implement the new regulations in a phased approach. So, what can we expect to see following the initial implementation?

  • Modulated fees - From 2025, producers will pay fees based on the environmental / recycling qualities of their products. For example, how widely recycled or recyclable a material is. This will require more in-depth data on your packaging materials than is reported in the current system.
  • More detailed reporting – As mentioned above, plans to introduce fees based on environmental qualities of materials will require greater reporting capabilities. The first round of EPR is going into a lot more detail than the previous annual waste reports. It’s expected that the second round of EPR would require even more details – such as:
    1) Packaging components – This follows the Plastic Packaging Tax where packaging must be declared by its individual component. For example, a lid, label, and bottle are all declared as separate packaging components.
    2) Recycling disruptors – UV inks, metal component, varnishes, carbon black colouring etc.
    3) Recycling enablers – think detectable inks that allow for enhanced sorting and reprocessing.
    4) Format of packaging – Is it a box, bottle, jar, bag?
    5) Colour of material
    6) Additional material information – such as plastic polymer type, treated/untreated wood, or paper lamination
  • More frequent reporting – On top of the added details required, data reporting is likely to move from an annual to bi-annual reporting structure (April and October).

Extended Producer Responsibility . and Swiftpak

With 45 years of experience in the packaging industry, at Swiftpak we wanted to explore the Extended Producer Responsibility . so that our customers will know what to expect. If you have any questions about this new regulation, you can either visit the gov.uk website or contact us today and we will be happy to help you as much as we can.