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Electronics Recycling Across the U.S.

Electronics Recycling Across the U.S. IL Counties Solid Waste Management Association Annual Conference 2018 Jason Linnell, National Center for Electronics Recycling. About NCER. National Center for Electronics Recycling:. Non-profit 501c3, est. 2005, in Vienna, WV

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Electronics Recycling Across the U.S.

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  1. Electronics Recycling Across the U.S. IL Counties Solid Waste Management Association Annual Conference 2018 Jason Linnell, National Center for Electronics Recycling

  2. About NCER National Center for Electronics Recycling: • Non-profit 501c3, est. 2005, in Vienna, WV • Involved in Federal, State & Association Projects • Conduct Research, Run Collection Programs • Partner with NERC on Electronics Recycling Coordination Clearinghouse (ERCC) • Manage Oregon State Contractor Program, Vermont State Standard Plan, administer ERRO Illinois Manufacturer Clearinghouse • Our Mission: Dedicated to the development and enhancement of a national infrastructure for the recycling of used electronics in the U.S.

  3. State Law Overview and Major Challenges • State Laws – How did we get here? • Challenges – then and now • Interest in IL developments • Outlook for future

  4. States with E-Scrap Laws • States highlighted in orange have some type of electronics recycling program law

  5. 2003: California • 2004: Maine • 2005: Maryland • 2006: Washington • 2007: Connecticut, Minnesota, • Oregon, Texas, North Carolina • 2008*: New Jersey, Oklahoma, Virginia, W. Virginia, Missouri, Hawaii, Rhode Island, Illinois, Michigan • 2009: Indiana, Wisconsin • 2010: Vermont, South Carolina, New York, Pennsylvania • 2011: Utah • 2014: DC • 2015-2018 - none 25 State Program Laws + DC

  6. Overall Trend No State over 7 lbs per capita as of 2017

  7. Used Electronics Generation and Storage Trends Wildcard: Small Appliances Responsible for 55% by weight of 4.9 billion lbs of devices estimated ready for end-of-life treatment in 2015 Not currently included in state programs in the US; estimated in-home storage of 2.5 billion units by 2020 Computers Little change in generation or storage in next 5 years • Flat Panel TVs • Most weight stored: 35% of devices stored in 2015 • (excl. small appliances) • Generation (by weight) expected to increase 59% by 2020, with little change in volumes of devices stored in-home • Phones & Tablets • Over 50% (by unit) of devices stored and generated in 2015 • (excl. small appliances) • Generation and storage (by units) expected to increase 35%-40% for both categories by 2020 • CRT TVs • 20% of weight generated in 2015 • (excl. small appliances) • Generation (by weight) expected to decrease 77% by 2020; stored to decrease by 89% Printers Little change in generation or storage in next 5 years, but are the second-highest stored device (by weight)

  8. Forecast Collection Total collection volume and weight Weight of devices collected decreases Flat Screen TV CRT TV Phones & Tablets Flat Screen TV CRT TV Tablets Smartphones Flat Screen TV CRT TV Number of devices collected increases Smartphones Tablets Millions of units

  9. State Legislative Activity 2018 • Down compared to 2016-17 • Legislation proposed but no further in: MA, MN, NY, PA, WI What Passed? • ME - changes passed 2017 (now all market share, add 3D printers) • Only CT, OR, and RI now left with any element of “returns” or return share • IL – added anti-trust protections for manufacturer clearinghouse, clarified methodology for manufacturer responsibility

  10. Major Trends and Concerns • Standstill on new state laws since 2010 (*2014 DC); focus on amendments • Still CRTs and markets – fewer stockpiling, abandonment concerns; new challenges with mercury LCDs • Other markets – plastics: do lbs count if landfill/energy recovery? • Changing product scope – what should be covered? • Some industry discussions on new potential funding model, such as eco-fees, but no proposals yet • Light-weighting – how does it impact targets and manufacturer-funded infrastructure

  11. Interest in Illinois Developments • Many states, manufacturers, recyclers, struggling with how to adapt programs to declining weight with targets • IL offers one approach, others watching how it progresses • Manufacturers involved in Clearinghouse Rules, working through group plans for implementation • All covered manufacturers working through Clearinghouse for 2019 • Other options – “eco-fee” on new devices, covers costs of returns • Tie goals to previous collection year • Limited takeback states – no goals, but fewer options and returns

  12. “Key Issues” from 2013 Summit • Product Scope – what’s in/what’s out and how to keep up • Targets/Pounds – push and pull different to for various actors (lbs still increasing then); market share weights were already declining – impacts targets • CRT Management – limited markets, costs, stockpiling starting • Collection – “leakage” of valuable items, raising costs for remaining devices, not going to recyclers with oversight.

