Frequently Asked Questions
FAQ filtered results:
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Program: TiresTopic: Producer , Registration
You are a tire producer if you supply new tires to consumers in Ontario and you have a permanent establishment in Canada. New tires are supplied to Ontario in two ways – sold on new vehicles or sold as loose tires. The definition for tires producers (as outlined in section 3 of the Tires Regulation) applies in both cases.
New loose tires that are marketed to consumers in Ontario
- For new tires where there is a brand holder resident in Canada: you are the producer for those new tires if you are the brand holder of the new tires (the legislation defines brand holder to mean a person who owns or licenses a brand or who otherwise has rights to market a product under the brand) and resident in Canada.
- For new tires where there is no brand holder resident in Canada: you are the producer for the new tires if you are the importer of those new tires and resident in Ontario.
- For new tires where there is no brand holder or importer resident in Ontario: you are the producer for the new tires if you are the first person to market those tires in Ontario and resident in Ontario.
- For new tires where there is no brand holder, importer or marketer resident in Ontario: you are the producer for the new tires if you are the person that marketed those new tires and non-resident in Ontario.
New vehicles with new tires that are marketed to consumers in Ontario
- For new vehicles where there is a brand holder resident in Canada: you are the producer for the new tires on those new vehicles if you are the manufacturer of the vehicles (the legislation defines vehicle to include motor vehicles, muscular-powered equipment and trailers) and resident in Canada.
- For new vehicles where there is no manufacturer resident in Canada: you are the producer for the new tires on those new vehicles if you are the importer of those new vehicles and resident in Ontario.
- For new vehicles where there is no manufacturer or importer resident in Ontario: you are the producer for the new tires on those new vehicles if you are the marketer of those new vehicles in Ontario and resident in Ontario.
- For new vehicles where there is no manufacturer, importer or marketer resident in Ontario: you are the producer for the new tires on those new vehicles if you are the marketer of those new vehicles and non-resident in Ontario.
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Program: TiresTopic: Producer , Registration , Reporting
Producers with a collection requirement under 1000 kg are exempt from registering and reporting to RPRA in that calendar year. Producers who meet this exemption are, however, required to retain records for five years.
To view your collection requirement, log into your Registry account, download a copy of your 2022 Tires Report and review the section with your minimum collection requirements for 2023.
Producers with a 2023 collection requirement under 1000 kg should contact our Compliance and Registry Team at 833-600-0530 or registry@rpra.ca to determine if their registration should be deactivated.
To calculate your collection requirement for a given year, use the formula below:
(Y3 + Y4 +Y5) / 3 x 0.85
Y3 – the weight of tires supplied in the calendar year three years prior to the collection year
Y4 – the weight of tires supplied in the calendar year four years prior to the collection year
Y5 – the weight of tires supplied in the calendar year five years prior to the collection year
For example, to calculate your 2024 collection requirement, you would input your 2021 (Y3), 2020 (Y4) and 2019 (Y5) supply data.
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Program: TiresTopic: Management activities , Producer
Yes, the entire weight of reused tires can be counted towards a producer’s management target.
See our FAQ: What does ‘reuse’ mean under the Tires Regulation?
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Program: Batteries , Blue Box , Hazardous and Special Products , ITT/AV , Lighting , TiresTopic: Collection systems , Producer
Yes, a producer, a PRO (producer responsibility organization) on behalf of a producer, or a service provider on behalf of either party, can collect any product or material (including materials or products that are not designated under the Resource Recovery and Circular Economy Act, 2016 (RRCEA)). For example, a battery producer may choose to collect batteries that weigh over 5kg; a tire producer may choose to collect bicycle tires; or a Blue Box producer may choose to collect books.
Products or materials that are not designated under RRCEA regulations cannot be counted towards meeting a producer’s collection or management requirements under RRCEA.
If designated materials are co-collected with materials that are not designated, a person must use a methodology or process acceptable to the Authority to account for those materials. Anyone considering this can contact the Compliance Team to discuss at registry@rpra.ca or 833-600-0530.
For example, if bicycle tires are collected at the same time as automotive tires, they must be accounted for separately both when collected and when sent to a processor.
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Program: TiresTopic: Producer , Reporting
Read our Compliance Bulletin – What Tires Have to be Reported for compliance guidance to producers about the definition of a tire and the requirement to report historical tire supply information under the Tires Regulation.
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Program: TiresTopic: Collection systems , Management activities , PRO , Producer
The Tires Regulation requires producers to submit to the Registry the identity of each tire collector and tire collection site that is a part of that producer’s tire collection system. It is up to each producer, or a producer responsibility organization (PRO) on the producer’s behalf, to identify the tire collection sites that will be used in their tire collection systems.
Tire collectors are required to register and identify their collection sites (i.e., the address for every individual site where tires are collected). The collection site data will be used to populate a list of collection sites that will be available to producers and PROs. Producers, or their PROs, will be required to identify their tire collection systems.
Please read Compliance Bulletin -Tire Collection Systems for compliance guidance to producers who are required to establish and operate tire collection systems under the Tires Regulation.
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Program: TiresTopic: Collector , Producer , Promotion and Education , Registration
As a retailer, you may also be a producer and/or a collector, based on the definitions in the Tires Regulation.
Businesses will continue to have discretion over whether they charge a fee to recover the cost of recycling their products. If a business chooses to charge a fee, they are no longer required to provide information about who is charging the visible fee and what it will be used for.
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Program: TiresTopic: Collection systems , Management activities , Producer
Tire Collection Requirements
The minimum tire collection requirements are calculated based on a rolling average of three years of tire supply data multiplied by 0.85 to account for tire wear. Section 4(2) of the Tires Regulation describes the formula used.Tire Resource Recovery Requirements
Producers must ensure that 85% of the tires they collected in a year, by weight, were reused, retreaded or turned into processed materials and made into products and packaging as described in section 11 of the Tires Regulation.Any producer who collects tires in a calendar year, despite being exempt from the collection requirements under section 4(7) of the Tires Regulation, is required to manage those tires (through reuse, retreading or processing) in accordance with section 11(6) of the Tires Regulation.
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Program: Batteries , Blue Box , Hazardous and Special Products , ITT/AV , Lighting , TiresTopic: Environmental Fees , Producer , Retailer
Consumer protection laws in Ontario prohibits the misrepresentation of charges, which means that producers or retailers cannot misrepresent any visible fees as a regulatory charge, tax, RPRA fee or something similar. Consumers who have questions or concerns about a specific transaction or want to report a misrepresentation can contact the Ministry of Public and Business Service Delivery at 1-800-889-9768.
As of March 2023, the promotion and education requirements related to environmental fees have been removed from the Tires, Batteries, Electrical and Electronic Equipment, and Hazardous and Special Products regulations. No changes were made to the Blue Box Regulation as it never contained promotion and education requirements related to these fees.
RPRA’s compliance bulletin Charging Tire Fees to Consumers has since been revoked and RPRA has ceased its enforcement of promotion and education requirements for visible fees across all materials.
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Program: TiresTopic: Producer , Reporting
You may be required to provide a verification report for the annual tire supply report. You will be required to provide verification if you meet the definition of a medium or large producer. Small producers will not be required to submit a verification report, however a percentage of small producers selected annually by the Registrar will be subject to an inspection. If exceptions are identified during the inspection, a comprehensive review may be carried out. For more information on this, read Tires Registry Procedure – Audit.