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Czech Republic

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Title: Czech Republic


1
Czech Republic
  • PWW Directive Solution
  • 1999-2008
  • Decision making process

2
Initial Situation 1999
3
Selected solution
  • Integrated waste management was selected because
    it shows high potential in recycling with
    moderate cost while able to achieve all targets
  • Deposit system was avoided as integrated waste
    management does create enough recycling to meet
    all targets including plastic material recycling
    while deposits are very costly comparing to added
    recycling
  • Mandatory reuse of packaging was avoided as both
    expensive and potentially less environmental in
    long distance and as well creates barrier to
    market

4
Implementation
  • In general best market conforming implementation
    of PPW recovery system is to make all filler or
    importers to purchase services indirectly through
    tradable certificates similar to emission
    permits. However this solution would work
    properly only when actual recycling in country is
    roughly in balance with legal requirements.
  • If this is not a case then such solution is
    unstable and actually does subsidise commercial
    packaging recycling, which does not need any
    support. Only when all B2B packaging waste stream
    is exhausted recyclers will invest in household
    waste separate collection.
  • As efficient implementation of household waste
    collection requires at minimum several years such
    situation will either lead to unpredictable
    increase of recycling services cost (or
    certificates cost) or targets are simply not met
    as paying penalties is cheaper than to buy
    certificates.

5
Selected legal implementation
  • All fillers have to achieve prescribed recovery
    targets, but there are no targets specific to B2B
    or HH packaging.
  • All fillers have to give all consumers option to
    return used packaging for recycling or they
    should participate in national scheme providing
    such option
  • Fillers may create a special legal entity
    packaging recovery scheme enabling them to
    comply with regulation in more efficient
    collective solution

6
Legal solution to avoid discrimination
  • PROs in Czech Republic
  • Have to be a non-for-profit entity licensed by
    government authority
  • Have to be owned by fillers while none of them is
    allowed to own more than 33
  • Have to offer same contractual terms to all
    filler in the market
  • Have to offer same contractual terms to all
    municipalities in the country
  • Should not discriminate any packaging

7
Legal solution to avoid conflict of interests
  • Waste management companies or recyclers
  • Are prohibited to be owners of PROs
  • Are prohibited to participate in PROs management
  • Members of PRO management are prohibited to
    participate in management of any other company
  • Owners of PRO are prohibited to make any business
    in waste management related fields

8
Organizational implementation
  • One recovery organization was licensed in Czech
    Republic, however law does not exclude more of
    them
  • PRO license defines details of its operation
  • Fillers are free to use waste management services
    directly when service of recovery organization is
    not needed (merely when recycling B2B packaging)

9
Technical implementation
  • PRO concluded contracts with all municipalities
    in country to arrange household waste separate
    collection
  • Municipalities are free to choose waste
    management company to provide actual service as
    well they are free to use collection equipment
    for non-packaging recyclable waste separation
  • Collection centres are placed so to be convenient
    to citizens ie. close to housing not necessarily
    in proximity of shops.

10
Technical implementation
  • PRO concluded contracts with major waste
    management companies to ensure B2B packaging
    recovery. These are standard commericial
    contracts on waste services.
  • PRO concluded contracts with waste separation
    lines to provide municipalities with
    infrastructure to process collected waste.
  • PRO concludes contract with recycler when
    necessary to support recycling of commodities
    with negative market value like residual mixed
    plastic.

11
Results in packaging waste
12
Results in municipal waste
Only half of recycled waste is packaging
13
Conclusion
  • Integrated household waste and general packaging
    management gives much better results both in
    packaging waste recycling an household waste
    recycling then single focused packaging waste
    recovery
  • To achieve this PRO have to be controlled by
    fillers, but co-operating closely with
    municipalities

14
Czech RepublicImplementation overview
  • From voluntary agreementto
  • Packaging Law

15
Brief history
  • 1997 Packaging mentioned in legislation for
    the first time
  • 1999 Voluntary agreement on packaging recovery
    concluded
  • 2002 Packaging Law in force
  • 2004 Technical amendment of law
  • 1997 Pilot projects on packaging recovery
  • 1999 Recovery organization on voluntary base
  • 2002 Packaging recovery organization licensed

