Supply chain letter on the need for mass balance fuel-use exempt for chemical recycling

The undersigned, representing 20 associations in the plastics supply chain, call on EU Member States to urgently adopt mass balance fuel-use exempt as the EU harmonised mass balance method for allocating recycled content via chemical recycling.

An early warning report to Member States from June 2023 states that 19 countries are at high risk of not achieving their plastic packaging recycling targets*. Currently, the EU plastics recycling rate is 38% (Eurostat, 2022) while the target for 2025 is 50%. Recycling efforts across the EU need to be urgently ramped up with a critical need for more investment in recycling and collection infrastructure. While mechanical and other physical recycling technologies will continue to expand and innovate, there is also a unique opportunity for chemical recycling to complement existing efforts to help achieve recycling targets and increase the volume of recycled content. Mandatory recycled content targets for packaging and automotive are currently being discussed at EU level.

Chemically recycled feedstocks are typically blended with virgin feedstocks and the two different feedstocks cannot be physically separated once they are co-fed into the complex large-scale installations. Therefore, a mass balance chain of custody is required to accurately calculate and verify the amount of recycled content allocated to products. Chemical recycling allows the use of plastic waste, especially feedstock not suitable for mechanical recycling, to produce new chemicals, including plastics. Recent academic research shows that mechanical, other physical and chemical recycling are complementary as these address different types of feedstocks**.

As recognised by the European Commission’s Joint Research Centre (JRC), chemical recycling is currently undergoing rapid technological developments***. When comparing the environmental performance of chemical recycling to incineration with energy recovery, chemical recycling already achieves significant greenhouse gas emission savings, and these are set to increase as the EU electricity grid gradually decarbonises.

Mass balance fuel-use exempt is crucial to incentivize the rapid scale-up of chemical recycling. An estimated 8-billion-euro investment is in the pipeline by 2030 that would produce 2.8Mt recycled plastics via chemical recycling across the different EU Member States****. However, these planned investments will not be achieved if the regulatory framework does not allow for a mass balance method that incentivizes scale-up.

The mass balance fuel-use exempt approach is in line with the EU recycling definition in the Waste Framework Directive and we endorse this to be accompanied by stringent third-party certification and auditing systems to ensure the traceability of recycled content throughout the supply chain. Chemical recyclers are already using third party certification systems with mass balance allocation to ensure full chain of custody traceability for the products commercialised on the market. Other methods such as polymer only and proportional allocation will significantly increase the costs and the required chemical recycling capacity needed to achieve the recycled content targets in packaging and other sectors.

Earlier this year, 33 European associations endorsed mass balance fuel-use exempt as the best way forward to allow chemical recycling to scale, increase recycling rates and achieve the upcoming mandatory recycled content targets.

* Report from the European Commission identifying members states at risk of not meeting the 2025 waste targets, available here

** Lase et al. 2023, How much can chemical recycling contribute to plastic waste recycling in Europe? An assessment using material flow analysis modelling, available here

***Joint Research Centre 2023, Environmental and economic assessment of plastic waste recycling, available here

****Plastics Europe estimates, available here

CRE open letter

Signatories (in alphabetical order):

•           ACE – Alliance for Beverage Cartons and the Environment

•           BPF – British Plastics Federation

•           Cefic – The European Chemical Industry Council

•           Ceflex – A Circular Economy for Flexible Packaging

•           Chemical Recycling Europe

•           Der Grüne Punkt

•           EKO-PAK

•           EUMEPS – European Manufacturers of EPS

•           EuMBC – European Association of Masterbatchers and Compounders

•           EuPC – European Plastics Converters

•           EURO-MOULDERS – Association of European Manufacturers of Moulded PU Parts for the Automotive Industry

•           EUROPEN – The European Organisation for Packaging and the Environment

•           EUROPUR – European Association of Flexible Polyurethane Foam Blocks Manufacturers

•           Flexible Packaging Europe

•           INCPEN – Industry Council for Packaging & The Environment

•           Plastics Europe – Association of Plastics Manufacturers

•           SCS – Styrenics Circular Solutions

•           TEPPFA – The European Plastic Pipes and Fittings Association

•           Valipac

•           Vinyl Plus – The European PVC’s industry commitment to sustainable development

For more information please contact John Sewell at solutions@chemicalrecyclingeurope.eu

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