  13. 2015 Report Conclusions Overall, stakeholder consensus was that the system, such that it is, is broken, no clear solution is currently on the table, but the status quo is no longer acceptable to any actor. There was slightly more optimism around the potential for a national framework, possibly industry-led, to better coordinate current efforts in the United States. For improvement 3 areas highlighted: • Education: Educating all actors involved in managing used electronics, and needs to have targeted messaging. • Collection: Increased and more systematic collection (e.g., permanent collection points rather than events) are needed to reduce the uncertainty of product volumes and product mix. • Innovation: Innovation is needed to improve the way used devices can be re-purposed, reused, or repaired to support the reuse market. Innovation is also needed challenge here is to develop cost-effective systems that can produce a broader selection of purer streams of materials, which can reap higher prices in the commodity markets. Additional work also needed around success metrics and forecasting tools to enable better estimates of available material to enable medium to long-term investments in the used electronics management system. Contents are proprietary and confidential.

  14. Outlook • Declining pounds present new challenges – targets, funding levels, etc. • States still looking to modify due to challenges • Still no new state laws (*DC) since 2011, will we ever have #26? • Which electronics NEED to be covered/funded by laws? What criteria will we use in the post-CRT future? • Possible federal approach - industry discussion stage

  15. Thank You! www.electronicsrecycling.org Jason Linnell, NCER Phone: (304) 699-1008 jlinnell@electronicsrecycling.org www.ecycleclearinghouse.org www.electronicsrecycling.org

  16. Clearinghouse Facts • 56 Counties submitted opt-in forms by the 3/1/18 • Total population covered – 11.58 million or 90% of IL population • 87 Registered Manufacturers for 2019 • Electronics Recycling Representative Organization (ERRO) moved forward to create a CERA Clearinghouse for 2019 • ERRO – non-profit with manufacturer board, no staff • Issued RFP in Feb 2018 for a Clearinghouse Administrator, selected NCER with MRM

  17. What the Clearinghouse Does/Doesn’t Do • DOES help manufacturers collectively meet the requirements to implement a statewide “manufacturer e-waste program” in Illinois through a joint Plan • DOES administer manufacturer obligation percentages within the Program Plan, request existing relationship preferences, and then allocate opt-in counties to individual manufacturers or groups • DOES set rules for manufacturer or designated group participation • DOES establish an auditing program for verifying reported pound totals and collector practices • DOES compile information required and submit Program Plan to IEPA

  18. ERRO Statement on insurance • The Electronics Recycling Representative Organization (“ERRO”) is a not-for-profit organization administering the manufacturer clearinghouse as required under the Illinois Consumer Electronics Recycling Act (“CERA”). • As part of ERRO’s operation of the clearinghouse, participating manufacturers were requested to enter into a participation agreement with the ERRO.  Section 6(d) of this participation agreement calls for specific levels of required insurance for recyclers providing services to the participating manufacturer.  These insurance requirements are intended to be limited to actual recyclers who are performing activities including sorting, disassembling, dismantling, and/or shredding of collected covered electronic devices.  • These insurance requirements are not intended to cover transporters whose sole activity is to pick up collected covered electronic devices from a collection site and deliver said devices to the recycler.  While recyclers, group plans, and manufacturers should ensure that these transporters have obtained all legally mandated or required insurance coverages, the ERRO’s participation agreement is not intended to place any additional level of insurance requirements on these transporters.  The ERRO understands that the definition of a Recycler under CERA appears to apply to these transporters.  For the purposes of the ERRO’s participation agreement only as it pertains to Section 6(d), the ERRO will not be utilizing the CERA definition of a Recycler. • The ERRO hopes that this statement will help clear up any confusion regarding this issue as it pertains to the ERRO’s participation agreement. 

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