Title: Understanding WEEE and RoHS Directives from a Trade Perspective
1-
- Understanding WEEE and RoHS Directives from a
Trade Perspective -
- Rein Nieland
- DG Trade.E2
- Steel, coal, shipbuilding, automotive, chemical
and other industries
2Outline
- Objectives of EU Environmental Policy
- WEEE Directive
- Introduction
- Scope
- Content
- Financing requirements
- Marking requirements
- Impacts
- Implementation
- ROHS Directive
- Objectives and Scope
- Content
- Exceptions
- Scientific technical progress
- Implementation
- Review
- Compliance
- More Information
31. Objectives EU Environmental Policy
- Sustainable development
- Precautionary principle
- Preventive action
- Environmental damage rectify at source
- Polluter pays
42. WEEE Directive Introduction
- Key data on WEEE
- Around 14 kg per inhabitant and year
- Around 5 Million tonnes annually
- Fastest growing waste stream (three times faster
than average growth of waste) - Product Design EEE
- Facilitate dismantling and recovery
- Re-use and recycling of WEEE, components and
materials
52. WEEE Directive Introduction
- Definition of producers
- Manufactures and sells EEE under own brand
- Resells EEE under own brand produced by other
supplier - Import or export EEE into an EU Member States
- Producers will be identified by Member States
so as to provide the financing of the WEEE
management arising from their sales - Manufactures of components and sub-assemblers in
third countries exporting to EU are not affected
by the obligations on finance, collection,
treatment, recovery etc.
62. WEEE Directive Objective
- Directive 2002/95/EC on Waste Electrical and
Electronic Equipment (WEEE) - WEEE is a priory waste stream (rapidly growing,
hazardous components) - Principles prevention, recovery and safe
disposal of waste - Re-use, recycling, energy recovery
- reducing quantity of waste
- Saving natural resources
72. WEEE Directive Scope
- Categories in Annex IA ( Products in Annex IB)
- Small and Large household appliance
- IT and telecommunications equipment
- Consumer equipment
- Lighting equipment
- Electrical and electronic tools
- Toys, leisure and sports
- Medical Devices
- Monitoring and control instruments
- Automatic dispensers
- Excluded EEE
82. WEEE Directive Scope
- EEE which is
- Dependent on electric current to work
- Generating, transferring and measurement of
currents and fields - Designed for voltage rating not exceeding 1000 V
(alternating current) and 1500 V (direct current) - Frequently Asked Questions guide on
http//ec.europa.eu/environment/waste/pdf/faq_weee
.pdf
92. WEEE Directive Content
- Divert WEEE from landfills and incinerators to
environmentally sound re-use and recycling - Collection (as of August 2005)
- From private households return waste free of
charge - Member States to take appropriate measures to
minimise the disposal of WEEE as unsorted
municipal waste - Collection points available
- 11 take back in shops at purchase of a new
product - Mandatory collection target of 4kg per inhabitant
and year - From other sources to be arranged by producers
102. WEEE Directive Content
- Treatment of collected EEE according to minimum
requirements (Annex II and EC Directives) - Minimum recovery targets plus combined targets
for re-use and recycling
112. WEEE Directive Financing requirements
- Financing obligations for WEEE from households
- New waste (from products put on the market from
13 August 2005) - Producers responsible for financing waste from
own products - Producers can choose to fulfil obligation either
individually or by joining a collective scheme - Financial guarantees
- participation in financing schemes
- recycling insurance
- blocked bank account
- Historical waste (from products put on the
market before 13 August 2005) - Collective system (proportional participation)
- Visible fee explicitly allowed for 8/10 years
- 11 take back in shops at purchase of a new
product
122. WEEE Directive Financing requirements
- Financing obligations for WEEE from sources
other than households -
- The producer is responsible for own waste
- Alternative arrangements possible
- Early review foreseen to prevent possible
problems with accruals
132. WEEE Directive Marking requirements
-
- Crossed-out dustbin
- Identification of the producer
- Identification of date of placing on the market
(before or after 13 August 2005) - Details to be elaborated via standardization EN
50419
142. WEEE Directive Impacts
- Overall costs 500-900 M annually
- collection 300-600 M
- recovery, re-use and recycling 200-300 M
- price increase of 1 (e.g. white goods) to 2-3
(e.g. refrigerators, monitors) - Benefits
- Financial benefits
- saved production costs for virgin materials
- saved disposal costs
- Environmental benefit
- saved resources (e.g. roughly 2.8 M t of oil
equivalent annually) - reduced environmental impacts associated with
resource use
152. WEEE Directive Implementation
- 12/2002 Adoption by Council and Parliament
- 13/2/2003 Publication and entry into force
- 13/8/2004 Deadline for transposition in Member
States - 13/8/2005 Collection systems must be
operational treatment and financing
obligations enter into force - 31/12/2006 Collection and financing targets to
be attained
163. RoHS Directive Objectives Scope
- Directive 2002/96/EC on the Restriction of the
use of certain Hazardous Substances in Electrical
and Electronic Equipment (RoHS) -
- Objectives
- Reduction of the content of hazardous substances
in waste - Restriction on the use of substances in EEE,
where substitutes are available - Scope
- EEE under categories 1-7 and 10 of Annex IA of
the WEEE Directive - Electric light bulbs and luminaries in household
- Not for spare parts for repair of EEE put on the
market before 1 July 2006
173. RoHS Directive Content
- Substitution of certain heavy metals and
brominated flame retardants where alternatives
are available - By 1 July 2006, no new EEE may be put on the
market containing the concerned substances
(except refurbished equipment and specific
applications mentioned in the annex to the
Directive) - Heavy metals Mercury, lead, cadmium and
hexavalent chromium - Brominated flame retardants PBBs (polybrominated
