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WEEE regulations Update

WEEE regulations Update. LOUISA HATTON Technical Advisor (Producer Responsibility). Current Producer Responsibility regimes in the UK. Packaging Waste (since 1997) The Producer Responsibility Obligations (Packaging Waste) Regulations 2007 End-of-life Vehicles (since 2006)

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WEEE regulations Update

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  1. WEEE regulationsUpdate LOUISA HATTON Technical Advisor (Producer Responsibility)

  2. Current Producer Responsibility regimes in the UK • Packaging Waste (since 1997) • The Producer Responsibility Obligations (Packaging Waste) Regulations 2007 • End-of-life Vehicles (since 2006) • The End of Life (Producer Responsibility) Regulations 2005 • Waste Electrical and Electronic Equipment (since July 2007) • The Waste Electrical and Electronic Equipment Regulations 2006

  3. Why a WEEE Directive? From the Directive: “The amount of WEEE generated in the Community is growing rapidly. The content of hazardous components in electrical and electronic equipment (EEE) is a major concern during the waste management phase and recycling of WEEE is not undertaken to a sufficient extent.”

  4. UK Implementation • the Waste Electrical and Electronic Equipment (WEEE) Regulations 2006 - UK SI.2006 No. 3289 - cover product marking, take-back and recycling obligations, etc for the UK • the Waste Electrical and Electronic Equipment (Waste Management Licensing) (England and Wales) Regulations 2006 SI. 2006 No.3315 - cover treatment and site licensing in England and Wales - separate provisions for Scotland and Northern Ireland

  5. Amendment Regulations • The WEEE (Amendment) Regulations 2007 (SI 3454) have come into force; • these correct a few typographical errors in the 2006 Regulations, clarify some issues and change some deadlines for compliance period 2 (e.g. for issuing evidence)

  6. Who’s affected? • ‘Producers’ of electrical or electronic equipment (EEE); • distributors of household EEE; • WEEE storage and refurbishment sites can register new exemptions from Waste Management Licensing; • treatment sites have new treatment standards to meet; • local authorities can put forward their sites as ‘Designated Collection facilities’ (DCFs); • business end-users will have obligations to finance the treatment and recycling of their WEEE in some circumstances

  7. Packaging v WEEE • producers can only register with a Producer Compliance Scheme • no de minimis for producers • no group registration • treatment and recovery obligations • funded by manufacturers, importers and re-branders • separate funding for household and non-household equipment • producers can register with us or a Producer Compliance Scheme • 50t or £2m turnover de minimis • group registration • recovery obligations • funding shared across the packaging supply chain from manufacturers of packaging materials through to sellers of packaged goods • no distinction between household and business packaging

  8. Stats • ~ 4,850 producers registered • ~1.5mt of household EEE and 0.5mt of new equipment declared • 40 Producer Compliance Schemes • ~170,000t of WEEE separately collected in first 6 months • ~106,000 hits on our WEEE home page last year

  9. Issues • Trading between compliance schemes • Evidence of recovery and recycling • Scope • Freeriders • Waste management licences and WEEE modifications • Data reporting

  10. What are we trying to achieve? • diversion of waste from landfill; • removal of hazardous components / substances; • improved standards of operation at treatment sites; • higher levels of recycling • no increase in fly-tipping or illegal export of WEEE

  11. Thank You

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