aura light blv ge lighting narva osram philips lighting havells sylvania weee directive review: in...
TRANSCRIPT
Aura Light • BLV • GE Lighting • NARVA • OSRAM • Philips Lighting • Havells Sylvania
WEEE Directive Review:
In search of sustainable solutions
Page 2
Content
Who are we
Lamps are different with regard to WEEE
ELC preferred WEEE solutions
WEEE Directive review topics: in search of sustainable solutions
Closing remarks
Page 3
We represent the leading lamp manufacturers in Europe 95% of total European production
50 000 employees in Europe
€5 billion European Turnover
We are an international non profit-making association under Belgian law with a secretariat in Brussels
We are a flexible, light & efficient lobby organisation
We promote efficient lighting practice for the advancement of human comfort, health and safety
We were created in 1985
Who are we?
Page 4
Havells Sylvania
Who are we?Members
Page 5
The collection and recycling of Lamps is considerably different from all other WEEE products due to:
Fragility
Hazardous waste regulation
Low weight
High volume of > 700 Mio (WEEE relevant) lamps(1) per year POM
Also due to these characteristics collection and recycling costs are significant in relation to product prices.
Lamps are one of the few components separately included in WEEE legislation
(1) Estimation by ELC for the European market including Norway and Switzerland
Lamps are different, and require specific WEEE solutions
Lamps are different with regard to WEEE
Page 6
0%
20%
40%
60%
80%T
V
DV
D
Vac
uu
mC
lean
er
Sh
aver
Co
ffee
mak
er
Mic
row
ave
Was
her
Dis
hw
ash
er
Dry
er
Fre
ezer
/F
rid
ge FL
CF
L-I
CF
L-n
I
HID
Eo
L-F
ee
( %
of
Co
st P
rice
)
Situation Netherlands after 3 yrs
Best case estimation
Lamp recycling costs are 10-80% of cost-price versus other WEEE: few %
Lamps are different with regard to WEEE
Page 7
A level playing field for (collective) schemes that will
Fulfill the full legal responsibility in a financially sustainable way
Reach current and future targets
Develop Eco-efficient solutions as to successfully integrate financial concerns of its participants and the environmental goals
Provide a sustainable infrastructure for collection and recycling
Operate in a level playing field
Guarantee confidentiality of market data
Inform all stakeholders adequately
ELC preferred WEEE solutions
Page 8
A level playing field for (collective) schemes that will
Fulfill the full legal responsibility in a financially sustainable way
Reach current and future targets
Develop Eco-efficient solutions as to successfully integrate financial concerns of its participants and the environmental goals
Provide a sustainable infrastructure for collection and recycling
Operate in a level playing field
Guarantee confidentiality of market data
Inform all stakeholders adequately
ELC preferred WEEE solutionsObserved Risks
Page 9
ELC preferred WEEE solutionsLevel playing field
Death/BankruptcyCradle Life
Accreditation Guarantees
Allocation between schemes
Page 10
Financing of WEEE (Art 8)
Individual Producer Responsibility, provisions and guarantees
Definition of Producer
'Producer' under EU / national law, Put on the Market
Household vs. Professional
Definition of weight
Target setting
Accreditation of schemes
Allocation between schemes
Guarantees
WEEE Directive review topicsIn search of sustainable solutions
Page 11
Financing of WEEE (Art 8) Individual Producer Responsibility, provisions and guarantees
Definition of Producer 'Producer' under EU / national law, Put on the Market
Household vs. Professional Definition of weight Target setting Accreditation of schemes Allocation between schemes Guarantees
WEEE Directive review topicsIn search of sustainable solutions
Page 12
Producer obligations with regard to the financing of WEEE
Financing of historic household waste (Art 8.3)
Collective obligation via collective scheme
Obligation // market share in current period
Financing of new household waste (Art. 8.2)
Individual Producer Responsibility (IPR) Can be fulfilled individually or via a collective scheme
WEEE Directive review topicsFinancing of WEEE
Page 13
(Article 8.2. EU WEEE Directive)
WEEE Directive review topicsFinancing new wasteConcerns arising from Art 8.2
Page 14
Individual Producer Responsibility (IPR) Aim
To encourage the design and production of electrical and electronic equipment which take into full account and facilitate their repair, possible upgrading, reuse, disassembly and recycling
But
Is, within the scope of the other objectives of the WEEE Directive, IPR the right financial driver?