biphenyls) and PBDEs (polybrominated
diphenylethers)
183. RoHS Directive Exceptions (1)
- Exceptions in the annex to the RoHS Directive
- Mercury in fluorescent lamps (partial exemption,
details according to type of lamps) - Mercury in other lamps
- Lead in glass of cathode ray tubes, electronic
components and fluorescent tubes - Lead as an alloy in steel (0.35), aluminium
(0.4) and copper (4) - Lead in solders for servers, storage and storage
array systems (until 2010)
193. RoHS Directive Exceptions (2)
- Exceptions in the annex to the RoHS Directive
- Lead in high melting temperature type solders and
network equipment - Lead in electronic ceramic parts
- Cadmium plating (with exceptions)
- Hexavalent chromium as an anti-corrosion of the
carbon steel cooling system in absorption
refrigerators - Re-evaluation of Deca-BDE, mercury in straight
fluorescent lamps for special purposes,lead in
solders, light bulbs
203. RoHS Directive Scientific technical progress
- Maximum concentration values tolerated for
certain hazardous substances - (subject to scientific and technical progress)
- Total avoidance of heavy metals and brominated
flame retardants is in some cases impossible to
achieve - Certain concentration values should be tolerated
In consultation with producers and other
stakeholers - Maximum concentration values tolerated
- 0,1 by weight in homogeneous materials for lead,
mercury, hexavalent chromium, PBB and PBDE - 0,01 by weight in homogeneous materials from
cadmium
213. RoHS Directive Scientific technical progress
- Adaptation to scientific technical progress
- Exempt materials if substitution is technically
or scientifically impracticable or in case of net
negative environmental impacts - Evaluate exemptions on a 4 years basis in
consultaion with producers and other stakeholders
223. RoHS Directive Implementation
- 12/2002 Adoption by Council and Parliament
- 2/2003 Publication and entry into force
- 8/2004 Deadline for transposition in Member
States - 7/2006 Substance ban
233. RoHS Directive Review
-
- Article 6, review for including categories 8 and
9 Study as a basis for the proposal has been
launched and will be completed by July 2006 - Amendments to the Annex for the inclusion of
additional exemptions - Commission Decisions 2005/717/EC, 2005/747/EC
(October 2005) 2006/310/EC (April 2006) - 4th stakeholder consultation closed 10/2/2006
- 5th stakeholder consultation closed 15/5/2006
- After review Commission will put forward a
proposal to the Committee
243. RoHS Directive Compliance
- RoHS compliance
- Article 4 Members States will have to ensure
that as of 1/7/2006 products put on the EU market
will conform to RoHS - The RoHS Directive does not foresee compliance
procedures or testing methods to be applied - Non-binding Guidance document by Enforcement
Authorities Informal Network (issued May 2006)
253. RoHS Directive Compliance
- Guidance principles on RoHS compliance (non
binding) - Common interpretation across Member States
regarding those products which are considered to
fall within the scope of the RoHS Directive - Presumption that products falling within the
scope conform with its requirements - Self-declaration by producers
263. RoHS Directive Compliance
- Enforcement Process
- Because of very wide range of products, MS
authorities need, in first instance, to
prioritize and based market surveillance on - Market Intelligence, random selection,
- Products know to contain materials of high
concern - High Volume Products
- Short life products
- Consumer products unlikely to be recycled
- Notification of concern from external parties or
MSs - If concern arise, the MS enforcement authority
may decide to submit a formal request for
additional information to the producer and take
appropriate action
273. RoHS Directive Compliance
- Common market surveillance methodology assisting
Member States - MS authorities will require a self-declaration
from producers. There are two initial routes for
documented evidence - SME requirements
- Producers with a quality assurance process
- Step-by-step approach to RoHS compliance
investigations - Detailed assessment if evidence from producers
does not assure compliance - In case of concern detailed sampling and testing
may or could be required
283. RoHS Directive Compliance
- Typical compliance documentation to be provided
by SME producers or suppliers - Declaration that the use of restricted substance
is within the permitted levels - Materials declaration for each part and
justification of RoHS categorization and use of
exemptions - Analysis report of homogeneous materials in
parts/components (could be producers own test
results) - Evidence of procedures can be trusted
293. RoHS Directive Compliance
- Typical compliance documentation to be provided
by producers having an internal quality system
(Compliance Assurance System CAS) - Definition of the purpose, requirements and
specifications of the system - Evidence of process integration with quality
management system - Technical documentation system assuring
conformity - Evidence of active control of CAS audit results
- Evidence of product specific conformance
assessment - Overview of internal data system used for the
management of ROHS compliance
303. RoHS Directive Compliance
- Sampling and testing issues
- Testing usually seen as a last resort
- Producers and Authorities may carry out
analytical testing of homogeneous materials for
conclusive proof of compliance - Producers may wish to adopt a variety of
recommended testing approaches and standards are
being established by international standard
organizations - Comparison with reference materials can be
utilized
313. RoHS Directive Compliance
- Sampling strategies
- As a first step producers and Authorities may
choose to use a screening tool such as ED-XRF,
but results only give an indication - Screening should provide a pass fail - or
borderline result - No further analysis should be required if a clear
pass or fail is obtained
32 4. More information
- http//europa.eu.int/comm/environment/waste/weee_i
ndex.htm - Frequently Asked Questions document
- RoHS Enforcement Document
- Rein Nieland reinirus.nieland_at_ec.europa.eu