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TEGEWA-KosRo Position Paper on Extended Producer Responsibility of EU Urban Waste Water Treatment Directive

In the context of the Extended Producer Responsibility (EPR) provided for in Article 9, 10 and Annex III of the EU Urban Waste Water Treatment Directive (UWWTD), TEGEWA represents industrial companies that manufacture cosmetic raw materials and which – even if these substance manufacturers are not themselves subject to EPR – may be affected by the classification of substances as potential micropollutants in cosmetic products: This is because, once EPR is implemented into national law, the continued use of substances classified as micropollutants in cosmetic products to be placed on the market will trigger an EPR payment obligation on the part of the relevant product manufacturers or importers of cosmetic (end) products.

We fear that the UWWTD’s EPR and its direct and indirect effects will have immense economic impacts on the cosmetics raw materials industry, which, in addition to significant market shifts within the EU and enormous distortions of competition, could also lead to these industrial companies ‘relocating’ to countries outside Europe.

In our TEGEWA position paper, we have set out policy demands of the cosmetic raw materials industry (KosRo = Kosmetische Rohstoffe), which are directed in particular at politicians, ministries and European institutions, and include, amongst other things, the following:

The relevant stakeholders from the cosmetics raw materials industry – as TEGEWA – must be involved by the EU at an early stage in the process set out in Article 9 (5) and (2)(b) of the UWWTD, so that they have the opportunity to contribute their expertise – for example, on the criterion of ‘rapid biodegradability’ – as early as possible.

Further information is available in the TEGEWA position paper, which can be accessed here.

Contact: Ass. jur. Sakina Wagner LL.M. Eur.

 

 

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