Will IPR support increased separate collection rates as well as sustainable financing of WEEE?
WEEE Directive review topicsFinancing new wasteConcerns arising from Art 8.2
Page 15
IPR a financial driver to design for better recycling? NO The financial driver does not exist
Commonly required payback times in the electronics industry for investments are short: max 2-3 years
Products sold now will return on average in 6-10 years Highly unlikely that design projects will start due to financial incentive
aimed at ease of recycling
Practical impossibility to identify and sort WEEE (esp. for WEEE lamps) per individual Producer
Leading to no incentive to design for better recycling for the Producer Necessitating collective collection and recycling of WEEE
Not all Producers under WEEE have an impact on design Only manufacturers have an impact on the design of the product, not
importers, in many cases also not private brand owners
WEEE Directive review topicsFinancing new wasteConcerns arising from Art 8.2
Eco-design should be regulated in Energy Using Products (EUP) or in Restriction on Hazardous Substances (RoHS) legislation
Page 16
IPR a financial driver for increased (separate) collection rates? NO
IPR will provide an incentive to Producers to minimize collection so as to minimize costs (no collection, no costs).
Lack of financing will result in efforts not to collect any orphan waste (which can never be fully avoided)
IPR does not ensure increased collection rates
WEEE Directive review topicsFinancing new wasteConcerns arising from Art 8.2
Page 17
IPR triggering substantial risks? (1/2) YES
IPR will increase the risk for externalization of costs to society, e.g. orphan waste (which can never be fully avoided)
IPR directly leads to huge increases in environmental and financial costs, without adding any value to either the environment, society or the Producers
IPR is only possible if the EEE can be tracked and traced on a Producer individual level from the cradle to the grave (marking not sufficient, esp. not for small items on which no details can be put)
IPR requires Producer specific collection, which is practically impossible due to the need to identify and sort millions of WEEE lamps at Producer individual level
IPR is an incentive for increased illegal import and free-riding E.g. due to the difficulty to track an EoL product back to the Producer and due to the
increase in costs
WEEE Directive review topicsFinancing new wasteConcerns arising from Art 8.2
Page 18
IPR triggering substantial risks? (2/2) YES
IPR may trigger Producers to leave the market at the moment the (actual) financing obligation for new waste kicks in, i.e.
A number of Producers may decide to "leave" the national WEEE market ("leaving": sales will take place from abroad into the national market):
While creating new "Producers" (e.g. the local distributors) having no financing obligations (yet), since they do not fall under the provisions of the law for financing the waste resulting from products POM between 2005 and the moment they became "Producer" under WEEE)
Thereby creating a potentially huge amount of orphan waste (i.e. waste lacking a Producer responsible for financing)
IPR will decrease the ability of various stakeholders (especially Government) to monitor and control compliance with the WEEE Directive
WEEE Directive review topicsFinancing new wasteConcerns arising from Art 8.2
These risks should trigger a big concern for public authorities, collective schemes and sustainable producers.
Page 19
How to manage these concerns?