16
Legislation 1997-2001
  • No specific requirements, packaging producers
    should respect limits on heavy-metal content
  • Generally set target of 15 recycling
  • Extended producer responsibility defined in law
    applicable from 2002 (never effective)
  • Since 1999 voluntary agreement concluded to
    start-up packaging waste recoveryIn 2001 about
    30 of fillers (by amount of packaging)
    participated in agreement

17
Status in 2001
  • Transition period pre-agreed with EU until 2005
  • Recovery organization operating on 70 of
    territory
  • Two self-compliance scheme in operation
  • 37 of all packaging participating in recovery
    organization
  • Recycling rate increased from 11 to 27 within
    three years of voluntary agreement
  • About 46 of consumers participated in sorting

18
Status 2001
19
2002 Packaging Law
  • Essential requirements
  • Full set of CEN standards implemented as
    mandatory since July 2002
  • Packaging marking
  • Material marking mandatory on all consumer
    packaging
  • Producer responsibility
  • Producers have to ensure take-back of consumer
    packaging
  • Producers have to meet recycling/recovery targets
    set up to 2005
  • Recovery organization
  • Defined by law as a special type non-for-profit
    company
  • Subjected to licensing procedure carried by
    government

20
Shared responsibility
  • In Czech Republic all parts of supply chain are
    responsible to packaging recovery
  • Packaging manufacturers
  • Packers/fillers
  • Wholesalers and Retailers
  • By law business partners may conclude agreement
    on actual fulfilment of law
  • However it is a typical for the market that
    packer/filler take care for take-back and
    recycling (covers the cost)
  • and packaging manufacturers are responsible for
    essential requirements

21
Fair competition
  • Company placing product to market is free to
    comply either
  • by registering itself with licensed recovery
    organization
  • or by transferring responsibility to customer
    when selling product (but is not possible to
    transfer it to consumer)
  • or by self-compliance recovering packaging by its
    own or through contracted party
  • Self-complying company
  • have to register itself with government office
  • each year to proof amount of actually recovered
    packaging
  • give evidence of operational collection system
  • inform consumer on organization of collection and
    collection places

22
Ambitious targets set
23
Targets are manageable in principleplastic is
ahead, but glass cannot make 2005
24
National waste management plan revision 2004
  • National waste management revision is under
    process
  • expected is decrease of unrealistic glass target
    80 set to year 2005
  • expected is increase of plastic target above 25
    for year 2008
  • these changes will influence amendment of
    packaging law expected by the end of year and
    also targets set to recovery organization

25
National waste management plan revision 2004
26
Current status
  • Packaging law ensures pretty good enforcement of
    obligations
  • free-riding dropped substantially
  • Packaging waste recovery / recycling improvement
    in line with expectations
  • 2003 targets were achieved also 2004 estimates
    seems to meet expectations
  • Separate collection of household waste is
    improving
  • 97 of territory is covered with separate
    collection scheme
  • about 65 consumers do participate in separate
    collection
  • nation wide communication campaign is expected to
    increase participation to at leas 75

27
Free riding is decreasing
  • 2001 retailers were not responsible for recovery
  • only 600 major companies complied with law
  • free-riders placed to market about 60 of all
    packaging
  • 2002 retailers were made to proof that their
    suppliers took measures to recover packaging
  • about 18 200 registered with recovery
    organization or for self-compliance and presented
    reports
  • free-riding dropped to 16 of all packaging in
    market
  • 2003 government authorities started to audit
    self-compliance
  • about 20 800 companies registered
  • free riding dropped to about 6 of all packaging
    in market

28
Conclusions
  • Czech Republic has well balanced packaging law
  • Compatible with EU market
  • Strong enforcement makes level ground to all
    companies and to all ways of compliance
  • Packaging waste recovery is improving
  • Fully developed packaging recovery organization
  • Growing consumers participation in selective
    collection
  • Almost all territory covered with selective
    collection system
  • Self-compliance is under though supervision of
    authorities, such schemes have to meet same
    criteria like PRO

29
  • Integrated Packaging Recovery System in the Czech
    Republic
  • Financial responsibilities in system

30
Packaging Act 477/2001
  • Any joint stock company may request license to
    operate as PRO providing
  • Company prooves its ability to offer compliance
    service in line with legal requirements (is able
    to guarantee collection and recovery)
  • Company is owned solely by legal entities placing
    packaging to market (is owned by industry)
  • None of company owner is undertaking any business
    activity in waste management (no shareholder is
    in conflict of interest)
  • Company is non-for-profit ie. no profit is
    distributed to owners (no shareholder has profit
    from operation)
  • Company does not operate in any other business
    than packaging recovery (packaging recovery is
    only company purpose)
  • Terms of compliance service are same to all
    business partners including shareholders and no
    packaging is discriminated neither negatively nor
    positively (same conditions to all)
  • License is issued by Environment Ministry in
    consensus with Economy Ministry. License may
    include additional requirements on operation.

