These new ordinances result in some changes for producers: the most important aspects of these changes are: a new definition of ‘producer', new and changed responsibilities for the reporting of materials collected, and materials placed on the market. Producers must either be affiliated with a licensed collection scheme as of January 1, 2021, or submit their own application to become a licensed collection scheme.
New definition of 'producer'
According to the new definition of ‘producer’, anyone who imports a packaged product into Sweden, manufactures packaging in Sweden, imports packaging into Sweden, or fills or otherwise uses packaging (that is not service packaging) to protect or present an item, or make it easier to handle, is now a producer. The new definition has been adopted but will not be fully implemented until January 1, 2021.
New way of reporting data
The biggest change in the new regulatory framework is probably how the data for collected materials, and for packaging materials placed on the market, must be reported. Reporting responsibilities have been a little bit changed in this respect, compared with the current practice. The deadline for reporting will be yearly at March 31, starting in 2022. This means that 2021 will be the first year reported. From January 2021 onwards, producers have to pay an annual supervisory fee to the EPA (Environmental Protection Agency). Data will be reported digitally. The EPA is building up the system at this moment. As from January 2021, producers are able to register in this system.
Subscribe to our newsletter
More information about this topic will be published as soon as more information is provided. Do you have questions about this new way of reporting or other topics about Environmental compliance? You can always contact us for more information. To make sure that you are up to date on the latest news updates regarding trade compliance, subscribe here to the monthly Pincvision newsletter.
Source: FTI
Joris te Pas
Environmental Compliance Specialist