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RPET vs. PET & Inks, laminates and adhesives

Posted by Chandler Slavin on Oct 16, 2012 2:45:00 PM

Good afternoon world! Thought I would catch you all before the late-afternoon slump, which is when I am accustomed to blogging. Second cup of Joe, here I come!

Today’s post takes a slight detour from the world of recycling: I wish to briefly discuss how one quantifies the environmental benefits of sourcing packaging material from recycled resin versus virgin; and, the associated environmental burdens of using inks, laminates and adhesives on fiber-based packaging.

First, the environmental benefits associated with making packaging out of recycled resin versus virgin is kinda a no brainer…one would assume that sourcing post-consumer material yields environmental benefits when compared with sourcing virgin. Luckily, the Franklin Associated recently determined that recycling plastic significantly reduces energy use and greenhouse gas emissions. According to their work, the generation of cleaned recycled resin required 71 trillion Btu less than the amount of energy that would be required to produce the equivalent tonnage of virgin PET and HDPE resin (Killinger, ACC). In other words, the amount of energy saved by recycling PET and HDPE containers including bottles in 2008 was the equivalent to the annual energy use of 750,000 U.S. homes. The corresponding savings in greenhouse gas emissions was 2.1 million tons of C02 equivalents, an amount comparable to taking 360,000 cars off the road (Killinger, ACC). You can download the full report here: Final Recycled Resin HDPE PET Life Cycle Inventory Report.

So this is great because it finally provides justification for moving into PET and RPET packaging as that is the most readily recycled and recyclable. However, how do we show how this data actually impacts the LCA of a package? In other words, if I wanted to measure the environmental benefits associated with sourcing my packaging from RPET as opposed to PET, how would I?

And enter COMPASS, which is the SPC’s packaging environmental life cycle modeling software, which allows you to compare the “footprint” of different packaging materials and types in the design phase. Now that Franklin has provided LCI data about RPET used in packaging, COMPASS should be able to integrate the data into its software, thereby allowing users to compare packaging made from recycled PET versus virgin.

Here’s the email I sent to the creator of COMPASS:

Hey,

I hope this email finds you well.

I had sent you an email asking when COMPASS was going to be updated with the LCI RPET data released by the ACC/APR/NAPCOR, etc. This email is to follow up on that inquiry. As thermoformers of RPET, it is very important for us to be able to quantify the environmental benefits of sourcing an RPET clamshell versus a PET clamshell.

In addition, is COMPASS intending on including metrics for inks, laminates, and adhesives i.e. clay coated SBS board? A lot of research I am finding is that these chemicals greatly impact the environmental profile of a package; when will COMPASS be able to quantify these components?

Thanks for your time.

Chandler

And his response:

Hi,

See below.

Hey,

I hope this email finds you well. Thanks doing well indeed. And you?

I had sent you an email asking when COMPASS was going to be updated with the LCI RPET data released by the ACC/APR/NAPCOR, etc. This email is to follow up on that inquiry. As thermoformers of RPET, it is very important for us to be able to quantify the environmental benefits of sourcing an RPET clamshell versus a PET clamshell. As you may know, we do not add data until they are third party verified. There has been a lot of activity on the data front of late and the data verification is coordinated by the EPA, and rPET and rHDPE are among them. Once we get the go ahead, we will begin work to model the data for COMPASS. This is anticipated to start towards the end of Q3 2010.

In addition, is COMPASS intending on including metrics for inks, laminates, and adhesives i.e. clay coated SBS board? A lot of research I am finding is that these chemicals greatly impact the environmental profile of a package; when will COMPASS be able to quantify these components? The secondary materials you mention may indeed be of concern and they are on our radar, however, since GreenBlue does not collect primary LCI data, we cannot add information until they become available and are verified. There is a lot of talk in the industries about the need for such data, and the best way to convey the information. We may have spoken on this before, but coatings, inks, glues etc are generally used in a very small quantity relative to the primary materials, and the existing display mechanism may need to change to record the results for the secondary materials. Also, since LCA is not a very good mechanism for conveying toxicity, the entire secondary materials module may require some detailed thought prior to implementation. I do not have a timeline for these materials as yet since much of the work in preliminary talk stage only.

