Quarterly Meeting · • PRN Review • Wood issues • Conclusion The Packaging Waste Regulations...
Transcript of Quarterly Meeting · • PRN Review • Wood issues • Conclusion The Packaging Waste Regulations...
Quarterly MeetingDecember 2018
Welcome
Andy Hill - Chair
Agenda10.00 am – 10.05 am Welcome, Introduction and FPP Guide launch – Andy Hill
10.05 am – 10.25 am Overview of PRNs - Angus Macpherson,T2E
10.25 am – 10.35 am Board Update - Andy Hill
10.35 am – 10.45 am WRA Activity Update - Julia Turner
10.45 am – 11.05 am WRA Technical Update & Q&A – Richard Coulson, RWE
11.05 am - 11.25 am Update on FPPs – Peter Buckley, EA
11.25 am – 11.40 am Coffee Break/Networking in Exhibition Area
11.40 am - 12.00 pm Health and Safety Update – Tim Johnson, HSE
12.00 am – 12.20 pm BREXIT Briefing – Patrick McKell, Defra
12.20 pm – 12.40 pm Swedish Waste Wood Market – Andreas Tretten
12.40 pm – 12.55 pm Community Wood Recycling Network – Richard Mehmed
12.55 pm – 1.00 pm Date and Location of Future Meetings & AOB
1.00 pm – 1.30 pm Lunch and Networking
Welcome – New Members and Guests
Company Name
BRE Global Steve Manchester
Chrysalix Technologies Florence Geschwend
Compte-R Kevin Agutter
Defra Patrick McKell
Environment Agency Peter Buckley
Swedish Wood Fuel Association/
Econova Recycling ABAndreas Tretten
Fire Shield Systems Russell Bonnett
Hawkins Iain Woodward
HSE Tim Johnson
Welcome – New Members and Guests
Company Name
Peltrade James Behan
Phillips Brothers Paul Phillips
Powerday Simon Little
The Environment Exchange Angus Macpherson
Trackwork James Bowes
WRAP Debbie Palfrey
Xetrov Energy Grahame Williams
Formal Launch of Waste Wood FPP Guide
Thanks to:
• Peter Buckley and Howard Leberman, EA
• Vicki Hughes, Hadfield Wood Recyclers
• Richard Coulson, RWE
• Mark Hall, Stobart Energy
• Lucy Binnie, representing South West Wood Products
Smart, simple, safe trading
“The Packaging Waste Regulations – An overview of PRNs”
WRA Winter Members Meeting
The Hilton Coventry Paradise Way, Walsgrave Triangle, Coventry CV2 2ST
Angus MacphersonManaging Director, The Environment Exchange
5th December 2018
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• The PRN market, why it is there, how it works and current factors
• Circular Economy package
• PRN Review
• Wood issues
• Conclusion
The Packaging Waste Regulations
– An overview of PRNs
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Daily Price Bulletin -
Wood
Graph of Wood prices
Closing Bid/Offer - Wood
Friday 30 Nov 2018
Market Buy Sell
Spot 2018 £55.00 £59.50
DEC Forward 2018
Trans JAN Forward
2019
APR Forward 2019 £65.00
JUL Forward 2019 £65.00
OCT Forward 2019 £64.50
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Back to Basics:
“Polluter Pays”
Producer Responsibility
obliges companies with a
turnover in excess of £2
million that “handle” more
than 50 tonnes of
packaging to
i. Register
ii. Calculate
iii. Recycle or pay to
recycle
PRNs
£’s
Reprocessors
Exporter
P
A
C
K
A
G
I
N
G
C
H
A
I
N
Producers
Raw
MaterialManufacturer
Converter
Packer
Filler
Seller
Smart, simple, safe trading
Back to Basics:
Wood
PRNs
£’
s
Panel Board, Animal Bedding etc.
Exporter
Producers
Raw
Material
Manufacture
r
Converte
r
PackerFiller
Seller
“Closed
Loop?”
WRA
Biomass (EFW)
Pallets
ImportedPallets
Recovery PRNs
PACKAGING
CHAIN
Refabrication
Remanufacture
Reuse
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Back to Basics:
A PRN is:
• Evidence of the recycling of packaging.
• Issued by the reprocessors or exporters accredited by the Environment Agency.
• Required by companies with an obligation under the Packaging Waste Regulation for Compliance.