31
Contractual management
  • PRO has basically two options how to organize
    household packaging waste collection and recovery
  • To contract collection and recovery to waste
    management operators disregarding existing waste
    management system in municipalities
  • or to conclude agreements with municipalities and
    use the same waste management operator used by
    municipalities

32
Contracting WMC directly Pros
  • To contract collection to waste management
    company directly avoiding municipality gives PRO
    direct influence on collection arrangements
  • Direct contracts are more flexible as they avoid
    any political decision making in municipalities
  • Direct contracts are simplier in administration
    as they are regional
  • Direct contracts with WMC operating other
    municipal waste may be less costly to PRO as WMC
    may use income from municipality to cover part of
    packaging waste management cost (hidden transfer
    of cost to municipality) but also may be more
    costly as income from PRO may be used to cover
    other waste cost (hidden transfer of cost to PRO)

33
and cons
  • Avoiding municipality in collection organization
    may bring conflicting solution in general
    household waste management
  • Regional contract on packaging waste to one waste
    management company bring such company competitive
    advantage enabling it to win all municipal
    tenders in area thus creating regional waste
    management service monopoly
  • Regional solution avoiding municipal decision
    making leads to one fit all organization of waste
    management disregarding municipal interest
  • Operation of two independent waste management
    schemes in one territory is less efficient

34
Summary
  • Municipal waste is one waste, household waste is
    one waste stream from this stream packaging waste
    should be recycled to achieve PW Directive
    targets and non-packaging waste should be
    recycled to achieve LF Directive targets.
  • When household waste management is contracted by
    two independend bodies (municipality and PRO) it
    leads to following
  • Waste management solutions are not coordinated,
    may be conflicting efficiency from economy of
    scale is lost
  • household waste management financing is less
    transparent as it is financed from two contracts
    under different terms
  • waste management operators may use their
    comparative advantage resulting from existing
    contract on one stream part in tenders for other
    part of stream it may result in extra profit and
    increase of waste management cost both to
    municipality and PRO

35
Transparent solution?
Financed by municipality. Operated by company X
Financed by PRO. Operated by company Y
  • Confusing to citizens.
  • Costly because of double infrastructure.
  • Never coordinated properly.

Municipal Bin PAPER No paper boxes please! Use
other one.
Packaging Bin PAPER No newspaper please! Use
other one.
36
One operator solution?
Operated by company X
Municipality is chargedfor part of cost. How
much depends oncontractconcluded.
PRO is chargedfor part of cost. How much
depends oncontractconcluded.
Waste Bin PAPER Put anything here we will charge
somebody.
Not transparent, nobody actually knows what is
the cost.
37
Trilateral solution?
Operated by company X financed in trilateral
contract
PRO
Agreement on joint contract
Municipality
  • Fine to citizens
  • Not very flexible
  • Administration is very complex
  • Very efficient coordination

Common Bin PAPER Put anythingwe agreed.
38
Subcontract solution?
PRO contracts municipality to organize packaging
waste recovery as partof household waste and pay
municipality for collection and recovery cost
Municipality selects supplier of its choice
Operated by company X
  • Fine to citizens
  • Very flexible to municipality
  • Administration is not so complex
  • Municipality has full control over waste
    management

Municipal Bin PAPER For packagingwe are paid.
39
Czech solution
  • PRO is directly responsible for (does contract
    directly suppliers)
  • Recycling capacities (contracts with recyclers
    where necessary, like in case of mixed plastic)
  • Sorting capacities (contracts with regional
    sorting centers to provide capacity for municipal
    waste)
  • Nation wide communication campaign to citizens
    (contracts with advertising/P.R. agencies)
  • Recovery of industrial/commercial packaging
    (contracts with waste management companies)
  • PRO does not directly interfere with local
    household waste management, local citizens
    communication and school education

