DEFG H EAUC Oxford University Tuesday 20 th November 2007 Waste Electrical and Electronic Equipment Directive Anna Latham, Senior Consultant.

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Presentation transcript:

DEFG H EAUC Oxford University Tuesday 20 th November 2007 Waste Electrical and Electronic Equipment Directive Anna Latham, Senior Consultant

1 Seminar Outline Background to the legislation How the legislation has been implemented in the UK Implications and considerations for the HFE sector

1 What is WEEE Waste Electrical and Electronic Equipment (WEEE) Directive (2002/96/EC) European Directive therefore implemented differently across all EU Member States Restriction of Hazardous Substances in Electrical and Electronic Equipment (2002/95/EC) –Implemented by the Restriction of the Use of Certain Hazardous Substances in Electrical and Electronic Equipment Regulations 2006

1 Requirements of the Directive Member States must achieve a collection rate of at least 4 kilograms on average per inhabitant per year to be achieved by 31 December 2006 Recovery/reuse and recycling targets per category (by average weight of appliance) also set e.g. –Large household: 80/75% –IT & consumer: 75/65% Producers responsible for financing re-use and recovery of WEEE

1 UK Implementation Implemented in the UK through the Waste Electrical and Electronic Equipment Regulations 2006 (SI 3289) and The Waste Electrical and Electronic Equipment (Waste Management Licensing) (England and Wales) Regulations 2006 (SI 3315)

1 Main Players Government – Dti (now BERR) (responsible for implementation) DEFRA (approving authorised treatment facilities only) Environment Agency / SEPA / EHS (regulating compliance schemes) Businesses – producers and end users ‘Compliance Schemes’ Retailers Local Authorities

1 Troubled History 13 th Feb 2003 – Directive agreed in the EU 28 th March 2003 – First UK consultation on implementation 25 th November 2003 – Second UK consultation on implementation 30 th July 2004 ‘Final Consultation’ 13 th August 2004 – date by which transposition was supposed to have occurred 10 th Aug 2005 – Implementation date announced as June th December 2005 – Urgent review of implementation called

1 Trouble History Cont… Informal stakeholder consultation in spring 2006 Formal consultation on draft regulations summer 2006 WEEE Regulations laid 12 December 2006 WEEE Regulations in force 2 January 2007 Problems included: –Retailers vs. Manufacturers (visible fee / calculation of obligations) –Local Authority concerns (clearance of DCFs) –Environment Agency concerns (resourcing???) –Changes of Minister / Officials

1 Guidance Regulations finally came into force on 2 nd January 2007 Producer responsibility began 1 st July 2007 Guidance available on BERR website

1 Scope All equipment dependent on electrical currents or electromagnetic fields 10 indicative categories: Large household Small household IT and telecommunications Consumer equipment Lighting equipment Electrical and electronic tools Toys leisure & sports Medical devices Monitoring equipment Automatic dispensers Indicative, but not exhaustive list of examples in Annex IB

1 Specific Exemptions Exemptions: National security / military equipment Stationary industrial tools Luminaries in households Implanted or infected medical products EEE that forms part of equipment that is not in scope Filament light bulbs and household luminaries (note that these are NOT exempt from RoHS) Also: Main power source must be electricity Electricity needed for primary function Not part of another type of equipment or fixed installation

1 DTi Guidance - Scope

1 Scope – Not always clear! Examples: –Electricity Meter –Portable heater running on mains electricity –Fitted heater running on mains electricity –Battery powered teddy bear –Battery powered fan

1 Scope – BERR Guidance

1 Producer Obligations Producer - any person who, irrespective of selling technique used (including internet), including by means of distance: –Manufactures and sells his own brand –Re-sells under his own brand –Imports EEE into the UK Producers required to register with a compliance scheme (by 17 th March 2007) DTi will calculate / allocate each producers’ recycling obligations based on market share Producer responsibility began 1 st July 2007

1 Producers Recovery / recycling obligation Also: –Ensure that products (wherever possible) have been designed to enable reuse and recycling –Mark products with correct labels and symbols (BS EN 50419:2006) Plus producer ID and date of manufacture

1 Logistics Retailers must provided free take back in store for customers when making a like for like purchase of new equipment from August 2005 Or Set up retailer compliance scheme (will result in upgrade of civic amenity site network) National network of DCFs being used to collect WEEE Compliance schemes organise collection of WEEE and clearance of DCFs on behalf of their members

1 Approval and registration of compliance schemes Regulation of re-processors Registration of producers Compliance Schemes Calculation of producer recycling responsibility Holds the exchange PRODUCERS END USERS Send WEEE to DCF where obligated DCF RETAILERS Upgrade civic amenity site network / provide take back Clear DCFs Send WEEE to accredited re-processor Approved Authorised Treatment Facility Register with a compliance scheme Regulated by EA

1 Discussion - Are you a producer? For any equipment you place on the market (sell / import) that falls into the scope of the Directive – yes Check University activities against scope of Directive – register with a compliance scheme if necessary