• A tradable economic instrument subject to market forces of supply and demand.
PRN funds are:
• A penalty on packaging users.
• Not levied on reused packaging.
• To increase the recycling of packaging to the level necessary to meet the target by one or more of:
i. Collection
ii. Reprocessing
iii. End Market
• Sufficient to meet the target.
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Aluminiu
m
Woo
d
Cardboar
d
Plasti
c
Glas
s
MATERIAL
SPECIFIC
GENERA
L
RECOVER
Y
Ste
el
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Table of targets
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Declining
Wood PRN volumes
0
100,000
200,000
300,000
400,000
500,000
600,000
700,000
800,000
900,000
1,000,000
2002 2003 2004 2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017 2018
Wood PRN production 2002 - 2018 (projected) to 2018, 2019 and 2020 Wood obligations
0%
10%
20%
30%
Achieved in2018
Required in2019
Required for2020
Growth in Wood PRNs achieved in 2018 and required to meet the
2019 and 2020 targets
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Back to Basics:
PRN Economics
£
+
£ -
Pre 1998
PRODUCERDECISION
REUSE?
REDUCE?
SUBSTITUTE?Post 1998
Pre 1998
Additional Costs to
Meet Target
£
+
£ -
2018
2020
Total costs increasing to
match alternative
Biomass market
Sales: Wood
chips, etc
Sales: Wood
chips, etc
Sales: Wood
chips, etc
PRNs
PRNs
PROCESSO
R
Process and Collection
Costs
PRODUCERProcess and Collection
Costs
Process and Collection
Costs
Additional Costs to
Meet Target
PRN prices increasing
Sales prices decreasing
Landfill PRNs
PRNs
Waste Wood
Waste Wood
Post 1998
2018
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Increasing
Targets in 2019 and 2020
0%
10%
20%
30%
Achieved in2018
Required in2019
Required for2020
Growth in Wood PRNs achieved in 2018 and required to meet the
2019 and 2020 targets
-15%
-10%
-5%
0%
5%
10%
15%
Aluminium Glass Paper Plastic Steel Wood GeneralRecycling
Energy (EfW) Total
Growth required per material to meet 2019 targets
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Declines in Paper and Plastic exports
0
200,000
400,000
600,000
800,000
1,000,000
1,200,000
1,400,000
1,600,000
2016 2017 2018 (projected)
Ton
nes
of
Mix
ed P
aper
exp
ort
ed
Destination of exports of HMRC 47079010 and 47079090 (Mixed Paper) tonnage from the UK 2016
- 2018
China Netherlands Indonesia India
Germany Thailand Taiwan Vietnam
Rest of EU Remainder
100,000
120,000
140,000
160,000
180,000
200,000
220,000
Q1 Q2 Q3 Q4 Q1 Q2 Q3 Q4 Q1 Q2 Q3
2016 2017 2018
Ton
nes
exp
ort
ed
HMRC Data for Total Waste Plastics (HMRC Code 3915) Exported from the UK
HMRC Data
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Revised EU
Directives: DIRECTIVES OF THE EUROPEAN PARLIAMENT AND OF THE COUNCIL Amending:
• Directive 2008/98/EC on waste
• Directive 94/62/EC on packaging and packaging waste
– 24 months to implement from 4 July 2018
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Revised Packaging Waste Directive Preamble
- Reuse
• Paragraph 4… taking reuse into account for the attainment of recycling targets…
• Paragraph 5… wooden packaging that is repaired for reuse should be taken into account for the purposes of attaining the respective packaging recycling targets.
• Paragraph 11… Member States should make sound use of investments, including through Union Funds, by prioritising prevention including reuse,
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Revised Packaging Waste Directive – Reuse Targets
Article 5:
‘By 31 December 2024, the Commission shall examine data on reusable
packaging provided by Member States in accordance with Article 12 and Annex
III with a view to considering the feasibility of setting quantitative targets on reuse
of packaging, including the calculation rules, and any further measures to
promote reuse of packaging.’
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Revised Waste Directive Preamble – EPR• Paragraph 14… producers of products to bear financial or financial and organisational
responsibility for the management of the waste stage of a product’s life cycle including separate collection, sorting and treatment operations. That obligation can also include
organisational responsibility and a responsibility to contribute to waste prevention and to the reusability and recyclability of products.