Different options can be developed, there is however only one sound solution beneficial to all stakeholders
Introduction of solidarity (collective financing responsibility) amongst Producers for new waste
This requires the Amendment of Art. 8.2 Introduce a collective financing obligation for new waste on
the basis of the market share of the Producers existing on the market in the period that the waste arises
WEEE Directive review topicsFinancing new wasteConcerns arising from Art 8.2
Page 20
Financing of WEEE (Art 8)
Individual Producer Responsibility, provisions and guarantees
Definition of Producer
'Producer' under EU / national law, Put on the Market
Household vs. Professional
Definition of weight
Target setting
Accreditation of schemes
Allocation between schemes
Guarantees
WEEE Directive review topicsIn search of sustainable solutions
Page 21
Issues with the implementation of the EU Directive definition of "Producer" into national legislation
The definition of "European Producer" is not implemented in the Member States (resulting into "national Producers" only)
This is amongst other things caused by the insecurity of national governments in their ability to control Producers from outside of their national territory
Drastic increase of number of importers (subsequently considered the "national Producer") reduces control
European Producers cannot register in all countries
End users can source “cross border” avoiding responsibility
Establishment of trade barriers / limited free movement of goods E.g. difference in burden for buyers when sourcing from a company able to
assume Producer responsibility versus from a company not able to assume Producer responsibility
WEEE Directive review topics Definition of 'Producer' (current)
Page 22
The ‘Producer’ means any person, established in the EU who, irrespective of the selling technique used, including by means of distance communication in accordance with Directive 97/7/EC of the European Parliament and of the Council of 20 May 1997 on the protection of consumers in respect of distance contracts (1):
i. Sells for the first time electrical and electronic equipment in the EU,
ii. Resells under his own brand electrical and electronic equipment supplied by other manufacturers, a reseller not being regarded as the ‘producer’ if the brand of the producer appears on the equipment, as provided for in sub point (i), or
iii. Resells in the Member State, where it has an establishment, electrical and electronic equipment, upon acquisition from a producer, which has not fulfilled its legal obligations in the Member State where the reselling takes place.
iv. Buys for own use as a professional end user, electrical and electronic equipment, from a producer, which has not fulfilled its legal obligations, in the Member State where the electrical and electronic equipment is used, or from a supplier outside the EU.
WEEE Directive review topicsDefinition of 'Producer' (suggested)
Page 23
Need for definition of 'Put on the Market' in accordance with objectives of the Directive
Split put on the market definition between
Product/manufacturing related directives like RoHS: should be represented by the date stamp on the product.
Directives triggered by the location where the product will be used: First sales of EEE in the territory of any member state by an EU based Company (which should then register as a 'Producer' in the respective member state of first sale).
WEEE Directive review topicsDefinition of 'Put on the Market'
Page 24
Financing of WEEE (Art 8)
Individual Producer Responsibility, provisions and guarantees
Definition of Producer
'Producer' under EU / national law, Put on the Market
Household vs. Professional
Definition of weight
Target setting
Accreditation of schemes
Allocation between schemes
Guarantees
WEEE Directive review topicsIn search of sustainable solutions
Page 25
The sales channel (B2B or B2C) does not define the nature of the WEEE as household (and comparable) or non household waste
The distinction for EEE to be used either in households or non households is very ambiguous. Similar products ('dual use') should be treated according to the same rules. Therefore all dual use products should be reported as household products and Producer responsibility following suit.
WEEE Directive review topicsHousehold vs non household
For Dual use products, taking away the differentiation between household and professional would close loopholes and improve
control drastically
Page 26
Financing of WEEE (Art 8)
IPR, provisions and guarantees
Definition of Producer
'Producer' under EU / national law, Put on the Market
Household vs. Professional
Definition of weight
Target setting
Accreditation of schemes
Allocation between schemes
Guarantees
WEEE Directive review topicsIn search of sustainable solutions
Page 27
Lamps are different with regard to other WEEE Individual weights for lamps can not be checked by a statutory
auditor due to the vast number of code numbers (>6000) and as such leave ample room for fraudulent activity
Weight of the lamps is not a environmental differentiator (lighter does not mean more environmentally friendly or better recyclable)
Therefore, to avoid abuse Lamps weight should be a defined as an average weight per
country (to be applied by all schemes)
Total weight should be calculated as 'units x average weight', and not 'Σ of the individual weights'
WEEE Directive review topicsDefinition of weight
Page 28
Amount of household waste collected should not be limited to waste collection via municipal collection sites only. All collection of household waste (or waste from dual use products), regardless of the collection channel, should be taken into account when determining % collected rates.
