Learn more about producer registration on our website: https://lnkd.in/gMMWNnhG
Here's a good summary of common questions producers are asking about #EPR compliance. First step - register with CAA by our July 1 deadline! https://lnkd.in/eVVDqc9S
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Learn more about producer registration on our website: https://lnkd.in/gMMWNnhG
Here's a good summary of common questions producers are asking about #EPR compliance. First step - register with CAA by our July 1 deadline! https://lnkd.in/eVVDqc9S
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Here's a good summary of common questions producers are asking about #EPR compliance. First step - register with CAA by our July 1 deadline! https://lnkd.in/eVVDqc9S
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Great update on SB54! Read on!
Here's a good summary of common questions producers are asking about #EPR compliance. First step - register with CAA by our July 1 deadline! https://lnkd.in/eVVDqc9S
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Here's what I'm doing for lunch today (11:30 a.m. - 1 p.m. PT) to support and learn from Nicole Portley. Check out the webinar If you're interested in learning how existing laws can better reduce #toxics in products and packaging, and how these laws might be integrated within EPR laws.
TODAY, Feb. 15 at 11:30 PT, don't miss this FREE webinar on the intersection of EPR and the reduction of #toxic chemicals in packaging. We're thrilled that DEQ's own Nicole Portley will be speaking with experts Anja Brandon, Katie Bailey, Melissa Lavoie, in a webinar hosted by the Product Stewardship Institute. Nicole is DEQ's lead for engagement with and oversight of Producer Responsibility Organizations formed to implement Oregon’s extended producer responsibility law for packaging, paper and food serviceware. 🔄📢 Register here: https://ow.ly/7nRA50QAkJW https://lnkd.in/euRZwqgA #extendedproducerresponsibility
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Interested in learning more about the latest developments in the EU Detergents Regulation? The EU published a proposed regulation that would replace the current Detergents Regulation (Reg. 648/2004) in April 2023. In February 2024, the proposed regulation advanced another step in the EU legislative process: a first reading and vote by the EU Parliament. As a result, an amended version of the proposed regulation was published. This version considers some of the comments submitted by different industry groups. Read this blog for more information about the proposed regulation that addresses market and technical progress such as the development of microbial detergents and digital accessibility of information: https://bit.ly/3wO0imW #Regulatory #Compliance #Sustainability
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Here is my most recent article on the latest developments in the EU Detergents Regulations. Key take aways: First Reading EU Parliament, February 2024 : The European Parliament adopted a legislative resolution on the proposal. Requirements on microbial cleaners remain Elements of the text were modified according to industry comments, which included: - Removal of the requirements for CE Marking for detergents. - Digital Product Passports (DPP) for detergent models rather than batches of production. Post-Brexit U.K. and the proposed regulation U.K. government not planning to do an in-depth review of the existing Detergents Regulation that continues to apply in the U.K. The proposed regulation once finalized, would be applicable in Northern Ireland. #Regulatory #Compliance #Sustainability #detergents #Chemical regulation
Interested in learning more about the latest developments in the EU Detergents Regulation? The EU published a proposed regulation that would replace the current Detergents Regulation (Reg. 648/2004) in April 2023. In February 2024, the proposed regulation advanced another step in the EU legislative process: a first reading and vote by the EU Parliament. As a result, an amended version of the proposed regulation was published. This version considers some of the comments submitted by different industry groups. Read this blog for more information about the proposed regulation that addresses market and technical progress such as the development of microbial detergents and digital accessibility of information: https://bit.ly/3wO0imW #Regulatory #Compliance #Sustainability
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The momentum behind packaging EPR in the US is not slowing down💥 2025 is going to be a big year with packaging EPR requirements being implemented in Colorado, Oregon and California. The first regulatory deadline to register for Colorado is the 1st of October 2024 (it’s a short registration and non obligating). If you sell into Colorado and need advice or assistance with this upcoming regulation please don’t hesitate to contact Valpak and a member of our team will be more than happy to help! #EPR #Enviromentalcompliance #internationalcompliance #Producerresponsibility #Global #USA #PackagingEPR #Valpak #Reconomy
2025 looks like a busy year for brands selling in the US, with environmental reporting requirements for packaging kicking off in Colorado, Oregon & California. First step starts now - the regulatory deadline to register with Circular Action Alliance for Colorado is 1st October 2024 (It's a short registration and non-obligating if you change your mind 😅) #EPR
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🚨 Important Reminder for Businesses 🚨 If your business needs to report data under the Extended Producer Responsibility for packaging (EPR) scheme, you must submit your January to June 2024 data by 1 October 2024. Please note that the Producer Responsibility Obligations (Packaging Waste) Regulations 2007 are still in force. If you're required to report under these regulations, your 2023 data should have been reported by 1st April 2024. For more details, and to see if you need to report, visit: https://lnkd.in/eqUmxRrJ #SustainabilityMatters #PackagingRegulations #EPRCompliance
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🚰 EU Introduces Regulated Substances List: A Fresh Approach to Ensuring Water Safety with Positive Lists 🎯 The European Commission has established a December 2026 deadline to fully implement a robust set of regulations enhancing water safety standards. This regulatory package includes Delegated Regulation (EU) 2024/369 and Implementing Decisions 2024/368 and 2024/365, which together create a comprehensive framework for the approval of substances and testing of materials in contact with drinking water. 📜 A key component of these regulations is the development of European positive lists, detailed in the Delegated Regulation. These lists will identify substances, compositions, and constituents that have been rigorously tested and deemed safe for use in water contact materials. This integration with broader chemicals control legislation ensures a consistent and holistic approach to managing substances that impact public health. ⏩ The phased implementation approach gives manufacturers and industry stakeholders ample time to align with these detailed standards, reinforcing safety, compliance, and sustainability across the board. #WaterSafety #EURegulations #ChemicalSafety #PublicHealth #Sustainability #Manufacturing
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🚨Final Reminder for Businesses 🚨 If your business needs to report data under the Extended Producer Responsibility for packaging (EPR) scheme, you must submit your January to June 2024 data by 1 October 2024. Please note that the Producer Responsibility Obligations (Packaging Waste) Regulations 2007 are still in force. If you're required to report under these regulations, your 2023 data should have been reported by 1st April 2024. For more details, and to see if you need to report, visit: https://lnkd.in/eqUmxRrJ #SustainabilityMatters #PackagingRegulations #EPRCompliance
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EPR • The first step towards compliance with Extended Producer Responsibility (EPR) laws for producers, importers, and brand owners is EPR registration. • Companies must register with the relevant regulatory bodies before manufacturing or importing products that are subject to EPR. • During the registration procedure, specific information must be provided regarding the products, the anticipated amount of trash produced, and the suggested waste management strategy. • The government can track each entity’s accountability and make sure they follow the set rules by registering them. Why Government introduced E.P.R. Authorization? • With the rapid increase in e-waste, G.O.I. reviewed the current legislative choices and found that handing responsibility to makers and importers may be the best method to address such a situation. • Extended Producer Responsibility, in general, refers to a policy-based strategy in which makers are held accountable for the smooth treatment or disposal of post-consumer products. https://lnkd.in/gr8pkjnJ
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