1 Business User Obligations Business users will be responsible for some historic waste What is Historical Waste? –Waste products placed on the market before 13 August 2005 Historical WEEE (placed on the market before 13 Aug 2005) –If no like for like replacement the end business user is responsible for disposal costs –If like for like replacement of equipment – supplier (producer) responsible New Business WEEE (placed on the market after 13 Aug 2005) –Producer responsible, unless otherwise agreed with business user

1 ‘Placed on the Market’ Grey Area European Commission interpret this as placing on the community (EU) market The Commission's guide to new approach Directives - "the Blue Book" In reality, this will be difficult to manage and regulate ManufacturerDistributor DealerRetailer CustomerConsumer

1 ‘Blue Book’ Definition

1 BERR Guidance We shall assume that this is the case for the purposes of this seminar

1 Was the equipment purchased before 13th August 2005? Is the equipment to be disposed of within the scope of the WEEE Directive? 1 Yes Are you obtaining a ‘like for like’ replacement for the equipment? The supplier of your new equipment is responsible for the disposal of the old equipment Yes No You are responsible for the disposal of the waste equipment No The requirements of the WEEE Regulations do not apply Yes No Your original supplier is responsible for the disposal of the waste equipment Flow chart of disposal obligations for business users under the WEEE Directive 1 To Check scope: Refer to Annex 1A and 1B of the WEEE Directive Ensure you have considered exemption rules in DTi Guidance documents

1 Challenges Do your purchasing systems allow you to trace back when equipment was purchased and from whom? Determining when something was ‘placed in the market’ is likely to be problematic Contacting / identifying historical suppliers to take away your historical waste may be problematic Identifying ‘the Producer’

1 ‘Like for Like’

1 Fulfils the same function Need not be identical in all respects Take account of technological developments and improvements in functionality Common sense / practical approach Acceptable examples: VCR – DVD, walkman / iPod Unacceptable examples: TV – drill, washing machine - kettle

1 Duty of Care Business users have to keep proof to demonstrate that one off consignments of WEEE have been disposed of to an accredited re-processor Practical considerations: –Segregating WEEE from the main waste stream –Separating WEEE which is your responsibility and a porducer / suppliers responsibility

1 Third Sector (Charities) If the equipment is still functional it is not waste and can therefore be given to charities ? Compliance Schemes encouraged to use charities and state how they will encourage the re-use of whole appliances in their applications

1 End Users Beware! The Regulations allow suppliers (producers) to negotiate alternative financing arrangements –This will be a commercial decision and should form part of the supply contract negotiating process Some (unscrupulous!) producers may try and discharge their recycling obligation by writing into supply contracts that their customer is responsible for re-cycling WEEE at the end of its life –Contracts must be negotiated carefully –Purchasing Staff need to be made aware

1 Summary – 4 scenarios to plan for 1.WEEE purchased before Aug 2005 that you are not replacing with like for like equipment 2.WEEE purchased before Aug 2005 that you are replacing with like for like equipment 3.WEEE purchased after Aug 2005 that you are not replacing with like for like equipment 4.Negotiations with suppliers for EEE purchased in the future

1 1. WEEE purchased before Aug 2005 that you are not replacing with like for like equipment Your responsibility Compliance schemes can be used for one off collections of WEEE (or contact AATF directly) Many compliance schemes registered with the EA and specialise in different types of waste / different commercial situations Find the most appropriate scheme for you (cost / evidence of proper disposal / IT equipment – confidentiality / destruction of sensitive data) Retain evidence of appropriate disposal via Duty of Care

1 2. WEEE purchased before Aug 2005 that you are replacing with like for like equipment Producer (new supplier) is responsible, regardless of whether they supplied you with the original equipment Contact new supplier and arrange collection of waste as well as delivery of new like-for-like equipment

1 3. WEEE purchased after Aug 2005 that you are not replacing Original producer (supplier) is responsible regardless of whether a like for like replacement is taking place Contact supplier and arrange collection (may need to get this information via your distributor) NB: Determining when something was ‘placed on the market’ may cause problems – in these situations, for practical purposes, establishments may want to make the executive decision to dispose of all historical EEE themselves, particularly given that many compliance schemes will collect free of charge

1 4. Future purchasing of EEE Ensure you address the issue of disposal of the equipment at end of life is included in the contract Can be used as an additional negotiating tool Ensure producers do not try and discharge end of life disposal obligations to you in the small print Ensure purchasing systems are set up to record dates of purchase and supplier information

1 Main points Possible producer obligations –Register with a compliance scheme if necessary Main obligation as business user –Establishing internal systems for understanding when waste electrical equipment was purchased –Negotiating supply contracts for future supplies –One-off collections using a compliance scheme / AATF –Separation / storage of WEEE –Obtain evidence of correct disposal

1 Further Information Department for Business, Enterprise and Regulatory Reform (BERR) Environment Agency agency.gov.uk/business/444217/444663/ /