Alternative financing schemes for non household products create a risk for opportunistic behaviour and externalization of costs if not rigorously controlled and clear responsibilities defined
WEEE Directive review topicsHousehold vs non household
Page 29
Financing of WEEE (Art 8)
IPR, provisions and guarantees
Definition of Producer
'Producer' under EU / national law, Put on the Market
Household vs. Professional
Definition of weight
Target setting
Accreditation of schemes
Allocation between schemes
Guarantees
WEEE Directive review topicsIn search of sustainable solutions
Page 30
Need for challenging yet realistic targets
Targets per category
No externalization to other categories
Targets to be defined as % of historic POM
Lamps are durables (not fast moving consumer goods) requiring the benchmark for targets to be the "historic POM" rather than the current or previous year POM
This issue is especially important in fast growing markets
WEEE Directive review topicsTarget setting
Page 31
Financing of WEEE (Art 8)
IPR, provisions and guarantees
Definition of Producer
'Producer' under EU / national law, Put on the Market
Household vs. Professional
Definition of weight
Target setting
Accreditation of schemes
Allocation between schemes
Guarantees
WEEE Directive review topicsIn search of sustainable solutions
Page 32
Need for sound accreditation rules, applicable to both individual
and collective schemes, allowing for financially sustainable schemes
Including Legal format requirements, a.o.
Not for profit (no payment of dividend or other to shareholders, etc.) Business plan requirements, a.o.
Sustainable financing covering for / based on full Producer responsibility
Full geographic coverage for collection Information and communication planning
Penalties for non compliance, a.o. loss of accreditation / fines
Guarantee requirements In case of dissolution of the scheme (for details see last review topic: "Guarantees")
WEEE Directive review topicsAccreditation of schemes
Page 33
Financing of WEEE (Art 8)
IPR, provisions and guarantees
Definition of Producer
'Producer' under EU / national law, Put on the Market
Household vs. Professional
Definition of weight
Target setting
Accreditation of schemes
Allocation between schemes
Guarantees
WEEE Directive review topicsIn search of sustainable solutions
Page 34
Allocation of financing obligation according to the WEEE Directive (Art 8.3)
Meaning that the total cost for collection and recycling of all WEEE belonging to the same category should be financed by the cumulative market share of all Producers across the different schemes!
Collective financing obligation is not limited to the collective of Producers belonging to the same scheme!
WEEE Directive review topicsAllocation between schemes
Page 35
WEEE Directive review topicsAllocation between schemes
However, due to the fact that the wording of the WEEE Directive is not specific enough with regard to the financing obligation for household historic waste
A number of financing models are currently applied by a variety of schemes, which in most cases do not allow the sustainable implementation of the obligations they have taken over from their participating Producers
Governments accredit schemes which do not have a sound and sustainable financial plan allowing compliance with the letter and the spirit of the WEEE Directive
Page 36
WEEE Directive review topicsAllocation between schemes
Financing models currently applied in the market: which is sustainable? – which is compliant with all obligations?
Level I: Basic assumptions with regard to which quantity needs to be financed in a given period
M1: Number of products that are expected to come back on basis of average lifetime of the product
M2:Number of products that are expected to come back via the developed collection channels
M3: Number of products that are expected to come back via the own collection channel
M4:Number of products that come back through the own collection channel
M5:Number of products that come back through all the established collection channels
Page 37
WEEE Directive review topicsAllocation between schemes
Looking at the financing models existing in the market we observe that
Only one financing model for historic household waste, i.e. model I 'financing based on the number of products that are expected to come back in the measurement period based on the average life time of the product' allows full compliance with all Producer obligations under the WEEE Directive.
All other financing models do not allow for full compliance with the spirit and the letter of the WEEE Directive
As such, only the fee reflecting the full financing obligation of Producers can be used as a basis for allocation of the financing obligation across all Producers according to their market share in the measurement period.
