Packaging Waste Recovery Note: Difference between revisions
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However, following publication of the [[EPR]] consultation in March 2021, it was indicated that the [[PRN]]/[[PERN]] system would be retained as an 'interim solution' until a wider [[EPR]] could be implemented. | However, following publication of the [[EPR]] consultation in March 2021, it was indicated that the [[PRN]]/[[PERN]] system would be retained as an 'interim solution' until a wider [[EPR]] could be implemented. | ||
In March 2022 a further consultation was launched<ref>https://consult.defra.gov.uk/packaging-extended-producer-responsibility/reforms-to-the-prn-and-pern-systems/</ref> to modify the [[PRN]]/[[PERN]] system to align with the published consultation output in March 2022 | In March 2022 a further consultation was launched<ref>https://consult.defra.gov.uk/packaging-extended-producer-responsibility/reforms-to-the-prn-and-pern-systems/</ref> to modify the [[PRN]]/[[PERN]] system to align with the published consultation output in March 2022<ref>https://www.gov.uk/government/consultations/packaging-and-packaging-waste-introducing-extended-producer-responsibility#full-publication-update-history</ref> on the review of the [[EPR]] system. This anticipates extending the [[PRN]]/[[PERN]] to 2026 to 2027 with some changes designed to improve the way it runs. | ||
==Obligated Companies== | ==Obligated Companies== | ||