Groovy…

I then sent a similar inquiry to another contact who knows a thing or two about sustainable packaging metrics and modeling software:

Hello,

This is Chandler Slavin with Dordan Manufacturing. I hope this email finds you well.

At the meeting, a participant asked if you intended on including any metrics for the inks, laminates and adhesives used in many fiber-based packaging materials. You replied that unless you had scientific evidence that illustrated that such a metric had an impact on the overall environmental profile of a given package, you did not intend on including said metrics in the Scorecard.

I found the following statement in the U.S. E.P.A.’s TRI (Toxics Release Inventory) report, 1996:

…Coated and laminated paper products are also associated with significant reporting of releases and other waste management of TRI chemicals…Pollutants associated with various coating materials and processes have included emissions of volatile organic compounds (VOCs) and discharges of wastewater containing solvents, colorants, and other contaminants.

Download the report at: http://www.epa.gov/tri/tridata/tri96/pdr/chapt5_ry96.pdf

That being said, what are your thoughts on the inclusion of some type of metric that would attempt to quantify the environmental burdens associated with the utilization of inks, laminates, and adhesives on packaging?

Thank you for your time.

Chandler Slavin

And her response:

We aren't opposed to including but we need to have details on what to include and how much they impact the total Life Cycle of the package.? In studies that I have seen on packaging the impact by these materials to the total package LCA are small in comparison than other parts like production of raw materials and transportation.? Prior to us adding to the scorecard we would need the data proving they are a big portion of the LCA and publicly available LCI to add to the scorecard.

Thanks for reaching out sharing some of your questions and concerns.

Hmmmmmm…

I replied the following:

During the meeting, you and your team discussed the ambiguities surrounding the “sustainable material” metric and participants articulated the desire for a “material health/toxicity” metric, in addition to, or as a component of, the “sustainable material” metric. Have you and your team given any thought to the inclusion of such a metric that does not rely on an LCA-based approach, but another “mechanism for conveying toxicity?”

I look forward to your response; thanks again for your time!

And her response:

Yes, we are analyzing the GPP metrics?through the Pilot process as discussed at the meeting.?

She then provided me with a link to their website and other pertinent information; what a doll!

The GPP is the Global Packaging Project and it is super awesome! It looks to provide global metrics for quantifying the environmental profile of a material, packaging type, conversion process, etc. Tons and tons of CPGs and retailers and manufactures and packaging converters are members of this organization. I believe they are currently in a pilot phase, which is attempting to collect LCI data from primary processes.

I reached out to a representative from the GPP and she was really nice. She told me about their work and provided me with access to said work—I feel like I hit a gold mine! Unlike the Scorecard, the GPP will cover a multitude of different metrics, toxicity being among them. SOOOO I guess I am definitely not the only one interested in this and eventually, we will have much more thorough tools to measure the environmental repercussions of our packaging purchasing decisions.

Consequently, it’s only a matter of time until the greenwashers get phased out. I feel like we are in the Wild Wild West of packaging and sustainability and that eventually, some governance will come to maintain order—hopefully the GPP.

AND GUESS WHAT: The GPP is having a conference in October in PARIS. That’s right, Paris, the most romantic city in the whole wide world. I would kill to be able to go; hopefully I can make a good enough case for my Superior to consider it…

The last email that I sent along this theme was to the wonderful Robert Carlson of CalRecycle.

I wrote,

Hello there!

Question: why is an LCA-based approach not appropriate for trying to quantify the environmental ramifications of secondary materials i.e. inks, laminates and adhesives? In addition, what “other mechanisms” exist for quantifying these ramifications? How do you foresee the inclusion of this information in environmental modeling tools going forward?

Do chemical manufactures have to report their releases to the US EPA? If so, where/how can I access this information?

AND, I was reading the back of one of our competitors’ packages and the following verbiage was displayed: “This product contains a chemical known to the state of California to cause cancer and birth defects and other reproductive harm.” WHAT THE WHAT? What is this, where can I find out more?

Thanks buddy!

And his response:

Ok…let me try to take this piece by piece and see what I can help you with:

As far as the competitors’ package goes, there are LOTS of chemicals that require that warning, it’s all part of prop 65 (see the attached PDF for the complete list and their website http://oehha.ca.gov/prop65.html ).? There is very likely a Material Safety Data Sheet available for that product…you might check on their website.

