Waste and Resources Post Brexit

EIC has called for a national debate on setting ambitious but realistic recycling targets for 2025 to provide a framework for the resources sector post-Brexit. The call comes in a briefing paper published by EIC on the implications of Brexit for waste regulation and the waste and resources sector titled Brexit: Implications for the Waste and Resources Sector.

The EIC cites reduced landfill rates, increased recycling and growth in the circular economy as key benefits of EU regulation. The report notes that Brexit could therefore have a “significant impact” on future management of the nation’s resources.

EIC Executive Director Matthew Farrow said:
‘The complex layers of EU waste law established over 40 years have transformed waste management and recycling in the UK, helping us get from bottom of the league to mid-table. Post-Brexit the Government must resist making significant changes to regulations as this will undermine what has been achieved.
But there are areas where new thinking is required. It is not clear that the UK will meet the EU 2020 50% recycling target and Commission will no longer be able to sanction the UK for not achieving it. While the EU is considering a one-size fits all target for the remaining EU countries for 2030, the UK should consider setting a 2025 target that is ambitious but realistic in a UK context. Such a target if set with industry and cross-party support would provide an investment framework for the industry to drive UK progress towards a circular economy.’

Other recommendations include:
Copy EU Ecodesign regulations that emerge from the Circular Economy package
Incorporate circular economy approaches in the sector plans to be developed under the new Industrial Strategy
Review the Separate Collection provisions of the revised Waste Framework Directive to ensure a pragmatic approach
Encourage regulatory commonality between the devolved nations even while targets and initiatives may diverge
Recognise the need for Best Overall Environmental Option (BOEO) to be considered alongside the waste hierarchy
Retention of the EU definition of waste to avoid prolonged uncertainty.

Updated Legal definition of waste guidance

Recently Defra released new guidance on the definition of waste, with advice for businesses, local authorities and charities on how to decide101_2160 (2) (640x640)

if a material is or is not waste.

Not as simple as the uninitiated might think.

I think someone said you might as well just take the prison sentence, you’ll be out in less time than it will take to understand the guidance;

that cannot be true: can it?

Publication of the Legal Definition of Waste Guidance

Publication of the Legal Definition of Waste Guidance

Struggling to tell your waste from your by products and your recycled from your recovered. This Defra guidance is aimed at businesses and other organisations which take decisions on a day-to-day basis about whether something is or is not waste. In most cases, the decision is straightforward and whoever is taking the decision does not need guidance from the competent authorities to help them take it. However, in some cases, the decision is more difficult (e.g. where the substance or object has a value or a potential use or where the decision is about whether waste has been fully recovered or recycled and has therefore ceased to be waste). The aim of the guidance is to help ensure that the right decision is taken in these more difficult cases.