40
Czech solution
  • PRO is concluding contracts with municipalities
    on financing of selected waste collection, but
    selection of local waste management operator is
    still fully in competency of local municipality
  • PRO is offering free of charge project management
    and consultancy to municipalities, but does not
    dictate solutions
  • PRO is financing local communication campaigns in
    agreement with municipalities (regions)
  • PRO is providing schools with trainings for
    teachers and educational kits, but is not
    directly active in schools

41
Czech solution
  • To avoid any discrimination of municipalities PRO
    is by law mandated to keep uniform contracts to
    all municipalities and also to conclude contract
    with any municipality interested in
  • Contractual payments to municipalities are set
    according to national average costs of selective
    waste collection, municipalities are so
    reimbursed for cost of packaging waste
    collection, but free to select solution best
    suiting local needs

42
Czech solution
  • Municipalities are free to choose which sorting
    center, recycler or waste management operator
    they will use, however PRO is forced to ensure
    that there is enough capacity on market this
    support competition in waste management and keeps
    solution efficient
  • Municipalities are free to refuse contract with
    PRO when not satisfied with conditions, this
    force PRO to set conditions such a way that
    contracts are attractive to most municipalities
  • Contractual terms do reflect national waste
    management plan, structure of payments does
    motivate municipalities to improve waste recovery

43
Companies Contractual packaging fees
Subsidies for the waste quantities collected
Project Advice and Support
Communication, waste recycling promotion
Municipalities
44
Take-back and recovery obligations
Waste Act obligation of the waste separation
and recycling
Packaging recovery organization Authorized
Package Company (according to Packaging Act)
Municipalities
Producers
Contract on Associated Compliance
Contract on support waste collecting
Fillers
Waste management companies
Reporting Packaging Recovery
Retailers
Environment Ministry
45
Payments to municipalities
  • Municipalities are financially motivated to
    improve waste collection efficiency
  • Payments to municipalities depends on actual
    amount of waste collected not on equipment used,
    this motivates municipalities use equipment
    efficiently
  • Basic per ton rates depend on per capita
    collection output to motivate municipalities to
    increase overall collection
  • Basic rates are modified following changes of
    secondary material prices in market and depend on
    per capita output of municipality
  • Quality of collection network and sorting is
    improved by bonus scheme applicable to basic per
    ton rates
  • Bonus on collection network density motivates to
    install more equipment and increase overall
    output
  • Bonus on three material sorting motivates to
    implement separate plastic collection
  • Bonus on white glass collection motivates to
    collect this glass separately improving quality
    of collected waste and its value

46
Impact of bonus scheme
Average cost
Average cost
Average cost
Average cost
Average cost
47
Financial flow
48
Impact in household waste recovery
  • Due to integrated approach not only packaging
    recovery increased but also total household waste
    recycling is increasing

49
Results in five years
1997-1998 No PRO in place 1999-2001 PRO set
voluntarily 2002-2003 PRO set by law
50
Learning from experience
  • It is better to set just frame law setting
    targets and principles of PRO operation
  • In respect to contractual solutions is better to
    leave the choice to municipalities and PRO how
    they will or will not cooperate
  • It is important to achieve good cooperation of
    municipalities and industry to achieve efficient
    solution in short time

51
Most important lesson
  • Czech Republic has very diverse territory both
    from sociological and geographical point of view
  • To ensure efficient household waste recovery in
    all environments need very local approaches. To
    this is best way to leave decisions on local
    communities and not to force uniform solution to
    all areas

52
Czech Republic
  • Consumer Education Programs

53
Communication Public relations
  • Towards consumers aimed to promotion of awareness
    of environment and recycling waste
  • Towards clients, municipalities and companies
    participating in waste management (WM and
    recycling companies) aimed to explain legal
    framework and operational principles of packaging
    recovery organization

54
Consumer communication
  • Strategy messages
  • 2004 you have to sort (quantity)
  • Don't be lazy Sort waste (no more evasion!)
  • 2005 you have to sort in the right way (quality)
  • Don't be lazy Sort waste in the right way (or
    recycling will be unable)
  • 2006 thank you for cooperation (results)
  • Thanks your cooperation we made ... nice things
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