What we recycle

Plastics

Plastics are composed of polymers i.e., compounds made of many small molecules.

Ferrous metals

Ferrous metals, primarily composed of iron, include materials like steel and cast iron, which are commonly found in construction, manufacturing, and transportation.

Non-Ferrous metals

Non-ferrous metals, such as aluminum, copper, lead, zinc, and titanium, do not contain iron and are valued for their resistance to corrosion and high conductivity.

Paper

Recycled paper is a versatile material that can replace or supplement virgin pulp to create new products like packaging, newspapers, and insulation.

Textiles

Textiles, including both synthetic fibers like polyester and natural fibers like cotton, are integral to daily life, with global production nearly tripling since 1975.

Tyres

Tyres contain multiple valuable materials such as rubber (75%), steel (15%) and textile fibres (10%).

Construction & Demolition

Construction and demolition (C&D) waste includes materials like concrete, bricks, wood, metals, glass, plastics, and hazardous substances such as asbestos.

End-of-life Vehicles

End-of-life Vehicles (ELVs) contain valuable materials like metals (steel, aluminum), plastics, rubber, and glass, as well as batteries.

E-waste

E-waste, otherwise referred to as waste electronical and electronic equipment (WEEE), is mainly composed of non-ferrous metals (nickel, copper, lead, etc.

Ships

End-of-life ships are decommissioned vessels that contain valuable materials like steel, metals, and electronics, along with hazardous substances such as asbestos, oils, and toxic chemicals.

Who we are

Recyclers call for a Waste Shipment Regulation that promotes plastics circularity in Europe

In view of starting trialogue negotiations on the Waste Shipment Regulation, the European Recycling Industries’ Confederation (EuRIC) recalls main messages for achieving coherence between the Waste Shipment Regulation (WSR) and the future Packaging and Packaging Waste Regulation (PPWR) for facilitating plastics circularity and plastics free trade within the EU, as outlined in EuRIC’s position paper.

Achieving ambitious mandatory recycled content targets for plastic packaging under the PPWR requires a functioning and defragmented European plastics recycling market. Therefore, EuRIC calls for avoiding measures that have the exact opposite effect when finding a common position in the trialogue. Removing waste entries EU3011 and EU48 would increase the administrative burden by requiring unnecessary notifications for many plastic waste shipments and jeopardise the competitiveness of the EU recycling industry. When competing with virgin raw materials, a level playing field for recycled plastics also requires minimising the cost of notifications within the EU. In addition, a mandatory recycled content target for all plastics will be essential to ensure investment stability and planning certainty for the industry.

Moreover, the establishment of EU harmonised end-of-waste criteria is crucial for better re-introduction of high-quality recycled products (e.g., pellets, powders and flakes) into new products and will be key to the development of the European recycling industry.

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