Page 38
Examples of existing allocation schemes
(Producer) Individual allocation per container (Germany)
No optimization of infrastructure possible
Not suitable for smaller countries due to organizational effort and costs
End of year clearing of collected quantities (Austria)
Triggers a continuous shift of quantities to the next years because the collection network can not / should not be diminished by the scheme making higher collection efforts
Sale of certificates (UK)
Increases the price unnecessarily
Likely to leave some regions un-serviced
Clearing on basis of actual cost incurred: actual collection efficiency is significantly lagging on the cost incurred (currently not used)
WEEE Directive review topicsAllocation between schemes
Page 39
WEEE Directive review topicsAllocation between schemes
Calculation example for allocation in accordance with collective financing obligation and the letter and spirit of the WEEE Directive
A B CalculationPOM 120 80 (1)Market share % (POM) 60% 40% (2) = (1) / sumtotal of (1)Collection % (of total collection) 80% 20% (3)Coverage POM 133% 50% (4) = (3) / (2)Fee 0,25 0,10 (5)Undercovered units 40 (6) = (100%-(4)) x (1)Settlement amount 10 (7) = (5) of scheme that overcollected x (6)
Scheme
Page 40
Benefits of proposed allocation mechanism: Market driven: scheme with best collection performance sets the
pace
Clearing mechanism does not offer an incentive to limit collection to any scheme
Fee of best performer is benchmark for clearing: best optimum between cost level and performance (collection rate)
No incentive for Producers to join a cheap but non-performing scheme
Supports a level playing field for both Producers and schemes
WEEE Directive review topicsAllocation between schemes
Page 41
Financing of WEEE (Art 8)
IPR, provisions and guarantees
Definition of Producer
'Producer' under EU / national law, Put on the Market
Household vs. Professional
Definition of weight
Target setting
Accreditation of schemes
Allocation between schemes
Guarantees
WEEE Directive review topicsIn search of sustainable solutions
Page 42
Guarantees for future waste
If the obligation for future waste would also become a collective obligation as suggested earlier, guarantees no longer would be required
i.e by amending art. 8.2., introducing a collective financing obligation for new waste on the basis of the market share of the Producers existing on the market in the period that the waste arises
In the absence of the collective obligation for future waste, guarantees for future waste
Should be required for individual schemes
Should not be required for collective schemes provided these schemes have a sustainable financial planning (need for sound accreditation rules)
WEEE Directive review topicsGuarantees
Page 43
Individual schemes – guarantee requirements In addition to the guarantees mentioned in the WEEE Directive, the
individual scheme should name as a beneficiary a scheme authorized for the relevant collection and recovery category, which will contractually perform the take-back and treatment of WEEE for the producer in the event of his insolvency or withdrawal from the market.
Individual guarantees are and can not be controlled The level of guarantees is not defined in the Directive (return rate?) When the guarantees are not with a 3rd party, the reserves are not
secured in case of bankruptcy Suggestions for the Beneficiary:
Control via a central EU specialised, financial enforcement body; Define return rate so that the guarantee level can be estimated; Distribution of the guarantee to all participating schemes in accordance with their market share.
WEEE Directive review topicsGuarantees
Page 44
Our suggestions will create an environment in which the market will be able to
Fulfill its responsibilities in a financially sustainable way
Reach current and future environmental targets
Successfully integrate the environmental challenges into their respective business strategy
Maintain competiveness in the market
Provide a sustainable infrastructure for collection and recycling
Operate in a level playing field
Closing remarks
Page 45
WEEE Directive review topics
Back up slides
Page 46
How to manage these concerns? Different options can be developed
Oblige Producers to pay now the NPV of the future fee Activate the actual financial responsibility for future waste for producers today to guarantee the waste management of tomorrow (i.e. pay now the NPV of the future fee )
This sounds as a very simple solution. however this will Not remediate or mitigate most of the aforementioned concerns Further increase number of illegal import (estimated for the EU at > 12%
today) Further decrease competitiveness of producers that are aiming to comply
and reach the collection and recycling targets Distort financial markets (provisions) Not prevent opportunistic behavior to avoid application of the law Not mitigate the increased environmental and financial costs
WEEE Directive review topicsFinancing new wasteConcerns arising from Art 8.2
Page 47
Support for a mandatory visible fee
Effective tool against free riders Minimizes costs: no mark-up for WEEE costs through the supply chain Increases transparency Builds ongoing consumer awareness
Historic waste still needs to be financed also after 2011 Future waste will also need financing and consumers have a key role to
play in enabling financial and environmental sustainable solutions
Ensures the competitiveness of European Producers (WEEE costs only paid once, i.e. in the member state where the EEE becomes waste)
WEEE Directive review topicsVisible fee