• Paragraph 26… should cover the costs necessary to meet the waste management targets
and other targets and objectives, including on waste prevention.
• Paragraph 34 (Litter) … should promote the sustainable use of and contribute to appropriate end-of-life management of their products.
• Paragraph 43 The targets for preparing for re-use and recycling of municipal waste should be
increased.
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Revised Waste Directives – EPR: Article 8a4(a)… financial contributions paid by the producer of the product to comply with its extended producer responsibility obligations:
(a) cover the following costs for the products that the producer puts on the market in the Member State concerned: – costs of separate collection of waste and its subsequent transport and treatment, including treatment necessary to meet the Union waste management targets, and costs necessary to meet other targets and objectives as referred to in point (b) of paragraph 1, taking into account the revenues from re-use, from sales of secondary raw material from its products and from unclaimed deposit fees.
(b) … in the case of collective fulfilment of extended producer responsibility obligations, are modulated, where possible, …
… for individual products or groups of similar products, notably by taking into account their durability, reparability, re-usability and recyclability and the presence of hazardous substances, thereby taking a life-cycle approach and aligned with the requirements set by relevant Union law, and where available, based on harmonised criteria in order to ensure a smooth functioning of the internal market; and
(c) do not exceed the costs that are necessary to provide waste management services in a cost-efficient way. Such costs shall be established in a transparent way between the actors concerned. Where justified by the need to ensure proper waste management and the economic viability of the extended producer responsibility scheme, Member States may depart from the division of financial responsibility as laid down in point (a), provided that:
(i) in the case of extended producer responsibility schemes established to attain waste management targets and objectives established under legislative acts of the Union, the producers of products bear at least 80 % of the necessary costs;
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DEFRA Proposals:
1. Single Producer Responsibility Organisation (PRO)
2. Central body plus PRNs
3. Market-based with competing PROs
4. Market-based with individual producer responsibility
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ESA Diagrams:
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Wood Position:
• Short-term
• Targets• PRN-able material• Keep producers using wooden pallets/packaging
• Medium-term
• Reuse - Level playing field with plastic pallets
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Conclusion:
• Prices
Consultation
• Targets
• Reuse
Board Update
Andy Hill - Chair
Board Update
Board Update
• Quarterly management Accounts to end October 2018
➢ Turnover of £84,291 Actual vs £97,219 Budget
➢ Expenditure of £82,450 Actual vs £81,980 Budget
➢ Surplus of £1,841 (£15,239 Budget) – less than forecast due to members
still taking a long time to pay membership fees
➢Reserve Account - £42,390 – some will be used for WWC work
• Membership fees RPI increase from January
• Competition Law compliance
Activity Update
Julia Turner
WRA ED Activity Update
• 7 more new members this quarter making 110 in total
• Updated Business Plan Summary
• Site visits – Countrystyle, Timberpak and Renewi
• Response to RHI Biomass Combustion in Urban Areas
• Israeli waste Wood Tour
• Waste Fire Conference
• BAV Conference Frankfurt
• European Waste Wood Meeting in Amsterdam
• Presented to UROC members on Waste Wood Classification
WRA ED Activity Update
• Involvement in range of meetings on wood packaging
• Stakeholder Engagement – HSE, EA, CIWM, Defra, WRAP,
ESA,CPI,Recycling Association, TRA, REA
• Next Quarter
➢Commence Testing/Sampling work for WWC
➢ Attending range of events
➢ Input to Wood Packaging Flows work
➢ Starting to scope out work with HSE on dust/explosions
Keeping waste wood in the headlines
Media Coverage
WRA editorials published since September
•Recycling & Waste World - feature on industry update
focussing on Brexit
•Fire & Risk Management - feature on FPP & our work with the
EA
•Timber Trades Journal - feature on the waste wood market
•Skip magazine - industry update
•UROC - industry update
•MRW - WRA wish list
•MRW handbook - waste wood market update
Follow us on Twitter and Linked In
In addition….
Media releases & comments
•Release on Andy chairing the biomass conference•Launch of waste wood guide for FPPs•Extension of RPS - quote given•Wood PRNs story - quote given•MRW WISH fire tests story - quote given•Lets recycle fire conference coverage
Follow us on Twitter and Linked In
What’s Next?Focus for first quarter of 2019
Media work:
•Coverage of FPP guide launch at WRA meeting
•Next stage in WWC project
•Release on new Australian member
Other:
• Planning 2019 meetings/venues
• Increasing Linked In profile
• More digital communications with members
• Continue raising external profile of WRA among keystakeholders
Any questions or ideas please call or email Gayle Whittaker
07766 710479
Technical Update
Richard Coulson
Technical Update
• FPP Waste Wood Guide
• Waste wood classification
• Biomass Suppliers List/RHI Guidance
FPP - Where are we now?
• For over a year, we have been working with the EA to develop specific guide
• Working with a newly appointed EA Specialist with FRS
background - Peter
• Now Finalised and signed off by the EA
• Will need further development of detailed site specifics
Waste Wood Classification
Timescales/Next Steps
• EA have now signed off both HWRC and C&D sampling/testing
plans
• C&D Sampling has started – need more involvement
• HWRC Sampling to commence early in the New Year
• Initial site assessment indicates <0.1% Hazardous in Mixed Wood
• Laboratory about to be commissioned
• Communication to wider group led by the WRA to take place in
January 2019
• RPS extended until September 2019
• End game is to have two sets of closely aligned guidance➢ one by the WRA for the waste wood industry
➢ one for the demolition sector to be produced by NFDC
Biomass Suppliers List/BSL
• WRA appointed to BSL Advisory Panel again for next 2
years
• Air Quality Working Group – BEIS, Ofgem, DEFRA and EA
• 5 work streams➢ Understanding Air Quality impact of RHI
➢ Ofgem-led Enforcement
➢ Biomass Combustion in Urban Areas – Consultation response
from WRA
➢ Waste Wood Guide
➢ Efficiency of Boilers
• Keeping things in context – see https://www.openaccessgovernment.org/why-energy-from-waste-plants-are-less-harmful-than-firework-displays/54183/
Working Together And Prevention Of Waste Fires
Peter Buckley
Senior Fire Advisor (FPP)
Environment Agency
5th December 2018
Background
47
• 2013 high profile fires
• CFOA round table event
• Roadmap produced involving all stakeholders
What is a High Risk Fire Site?
48
A High Risk Fire Site can be any site permitted or not
Poorly stored combustibles Previous fires or close to:
Some Facts and Figures
49
82
permitted
sites
72 other sites
Since 2013 the
number of Cat 1 & 2
incidents have
reduced from 20 to 7
In the last 12
months 62
new sites
have been
identified and
66 sites have
been resolved
154
identified
HRFS
Objectives of FPP
50
• minimise the likelihood of a fire happening
• aim for a fire to be extinguished within 4 hours
• minimise the spread of fire within the site and to neighbouring sites
FPP ARE SITE SPECIFIC
Concerns Raised
51
• Flexibility
• Consistency
• Expertise
• Confusing Regulatory Requirements
Appointment of Senior Fire Advisor
52
Role of Senior Advisor
53
• Work with industry to promote consistency
• Promote consistency within the EA
• Streamlined approach to to FPP assessment
Outcomes
54
▪ Support healthier and safer communities
▪ Protect and improves the environment
▪ Contribute to economic growth
▪ People trust and respect our regulation
Thank you for listening
55
BREXIT Briefing
Patrick McKell, Defra
International waste shipments and EU Exit
58
Objectives of today’s briefing
58
To explain the implications for the regulation of waste shipments in the event of:
• An agreed withdrawal of the UK from the EU,
• Exit from the EU in a No-Deal Scenario.
An agreed withdrawal - I
• The UK and EU have reached an agreement on the terms of a time-limited Implementation Period and the terms of the UK’s withdrawal from the EU.
• During the Implementation Period the UK will no longer be a Member State of the EU, but market access will continue on current terms.
• Common rules will remain in place until the end of the Implementation Period meaning businesses will be able to trade on the same terms until the end of 2020.
59
An agreed withdrawal - II
• Existing EU rules on the shipment of waste will continue to apply. Existing consents to ship notified waste between the UK and the EU will remain valid until the end of the Implementation Period.
• NOTE - The UK will not be part of EU decision making structures during the Implementation Period.
• A review of the EU Waste Shipment Regulations is anticipated before end of 2020. The UK will have limited opportunity to influence the shape of future EU regulations on shipments.
60
61
Waste Shipments Legal Background
61
BASEL OECD
EC WSR Reg. 1013/2006
EC Reg. 1418/2007 (non- OECD)
Transfrontier Shipment of Waste Regs 2007
UK Plan for Waste Shipments
62
No-Deal - The Withdrawal Act
• Withdrawal Act provides powers to “fix” EU and UK regulations to ensure operability on Day 1 in a No-Deal scenario
• These “fixes” are only intended to correct operability problems –this means only making changes that are truly necessary.
• Our aim is to maintain the Status Quo as far as is reasonably possible and provide certainty and continuity for the regulation of international waste shipments.
• The International Waste Shipments (Amendment) (EU Exit) Regulations 2018 laid before the Joint Ctte. on Statutory Instruments on 22 November 2018.
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6363
This SI amends:
• Regulation (EC) No 1013/2006 of the European Parliament and of the Council of 14 June 2006 on shipments of waste,
• the Transfrontier Shipment of Waste Regulations 2007,
• and related subsidiary EU legislation on waste shipments
The amendments will enable the continued operability of the legislation as retained EU law under the European Union (Withdrawal) Act 2018, following the UK’s withdrawal from the European Union
The International Waste Shipments (Amendment) (EU Exit) Regulations 2018
6464
The SI changes include:
• amending references to the EU, EU institutions and EU administrative processes to UK equivalents;
• removing provisions which have no practical application to the UK or are redundant;
• correcting out-of-date references;
• updating legal references to refer to relevant UK legislation; and
• amending the requirement for the government to report annually to the European Commission to the Basel Secretariat only.
The International Waste Shipments (Amendment) (EU Exit) Regulations 2018
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Regulation EC 1013/ 2006 - the principal EU regulation
65
Title II – Shipments within the EU
• Framework of waste shipments procedures, processes and documentation
Title IV - Exports from the Community to Third Countries
• To be repurposed as process for UK waste exports
• Title V - Imports into the Community from Third Countries
• To be repurposed as the process for UK waste imports
66
Regulation EC 1013/ 2006 - the principal EU regulation
Omitting - 9%
New – 1%
Modify - 24%
No change - 66%
66
67
Practical implications for waste shipments
67
“Green List” waste shipments control procedures
•UK Imports of waste for recovery - no practical changes anticipated
•UK Exports of waste for recovery - no practical changes anticipated
•UK Exports to non-OECD countries - we will rely on the existing EU Regulation EC Reg. 1418/2007 – This carries some RISKS but we consider these to be low.
68
Practical implications for waste shipments
68
Notified waste shipments control procedures
Imports of EU waste for disposal
no practical changes anticipated as a result of the “fixing” Exit legislation
• However, Article 34 of the WSR prohibits export for disposal outside the EU, except to EFTA countries.
• This means exports of waste from the EU to the UK for disposal would be prohibited when the UK leaves the EU. This could be addressed under the terms of the Future Economic Partnership.
69
Practical implications for waste shipments
69
Notified waste shipments control procedures
Exports of UK waste for disposal - EU will treat UK as Basel Party
• We will maintain the current provision in the EU Regulation that prohibits the export of waste for disposal with the exception of exports to EU and EFTA countries
• Why should EU accept ? - existing provisions in WSR allow for imports of waste for disposal from parties to the Basel Convention
• UK rarely exports waste for disposal
70
Practical implications for waste shipments
70
Notified waste shipments control procedures
Imports of waste & exports of waste for recovery
• no practical changes anticipated as a result of the “fixing” Exit legislation
• EU will treat UK as an OECD Decision country
• Issue on the status of consented shipments that extend beyond the 29 March 2019
• EU Revised Notice Article 17 - Our objective will be to ensure continuity for shipments that have already been approved
71
Practical implications for waste shipments
71
Notified waste shipments control procedures
UK exports of notified waste – new requirements:
• Familiarise yourself with EU Customs Guidelines on the Import of Waste,
• Complete notifications forms with EU Customs Office of Entry and, where relevant, EU Customs Office of Exit,
• Ensure your waste carriers pass a copy of the Movement document to the Customs Office of Entry into the EU,
• Ensure your waste carrier is suitably authorised to carry waste in the relevant EU countries.
