Overview of WEEE & RoHS Directives

Slides:



Advertisements
Similar presentations
UK Sales Meeting – 27 th & 28 th September 2005 What is the point of these Directives ? These directives have been introduced in order to ensure a Europe.
Advertisements

EU RoHS Regulations: Interpretation & Impact for the General Galvanizing Industry ASTM A05 Workshop, May , Norfolk Murray Cook, Director, European.
Trends in the Mechanisms to Facilitate the Acceptance of Conformity Assessment Results Barbara Fliess Trade Directorate, OECD Committee on TBT Workshop.
Cross-Acceptance: UNIFE expectations Alice Polo Safety and Certification Manager.
EU LEGISLATION ON WASTE European Commission WORKSHOP ON EU LEGISLATION WASTE © 2010 Microsoft Corporation. All rights reserved. The Directive on.
European Commission: Environment Directorate General Slide: 1 ECCP Aviation Working Group Mandate and draft work programme Directorate C – Air and Chemicals.
Third Energy Package for Change of Supplier 2009/73/EC.
Management of Waste Electrical and Electronic Equipment (WEEE) Experiences from Sweden and Europe Thomas Lindhqvist IIIEE – Lund University JORNADA INTERNACIONAL.
EP Committee on the Internal Market and Consumer Protection – 22/03/2011 EP Public Hearing: Clear Internal Market Rules for Mopeds, Scooters and Motorcycles.
Environmental law is what we do. TM 1191 Second Avenue Suite 2200 Seattle, WA ELECTRONIC WASTE RECYCLING IN THE EUROPEAN UNION.
Does the Third Package provide the European TSO associations with the tools necessary to find solutions to the European energy challenge ? Pierre BORNARD.
WEEE and RoHS – A Challenge for SMEs Leigh Holloway
Transposition of Consumer Rights ERGEG Monitoring Report Christina Veigl-Guthann, ERGEG Task Force Chair.
Workshop New Approach – Sofia, Bulgaria – 19/20 April Workshop on New Approach Directives for the Engineering Industry Focus on Directives Regulating.
Copyright 2008 QNET LLC1 EU Directive 2002/96/EC on Waste Electrical and Electronic Equipment (WEEE) Presented By Yvonne Halpaus – QNET LLC –
The EC RoHS and WEEE Directives - Stakeholder Update 20 June 2011.
The e-Commerce Sector Inquiry
Source: ec.europa.eu/CEmarking CE marking makes Europe’s market yours!
International Telecommunication Union Committed to connecting the world 4 th ITU Green Standards Week Author Dr. Lu Chunyang Safety and Environment Department.
Copyright Reserved Roadmap and Control for the Implementation of the European RoHS Directive NeoPhotonics Corporation Revision, December 2008.
SWWMG – 12 th March 2014 The WEEE Regulations 2013.
WEEE Directive Waste from electrical and electronic equipment Workshop EU legislation Sofia, 20 April 2006 Willem Canneman.
Impact of the WEEE Directive on Recycling of Gas Discharge Lamps Alex Hawkins - RecoLight.
The New EMC Directive 2004/108/EC and the DTI transposition Brian Jones and Peter Howick.
1 Summary about REACH & RoHS 10 th July 2008 Kwidzyn Poland “Business Support Programme for Bulgaria, Romania, Croatia and Turkey” BSP 2007/
The Electronics Lifecycle Resource TM John Dickenson -- REWAS 2008.
WEEE Producer Responsibility Compliance in Sweden El-Kretsen AB Peter Mellgren Head of market and information.
DEFG H EAUC Oxford University Tuesday 20 th November 2007 Waste Electrical and Electronic Equipment Directive Anna Latham, Senior Consultant.
1 Security-related internal market measures on explosives FEEM AGM, Brussels, 5 June 2013 Julian Foley Desk Officer – Civil explosives and pyrotechnic.
Waste Electrical & Electronic Equipment (WEEE). Waste Electrical and Electronic Equipment (WEEE) Directive Work started in the year 1994 To device a strategy.
A2 DT4 Notes Human Responsibility. 11 Human Responsibility - Laws.
New Implementing Regulation DG Enterprise on the Administrative Requirements for the approval and market surveillance of 2- or 3-wheel vehicles and quadricycles.
Restriction of Certain Hazardous Substances (RoHS)
Management Methods for Controlling Pollution by Electronic Information Products Chris Cleet, Manager of Environmental Affairs Electronic Industries Alliance.
The UK WEEE Regulations What do I need to do? The WEEE Regulations What do I need to do? Outline Objectives of the WEEE Regulations What is WEEE An overview.
LEGISLATION UPDATE Tessa Bowering Senior Environment Officer.
Orgalime meeting RoHS recast proposal Brussels December 3rd, 09.
Regulations on Hazardous Substances (RoHS Directive) EOTC aisbl Rue de Stassart, 36 B-1050 Brussels Belgium Tel Fax
European Commission Rita L’ABBATE Legal aspects linked to internal market DG Enterprise and Industry MARKET SURVEILLANCE COMMUNITY FRAMEWORK UNECE “MARS”
11/07/07EAUC WEEE WEEE Case Study – University of Edinburgh George Reid – Procurement Fleur Rothwell – Energy & Sustainability Office.
Workshop on Recycling of Waste Tirana, Albania September 20 – 21, 2011 Tsvetelina Borissova Filipova Senior Project Manager/Lawyer Environmental.
1 MARKET SURVEILLANCE IN SWEDEN UN-ECE MARS GROUP, Bratislava October 2010 Amina Makboul
2005 RoHS & WEEE implementation Two EU directives set requirements for producers and importers of electrical equipment 1 Content: - The WEEE (Waste Electrical.
CAL/EPA ELECTRONIC WASTE FORUM. WEEE Directive Peggy Harris, DTSC Shirley Willd-Wagner, CIWMB.
Directorate General for Enterprise and Industry European Commission The New Legislative Framework - Market Surveillance UNECE “MARS” Group meeting Bratislava,
The New EU Legislative Framework for Harmonisation Legislation for products Richard Lawson Deputy Director, Technical Regulations Sustainable Development.
Legislation Update: The Packaging Regulations, the WEEE Regulations and the Batteries Directive Tessa Bowering Environment Officer (Waste)
Implementing the new Directives 12 March 2002 Policy Focus Group.
Tim Bannon Product Manager, EMEA RoHS & WEEE Compliance Programme Update.
WEEE Management Model: a Challenge / a Reality José Pérez García CEO Recyclia Madrid, 16 September 2013.
1 World Bank Workshop - 14 March 2006 The disclosure of financial information according to the Transparency Directive by Mina Filippa Legal Advisor/ Rapporteur.
WHO FOOD LAW COURSE UK experience of implementing EU Food Law.
Prof R T KennedyEMC & COMPLIANCE ENGINEERING 1 EET 422 EMC & COMPLIANCE ENGINEERING.
CONFERENCE IMPLEMENTATION OF MARKETS IN FINANCIAL INSTRUMENTS DIRECTIVE -MiFID- Split, June 2007 OPENING SPEECH Ante Samodol President of the Board.
WEEE Producer Responsibility in the UK – Best Practice.
Thomas Kramler DG Competition, European Commission (The views expressed are not necessarily those of the European Commission) E-commerce and EU competition.
Prof R T KennedyEMC & COMPLIANCE ENGINEERING 1 EET 422 EMC & COMPLIANCE ENGINEERING.
1 New EU legislation to prevent trading in illegal timber on the EU market SARAWAK INDUSTRY UPDATE Kuching, 20 July 2009 Vincent van den Berk European.
Ministry of Strategy and Finance of Korea Korea Development Institute (KDI) Ministry of Environment and Water of Bulgaria 2015/16 Korea-Bulgaria Knowledge.
EET 422 EMC & COMPLIANCE ENGINEERING
66 items – 70% of circulated products
15 March 2016, Kiev, Ukraine TWINNING PROJECT
F-Gases.
Other Regulatory Developments
The New Legislative Framework Miniseminar New Legal Framework Reykjavík, 10 December 2008 Doris Gradenegger Unit C1: Regulatory Approach for the Free.
ELENA BODÍKOVÁ Slovak Environmental Agency
EU legislation on Personal Protective Equipment (PPE)
The Electronics Lifecycle ResourceTM
EU Legislation Update ESH TF Shanghai Feb
4th ITU Green Standards Week
Presentation transcript:

Overview of WEEE & RoHS Directives Michael Biggs Hager BEAMA MEMBER HAGER CHAIR WORKING GROUP ON WEEE & RoHS

Why we know about WEEE & RoHS BEAMA sits on all relevant UK Govt working groups on both Directives BEAMA is a key member of ORGALINE The European association for the electrical and mechanical industries The main liaison group with the European Commission including on WEEE and RoHS

What we will cover today The technical background Timescales Scope clarification Implications for buyers

Overview of WEEE & RoHS Directives Why two directives? Legal bases Scopes Implementation Role of Orgalime

WEEE & ROHS - legal bases WEEE directive is under article 175 Article 175 directives specify minimum requirements. This gives the member states the possibility to go further in their own WEEE implementing legislation. Producer/putting on the market – national context RoHS directive is an article 95. Article 95 requires same transposition across EU Intent of Article 95 is to avoid RoHS material bans being applied differently. Freedom to add to the WEEE scope does not extend to RoHS Putting on the market – EU context

WEEE - what is covered? 10 main categories: large household appliances; small household appliances; IT and telecoms; consumer equipment; lighting equipment (not household luminaires or filament light bulbs); electrical & electronic tools; toys, leisure & sports equipment; medical devices, monitoring and control instruments; and automatic dispensers. Equipment which is part of another type of equipment not covered by the directive is not itself in the scope. Components are not in the WEEED in their own right (only insofar as they are part of an equipment which is in, and are still attached when discarded.)