As far as manufacturers reporting their emissions to US EPA…I’m not really sure but I don’t think they do generally.? There are very likely specific situations that are regulated and are required to report emissions to EPA…but I’m not familiar enough with them to tell you which ones are required to be reported on.

Now…on to the meat of your question…the inks, laminates and adhesives…? I’m not sure what you meant with the comment that LCA is not a good mechanism for conveying toxicity…? Perhaps it has to do with the fact that usually LCA don’t get into exposure…? If a product emits 1.2 grams of a toxic substance, that’s all that is reported…it doesn’t really get into whether it’s emitted close to people, if people have long contact time with it or short, if sensitive sub-populations are exposed or not, if the toxin is persistent or not, if workers are exposed or consumers, etc…? That may be what was meant… ?It could be that a combination of an LCA (to determine the releases at various points in the process) and a toxicological assessment of some kind (to determine exposure and risk assessment) would be a better way to approach LCA for these kinds of materials.

?There are always data gaps…there always will be.? To some extent, you can’t measure what you don’t know...? BUT somebody has to collect that data!? Eventually!? So somebody is going to have to step up and foot the bill…the problem of course comes in the sense that nobody trusts industry and government is broke…

How’d I do?? Make any sense???

You did wonderful, Robert, thanks!

That’s all for now. Tune in tomorrow to learn more about packaging and sustainability and the feasibility of recycling PET thermoforms in North America.

Tootles!

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PET exports and EPR?

Posted by Chandler Slavin on Oct 16, 2012 2:43:00 PM

Hello my packaging and sustainability friends! It is great to be back. The wedding was a wonderful affair; everyone had a gay ole time!

Look how pretty the Bride is, who coincidently, is this sister of the author of this blog!



I’m so proud!

Anyway, enough emotional embellishments, let’s get down to business.

Prior to leaving for the wedding, I sent out a boat load of emails, inquiring into this and that. The first I sent was to my contact in the government who works on waste management policy: I inquired into the amount of plastic bales exported out of the country each year. Because the supply and demand balance is a bit disproportionate in North America (HUGE demand; limited supply due to limited collection and quality), a colleague suggested limiting the amount of PET recyclate that leaves the country. Here’s what I wrote:

Greetings my friend!

Hello!

How goes it?

Do you know how much plastic scrap is exported in Canada each year? Do you know of any legislation or initiatives that look to restrict the amount of plastic bales leaving the country? Or, better yet, do you know anyone that would know this information that you could refer me to?

In addition, your MetroWaste calendar said it no longer collects thermoforms via Blue Box program. Is this true? If so, do you know why? Do you have any contacts at MetroWaste that would be able to explain why certain materials are collected and others are not?

Thanks my lady!

Best,

Chandler

And several hours later, I received the following response:

Chandler ,

To answer your questions – we would have no clue how much plastic is exported from Canada every year. To be honest, we have a hard time tracking how much waste is exported, and that’s better tracked than recyclables. The closest we have is a 2007 report from Waste Diversion Ontario , which attempted to track the fate of residential blue box materials. You’ll see that they had many gaps in information, and were only looking at residential materials, not IC&I. But you might be able to find something in here http://www.wdo.ca/files/domain4116/Review%20of%20Blue%20Box%20Material%20Destinations%20Report%20Dec%2014,%202007.pdf???

As for my waste calendar (and to clarify, it’s for the City of Toronto . Metro Waste is a private company), yes it’s true that they aren’t accepting thermoform plastics, and when I called the general city hotline they told me they haven’t accepted them for awhile. I’m not sure of the exact reason, but I’d guess that it’s because they take up lots of space, are difficult to sort, don’t have great end markets, etc. You know the usual. I got a name of someone at the City you could call though…

Have a good weekend!!

The Metro Waste calendar my contact was referring to is literally a calendar, which is distributed to residence of Toronto and explains what materials/packaging types are collected for recycling and what are not. While staying at my friend’s house in Canada, I had the luxury of pursuing said calendar and was surprised to learn that the Blue Box program does not collect thermoforms. I found this surprising because several food-packaging thermoformers have recently released press pieces that explain how they will now be buying, cleaning, and extruding thermoforms into second generation thermoforms. How is this true if Canada, which has a much much better packaging diversion rate, doesn’t even collect and bale these materials for post-consumer market?

