The Packaging and Packaging Waste Regulation (PPWR) introduces new requirements for packaging placed on the European market. As the regulation gradually comes into force, many companies have questions about their responsibilities, compliance obligations and the practical impact on their packaging. In this FAQ, we answer the most common questions about PPWR, including Declarations of Conformity (DoC), Extended Producer Responsibility (EPR), recyclability, labelling requirements and upcoming regulatory changes.
The Packaging and Packaging Waste Regulation (PPWR) aims to reduce the growing volume of packaging waste and prevent further increase by 2030. The regulation entered into force on 11 February 2025 and will generally apply from 12 August 2026, with longer transition periods applying for certain requirements.
PPWR applies to all economic operators involved in the packaging value chain. These include:
As a packaging company, VPK is generally considered a supplier under PPWR. In certain specific situations, VPK may also be considered as a manufacturer, for example when:
The main topics to address in the short term (2026) are:
From 2028 onwards, additional requirements will gradually become applicable, including:
VPK provides customers with technical information relating to the packaging references supplied to them. To address the requirements on Substances of Concern (SoC), VPK has established an evidence-based compliance statement based on:
A supplier must provide the manufacturer with relevant technical information for the packaging supplied. In addition, the supplier must provide available test reports on Substances of Concern (SoC).
A manufacturer uses the information provided by suppliers to prepare the Declaration of Conformity (DoC) for the it places on the EU market. The manufacturer is responsible for ensuring that the packaging complies with the applicable PPWR requirements.
A Declaration of Conformity (DoC) is a document that demonstrates compliance with the applicable PPWR requirements and allows packaging to be placed on the EU market.
The DoC:
In most cases, VPK acts as a supplier and is therefore not responsible for preparing or signing the Declaration of Conformity for packaging placed on the market by its customers.
The responsibility for preparing and signing the DoC remains with the manufacturer placing the packaging on the EU market.
Extended Producer Responsibility (EPR) is a financial responsibility for the management of packaging waste, including the costs of collection, sorting and recycling.
Producers, such as manufacturers, distributors and importers, are responsible for paying EPR fees in the countries where they place packaging on the market.
Yes. Several PPWR requirements will become applicable in the coming years. VPK continuously monitors the development of secondary legislation and technical specifications expected between 2026 and 2030.
From 2030 onwards, a 100% reuse target will apply to pallets used for transport within the same Member State, subject to the conditions defined in the regulation.
The detailed recyclability criteria and performance grades have not yet been published. Greater clarity is expected through a delegated act by 1 January 2028. The new requirements are expected to become applicable 24 months after publication.
PPWR introduces harmonised labels for different packaging materials to help consumers sort and recycle packaging correctly. These labels will only apply to consumer packaging, meaning packaging that enters household waste streams. The labelling requirements are expected to apply from 12 August 2028.
The detailed packaging minimisation criteria are not yet available. Additional guidance is expected by 12 February 2027, with the requirements becoming applicable from 1 January 2030.
The methodology for calculating the empty space ratio has not yet been defined. Further clarification is expected through an implementing act in 2027, with the requirements becoming applicable from 1 January 2030.
From 2027, PPWR explicitly allows the use of digital data carriers, such as QR codes, to provide certain mandatory packaging information.
However, mandatory labelling elements cannot be provided exclusively in digital format. Physical labels will remain mandatory for harmonised sorting information.
The manufacturer or producer remains responsible for the digital content and must ensure that the information is accessible, accurate and available for the required period.
The requirements in PPWR for reporting are much higher for manufactures (mainly our customers: brands, retail, traders, …) then for suppliers (the standard corrugated box plants). However, to accurately identify the specific obligations that apply, each company must assess its role within the supply chain and consult with internal operational and legal departments.
PPWR is a vast regulation, and this annex complements the FAQ section. It aims to capture essentials impacting the relation between VPK and its customers. Major milestones are 2026 regarding PFAS, Heavy Metals (HM) and Bisphenols; 2027 requests compliancy on Extended Producer Responsibility (EPR) and 2028 compliance on packaging labelling. Across all these milestones, the Commission expects manufacturers of packaging goods to increase efforts on packaging reduction and recycling.
On the topic of microplastics within PPWR:
On the topic of conformity claim:
On the topic of heavy metals (HM):
On the topic of per- and polyfluoroalkyl substances (PFAS):
On the topic of Extended Producer Responsibility: