BR-PNRSIn force; reverse logistics sectoral agreements continue to expand

Política Nacional de Resíduos Sólidos – Lei nº 12.305/2010; Decreto nº 10.936/2022 (revoking Decreto nº 7.404/2010)

Brazil · Ministério do Meio Ambiente e Mudança do Clima (MMA); IBAMA enforcement; state environment agencies

Brazil's PNRS makes manufacturers, importers, distributors and retailers responsible for reverse logistics of listed products, including packaging, e-waste, batteries, tyres and lubricant containers. The 2022 decree consolidated rules, created the National Reverse Logistics Programme and tightened reporting through SINIR.

Category
Extended Producer Responsibility
Enforcement
Mandatory
Effective date
Lei 12.305 enacted 2 August 2010, in force from 3 August 2010; Decreto 10.936 enacted 12 January 2022
Covered entities
Manufacturers, importers, distributors and retailers of products subject to mandatory reverse logistics, including pesticides, lubricant oils and packaging, tyres, batteries, fluorescent lamps, electrical and electronic equipment, and general packaging covered by sectoral agreements
Notes
Reverse logistics implementation uses sectoral agreements (acordos setoriais) and terms of commitment; states (notably São Paulo and Minas Gerais) layer additional rules.

Sources

Verified 2026-04-30

Related regulations

Brazil-ISSB

Local adoption of IFRS S1 / S2 (ISSB Standards)

Brazil · Comissão de Valores Mobiliários (CVM), with Conselho Monetário Nacional (CMN) and Banco Central do Brasil (BCB)
Standards adopted (CBPS 01 / CBPS 02); voluntary application from 2024 (CVM) and 2025 (CMN/BCB), mandatory phased application from 2026

Brazil adopted Portuguese-language versions of IFRS S1 and S2 (CBPS 01 and CBPS 02) developed by the Brazilian Sustainability Pronouncements Committee, with CVM, CMN and BCB resolutions phasing in voluntary use from 2024 to 2025 and mandatory application from 2026 to 2028 depending on the entity.

Enforcement
Mandatory
Effective date
Voluntary: FY beginning on or after 1 January 2024 (ISSB) or 1 January 2025 (CBPS). Mandatory: 1 January 2026 for publicly held companies and S1/S2 financial institutions; 1 January 2028 for other financial institutions reporting consolidated statements under international standards
Covered entities
Publicly held companies, investment funds, securitisation companies (CVM scope), and financial institutions and other institutions authorised to operate by BCB; mandatory application sequenced by prudential segment (S1/S2 first, others by 2028)
IFRS Foundation profile ↗Verified 2026-04-30
In force; PPWR replaces Directive 94/62/EC and applies from 12 August 2026

The EU runs product-specific EPR regimes for packaging, electrical and electronic equipment, batteries, vehicles and single-use plastics, putting collection, recycling and recycled-content obligations on producers placing goods on the single market. The 2025 Packaging Regulation tightens recyclability, reuse and recycled-content rules and applies directly in all Member States from August 2026.

Enforcement
Mandatory
Effective date
PPWR entered into force 11 February 2025, general application 12 August 2026; Battery Regulation entered into force 17 August 2023 with phased obligations through 2027; WEEE Directive in force since 2012; SUP Directive transposition deadline 3 July 2021
Covered entities
Producers, importers and distributors placing packaging, EEE, batteries, vehicles or single-use plastic products on the EU market, regardless of material or origin
Primary source ↗Verified 2026-04-30
In force; pEPR fee invoicing started October 2025

The UK runs separate producer responsibility regimes for packaging, electrical equipment, batteries and end-of-life vehicles, with producers paying fees to fund household collection and recycling. The 2024 pEPR rules shift the full net cost of household packaging waste onto large producers, replacing the previous shared-cost PRN system.

Enforcement
Mandatory
Effective date
pEPR Regulations made December 2024, in force 1 January 2025; first reporting year 1 April 2025 to 31 March 2026; WEEE Regs since 1 January 2014; Battery Regs since 5 May 2009
Covered entities
Packaging producers with turnover above GBP 1 million and handling more than 25 tonnes of packaging per year (lower threshold for small producers); WEEE producers placing EEE on the UK market; battery and ELV producers
Primary source ↗Verified 2026-04-30
In force; VREG amended 2022 to extend scope to all EEE

Switzerland operates advance disposal fee (vRG) schemes for electrical and electronic equipment, batteries, glass bottles and PET, run by industry organisations (SENS, SWICO, Inobat, PET-Recycling Schweiz) under federal ordinances. Packaging EPR for paper, cardboard and plastic remains largely voluntary, organised through municipal collection.

Enforcement
Mandatory
Effective date
VREG in force since 1 July 1998, revised scope effective 1 January 2022; VVEA effective 1 January 2016; battery and glass advance disposal fees in place since the 1990s
Covered entities
Manufacturers, importers and retailers of electrical and electronic equipment, batteries, glass and PET beverage containers placing products on the Swiss market
Primary source ↗Verified 2026-04-30
In force; revised packaging EPR rules applied from 1 July 2025

Norway implements EU-style EPR through Avfallsforskriften, requiring producers of packaging, EEE, batteries and vehicles to join a Producer Responsibility Organisation approved by the Environment Agency. Since July 2025, the previous 1,000 kg-per-material exemption for packaging has been abolished, so every importer or producer must register and report.

Enforcement
Mandatory
Effective date
Avfallsforskriften in force since 2004; Chapter 7 packaging EPR revised effective 1 July 2025 (1,000 kg threshold removed); WEEE provisions since 1999
Covered entities
Any company that professionally imports or manufactures packaging, packaged products, EEE, batteries or vehicles for the Norwegian market; from July 2025 all packaging producers regardless of volume
Primary source ↗Verified 2026-04-30
In force; phased rollout of zero waste certification continues

Türkiye runs a national Zero Waste framework that pairs source separation rules for institutions with producer responsibility duties for packaging and electrical equipment, all administered by the Ministry of Environment, Urbanisation and Climate Change. Packaging producers must register in the zero waste information system, hit recovery targets and pay deposits or fees set under the Packaging Waste Control Regulation.

Enforcement
Mandatory
Effective date
Zero Waste Regulation effective 12 July 2019, amended 9 October 2021; Packaging Waste Control Regulation effective 26 June 2021
Covered entities
Public institutions, large commercial premises, packaging producers and importers, EEE producers; building and premises operators required to set up zero waste systems on phased schedule in annexes
Primary source ↗Verified 2026-04-30