RoHS - what is covered? All products in the WEEE Directive . Except medical equipment and monitoring and control equipment. Household luminaires & light bulbs are included. Otherwise, equipment not in the scope of WEEE is not in the scope of RoHS* either (*in the view of the Commission, UK Govt and several other member states.)

RoHS implementation From 1 July 2006 producers cannot put on the EU market products falling in WEEE-scope categories 1,2,3,4, 5,6,7 and 10, plus domestic luminaires and light bulbs, which contain more than 0.1% by weight in homogenous materials, of: lead, mercury, hexavalent chromium, PBBs and PBDEs, and 0.01% of cadmium. There are some exempted applications of these substances, and requests for others. Categories 8 & 9 are not out of the scope indefinitely. NWML is the Govt-appointed enforcer.

RoHS – what is not required Declarations of conformity are not required. Materials declarations are not required . Marking to indicate compliance is not required. The WEEE’s wheelie bin is not a RoHS compliance mark. Products which do not fall under RoHS do not have to meet its limits, nor do their component parts. It is completely legal to buy and sell such products & components. The responsibility for the product’s compliance with RoHS lies with the final product’s producer. The component supplier is not responsible for checking what his component is being purchased for.

WEEE - Draft Requirements for producers Producers must join/be a scheme Get a registration number via scheme Provide registration number to distributors at time of sale Wheelie bin, producer and date mark all in-scope WEEE Report B2C & B2B sales data separately May handle B2C and B2B responsibilities separately Provide product information Keep records for 6 years May show visible fee. Envt Agencies are Govt-appointed enforcers

WEEE – Draft UK Timetable for producers Issued for consultation 25 July 06 (closes 17 Oct) Laid before Parliament Dec 06 Entry into force 1 January 07 Join approved compliance scheme by 15 March 07 Product marking/infn available from 1 April 07 Provide registration number from 1 July 07 Full producer obligations (B2B) from 1 April 07 Full producer obligations (B2C) from 1 July 07 B2C take-back from 1 July 07

ORGALIME Orgalime, the European Engineering Industries Association, represents 3 industrial branches (metal-working, mechanical engineering and electrical engineering) that manufacture over 27% of total EU manufacturing output (initial estimates put the industry's output at 1575 billion euro in 2005). Orgalime has 34 member trade federations in 23 European countries. The industry represents more than one quarter of the output and a third of the exports of the EU's manufacturing industries. It is the largest manufacturing sector in Europe, and the largest industrial employer in the EU25, providing some 10 million jobs.

WEEE & RoHS - clarification of scopes Directives set out broad scopes indicative lists no comprehensive lists some grey areas Manufacturer’s decision - must show due diligence must work with other manufacturers preferably at EU level

WEEE & RoHS - clarification of scopes By working together mfr agreement at product group level advice from DTI Commission’s FAQs liaison with other EU mfrs through Sector Committees, and Orgalime WEEE task force Our industry achieved cross-border product agreement Resulting in cross-border/cross sector mfr guidance

Notes

Example: Orgalime clarification of scopes

Implications for buyers UK Govt Position Exact guidance on the RoHS directive can be given now – it is implemented in the UK Exact guidance on the WEEE directive cannot be given now – it has NOT been implemented in the UK Therefore BEAMA and it’s members cannot give any guaranteed positions until the legislation is published Therefore advice given today on those product sectors that the industry believes to be in or out of scope are based on discussions thus far There are some clear guidelines published in the recent UK consultation, but this is under discussion with the Commission

Implications for buyers However…. BEAMA expects that the majority of sectors within the BEAMA membership will conclude that they are out of scope Based on the definition of a fixed installation Some sectors probably will be considered to be in scope Some will definitely be in scope

Implications for buyers Conclusions RoHS The legislation is in force The producers are responsible for compliance BEAMA members are all briefed on how to comply Some product sectors outside the scope are choosing to meet the RoHS limits

Implications for buyers Conclusions WEEE The decision on products being in or out of scope is with the company that places the product on the market ie not the wholesaler, distributor or installer But if a wholesaler has own brands they become responsible In these cases we recommend that the company contacts the relevant trade bodies for the product sector to gauge opinions of other producers If considered in scope the relevant compliance schemes are already in place

Thank you for your attention.