And, for your viewing pleasure, I thought I would include some of OUR EPR legislation. This stuff comes from California and helps put into context the way some of this legislation works. You can subscribe to this organization so you receive updates of all EPR legislation in California; oh boy!

-----Original Message-----

From: EPR@calrecycle.ca.gov [ mailto:EPR@calrecycle.ca.gov]

Sent: Thursday, June 17, 2010 8:00 PM

To: cslavin@dordan.com

Subject: CA Product Stewardship Bills: Legislative Update

CalRecycle Extended Producer Responsibility

This is an update on the product stewardship bills in the California Legislature.? This information is constantly changing.? Bills may be tracked at http://www.leginfo.ca.gov.

- SB 1100 (Corbett) Product stewardship: household batteries. Introduced Feb. 17, 2010 .? Last amended June 15, 2010 .? This bill would require producers of household batteries to, among other things, submit, individually or through a stewardship organization, a product stewardship plan to CalRecycle.? This bill is active and currently in the Assembly Committee on Environmental Safety and Toxic Materials.

- AB 1343 (Huffman) Solid waste: architectural paint recovery program.? Introduced Feb. 27, 2009 .? Last amended in the Senate on July 13, 2009. This bill would create the Architectural Paint Recovery Program and require paint manufacturers to, among other things, develop and implement a program to collect, transport, and process postconsumer paint to reduce the costs and environmental impacts of the disposal of postconsumer paint in California.? This bill is currently held under submission in the Senate Appropriations Committee.

- AB 2139 (Chesbro) Solid waste: product stewardship. Introduced Feb. 18, 2010 .? Last amended June 1, 2010 . This bill would create the California Product Stewardship Act and would require, among other things, CalRecycle to submit a report to the Legislature with recommendations on products to include in a product stewardship program.? This bill failed passage from the Assembly Appropriations Committee and is no longer active.

- AB 2176 (Blumenfield) Hazardous waste: lighting products. Introduced Feb. 18, 2010 .? Last amended April 22, 2010 .? This bill would create the California Lighting Toxics Reduction and Jobs in Recycling Act and require producers of certain lamps to, among other things, submit a stewardship plan to the Department of Toxic Substances Control. This bill is currently held under submission in the Assembly Appropriations Committee.

- AB 2398 (Perez) Product stewardship: carpet. Introduced Feb. 19, 2010 .? Last amended on May 28, 2010.? This bill would require, among other things, carpet manufacturers to submit, individually or through a stewardship organization, a product stewardship plan to CalRecycle.? This bill is active and currently scheduled to be heard in the Senate Environmental Quality Committee on June 28, 2010.

-The CalRecycle EPR Team

To subscribe to or unsubscribe from the Extended Producer Responsibility listserv or other listservs, please go to http://www.calrecycle.ca.gov/listservs.

While this legislation obviously does not concern packaging, it does help—at least for me—convey how these concepts may be applied to packaging waste in the future.

Tune in tomorrow to learn about, or attempt to learn about, how to quantify the environmental burdens associated with using inks, laminates and adhesives on fiber-based packaging applications. Its certainly is confusing!

Thanks for listening! My blog has had over 1,300 views! I feel like Julia from Julia and Julia! SOOOO exciting!

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By George she's got it!

Posted by Chandler Slavin on Oct 16, 2012 2:42:00 PM

Hello world!

So Canada is awesome. Toronto has the most amazing waste management system EVER. Check it:

You have to pay depending on the size of your garbage can; the bigger the can, the more you pay.

The result: tiny garbage cans and huge recycling bins.

Monetary incentive facilitating public action? I think so!

AND they have a bin for organic waste.

AND they provide bags for “electronic waste.”

So, unlike me, who, upon discovering a facility in the far South side of Chicago accepted electronic waste, drove around and around trying to locate said facility, local Torontonians simply place their e-waste in the wonderfully provided designated bag. What a life!

So yeah, it was really cool to see how waste is managed in Canada, which has some EPR legislation in place. I don’t know who is making money, if any, off the system (usually costs municipalities money to recycle), but something is definitely working right…

Here is what I learned; get excited!