72
Non-legislative issues
72
• EU Waste Shipments “Correspondents” guidance - will continue to apply
• ECJ Case Law on waste shipments - will continue to apply
• Waste Carriers Licences – subject to agreement with individual EU Member States
• Customs Checks - up to 5% of shipments may be inspected. Potential for disruption at UK and EU ports
73
Tariffs
• EU will apply WTO tariffs - no tariffs on wood
• On RDF and SRF - our view is that the export of waste for energy recovery does not constitute a sale of goods but the purchase of a service.
• This is based on our understanding that UK exporters of RDF/SRF have to pay the energy recovery sites to take UK RDF/SRF away.
• This view is supported by both HMRC and the WTO (which considers Refuse Disposal generally a service). As a result, no tariff should be applied to the export.
73
74
Post EU Exit - will the law be frozen?
74
• Repeal of European Communities Act
• Impact on powers to make changes to retained EU Legislation and existing UK implementing legislation
• Sufficient powers under sections 141 and 156 of the Environment Protection Act to make new legislation on waste shipments after Exit
• Any future changes to waste shipment controls will be subject to formal public consultation.
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Summary
• Waste Shipments is an INTERNATIONAL Regime – Defra does not anticipate significant changes in the way shipments will be controlled as a result of Exit,
• In a No-Deal scenario imports of waste for disposal from the EU will be affected,
• Also the status of agreed notified shipments with the EU will be affected as the UK transitions from one set of rules to another, work is underway to mitigate this risk,
• There may be disruption at UK ports which will affect all shipments. The UK regulators are preparing for these.
75
Swedish Waste Wood MarketWRA Winter Meeting
2018-12-05
Andreas Tretten
Svenska Trädbränsleföreningen
Mobile: +46 703 17 11 77
Svenska Trädbränsleföreningen
• Industry Association for Swedish producers of wood fuel with focus on low-fuel and raw material for further processing i.e. bioenergy base industry.
• The members produce and deliver about 80% of the wood fuel sold for district heating, CHP, industries, further processing and other users in the Swedish commercial market
• The association works to facilitate a continued increase and environmentally friendly use of wood fuels:
• Enterprise policy in Sweden and the EU
• Compile facts about wood fuel
• Provide knowledge of wood fuel
• Development and education
• Standardization of biofuels
• Statistics on production of wood fuel
2/3 of our land surface is covered in forest
Biopower
• Bioenergy is the leading energy source in Sweden today.
• The use of bioenergy in Sweden has increased from 40 TWh/year in the 1970s to around 140 TWh today.
• Plants running on biomass• 136 in operation
• 95 CHP (Combined heat and power)
• 41 industry plants
• 20 under construction
Key figures Swedish Recycled Wood Market
1,8 MtonDemand
2018
2,3MtonDemand
2023
Domestic60%
Import40%
2018
Swedish Recycled Wood Market 2018-2019
• Strongly increased prices for recycled wood after a long and cold heating season.
• Increased use and fuel shortage reports - a rapid changing market
• Increased prices for imported recycled wood chips
• Demand for recycled wood chips may increase by 10-30% by 2023
• Less import volumes
• More industries are demanding recycled wood chips
• Competition between energy and panelboard industry
New contracts 2017/2018 vs. 2018/2019
Source: Profu 2018
Price trends 2007 - 2018
Sou
rce: Pro
fu2
01
8
Expected market development -2023
Source: Profu 2018
DemandUnder constructionOther projectsSupply from Swedish market
But you don’t know when the next storm is coming!
Thank you!
Andreas Tretten
Svenska Trädbränsleföreningen
Mobile: +46 703 17 11 77
Richard Mehmed
Network of Social Enterprises
Aims
• Save Resources
• Create opportunities for marginalised people
About us
• Started in Brighton in 1998
• Largest social franchise in the UK
j
Unique to the sector
• Focus on REUSING waste wood
• Lower-skilled but highly worthwhile jobs
Wood waste collection service
• Low volumes
• Work hand-in-hand with WRA members
• Symbiotic relationship
Reuse potential
• 4 million tonnes?
• 10% reusable?
• 400,000 tonnes?
Current volumes
• 25,000 tonnes
• < 1% of waste wood arisings
• Where’s the rest?
• Do you separate anything for reuse?
• Could you separate anything for reuse?
• What would it cost?
• Could we work together?
Thank you
Date/Location of Future Meetings
2019 Meetings
• March 13th - UK Wood Recycling, Middlesbrough
• June 12th - TBC
• September 11th TBC
• December 4th TBC