It is in fact very possible to recycle PET thermoforms and bottles TOGETHER!!!!! So, all those who articulated reasons why the two packaging types were incompatible for remanufacturing together (i.e. different IVs, melting temps, molecular length, etc.) were misinformed! Hurray! And the clamshell recycling initiative rises from its grave!

This is positively wonderful news. If we can recycle PET thermoforms with PET bottles, than the value of the recyclate will remain higher than if PET thermoforms were recycled with other plastic materials, thereby constituting a low-grade plastic mix. From what I understand, bottle-grade PET is the highest grade, or enjoys the most inherent value. If PET thermoforms are made out of bottle-grade PET like ours are (supplier-certified 100% PCR PET), then they TOTALLY can be baled with PET bottles and sold together for remanufacturing into any of the following: new RPET bottles (more expensive reprocessing, need to clean resin for FDA-certified food compliance), new RPET thermoforms, any polyester-based fiber application, plastic strapping, and a TON of other products.

AND I spoke with a gentleman that runs a MRF and he concluded that they do collect and bale PET bottles and PET thermoforms together for market. AWSOME.

I wonder how much of these mixed PET bales are generated…

I wonder what the specs of the mixed bales are…

However, a working industry group recently conducted a pilot to test the integrity of these mixed bottle and thermoform bales and concluded that the adhesives used on labels on PET thermoforms compromised the recycled material. While I am a little hazy on the details, it was reported that the recycled material was unacceptable for market because of the adhesives, which are considered a “contaminant” to the overall integrity of the recyclate. Soooooooo I guess what this means is that:

    1. PET bottles and clamshells can be recycled together; yippee!
    2. Packaging suppliers need to begin to design thermoform PET packaging “for recycling.” While the APR has guidelines for designing bottles for recycling, no guidelines exist for designing thermoforms for recycling. Such guidelines could suggest things like:
  • The adhesive used for binding labels and other marketing information to PET thermoforms needs to be X or can’t be Y or something to that effect.
I am looking forward to learning more about the results of this pilot; it is just so cool that people are interested in this, too. And here I thought I was all alone…

After speaking with another gentleman who knew a thing or two about a thing or two, I understand the current climate of recycling in North America to be as follows:

There is a HUGE demand for PET recyclate from bottlers, brand owners, and CPGs; however, there is not enough SUPPLY due to limited collection. This supply and demand disproportion can be solved, perhaps, by implementing the following actions:
    • Implement bottle deposit programs/legislation—this would provide consumers with an economic incentive to recycle their PET bottles.
    • Incorporate PET thermoform packages into the PET bottle recycling infrastructure. I like this one.
    • Limit the amount of PET bales that are exported each year.
The ACC estimates that 400 million pounds of a particular plastic needs to be generated in order for the recycling of it to be profitable. According to Plasticstoday.com, 1.4 billion lbs of PET thermoforms were generated in North America in 2008. This implies that PET thermoform bales could constitute a recycling steam all on their own, without piggy-backing on PET bottles. However, perhaps it’s easier to integrate them into the existing PET bottle recycling infrastructure than create a new stream of PCR PET, thermoform grade? Now I just don’t know…

Tomorrow is my birthday and this Saturday is my sister’s wedding! Therefore, I will be unbloggable until early next week. But stay tuned, there is a ton of interesting stuff I need to report to you!

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The post of all posts!

Posted by Chandler Slavin on Oct 16, 2012 11:06:00 AM

Happy Friday! This Saturday is my sister’s bachelorette party at Cuvee in Chicago, which is a super posh champagne lounge. I will let you know if I see any celebrities!

So I FINALLY finished my work on PET recycling for a Canadian retailer, which is good, as I leave on Tuesday!

Check it out! It’s sort of a lot, and it’s really detailed, so sorry if I bore you! Oh, and it’s broken into a couple different sections:
    1. Summary of a super huge document titled, “Best Practices and Industry Standards in PET Recycling.”
    2. Supply and demand of PET bottles post consumer, North American context.
    3. Supply and demand of PET thermoforms post consumer, North American context.
    4. Interview with StewardEdge and Stewardship Ontario’s Plastics Market Developer.
    5. Case studies of PET recycling, bottle to bottle, bottle to thermo, and thermo to bottle.
Seriously, this is the post of all posts! And when I copied and pasted my report into the Blog software, it messed up my outline--sorry!

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