Frequently Asked Questions
FAQ filtered results:
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Program: Blue BoxTopic: Producer , Reporting
Any donated or re-supplied paper products or other Blue Box materials that are supplied to consumers through a reuse store or upcycling event should not be included in your supply report.
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Program: Blue BoxTopic: Producer , Reporting
Any public sector institution, including colleges and universities, that offers a self-serve hot drink machine for use by students and employees (i.e., consumers) must report all the Blue Box materials supplied with the machine to serve the hot drinks. This includes branded and unbranded single-use cups, lids, etc.
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Program: Blue BoxTopic: Producer
Unbranded products are products that do not have any mark, word, name, symbol, design, device or graphical element, or any combination of these, including a registered or unregistered trademark, which identifies a product and distinguishes it from other products.
The retailer who supplied the product to a consumer in Ontario, either online or at a physical location, is the obligated producer for the supply of Blue Box packaging on that unbranded product.
For example: A cucumber in plastic film sold at a grocery store that does not have any stickers, labeling or any other information associated with a brand is considered unbranded. As the retailer for that unbranded product, the grocery store is the obligated producer for the packaging supplied with the cucumber.
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Program: Blue BoxTopic: Producer
A newspaper producer is a person who supplies newspapers to consumers in Ontario. For the purpose of the Blue Box Regulation, newspapers include broadsheet, tabloid or free newspaper. For further information, see the FAQ: What is a newspaper?
Note that a producer of supplemental advertisements or flyers that are supplied with a newspaper would not be considered a newspaper producer as they do not supply the actual broadsheet, tabloid, or free newspaper. This producer cannot use the newspaper exemption percentage to be exempt from Blue Box collection and management requirements. See the FAQ: Are there exemptions for Blue Box producers?
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Program: Blue BoxTopic: Producer , Reporting
Under the Blue Box Regulation, allowable deductions for producers include Blue Box materials that are deposited into a receptacle at a location that is not an eligible source and where the product related to the Blue Box material was supplied to a consumer and used or consumed.
This applies to locations such as arenas, college and university campuses and food courts.
A producer must demonstrate the following with regards to an allowable deduction:
- They are the obligated producer for the materials for which they are claiming a deduction, and the weight of those materials was included in their reported supply data.
- The materials were supplied onsite to a consumer for personal, family or household purposes.
- The same materials that were supplied, were used or consumed onsite and disposed of in a receptacle onsite.
Blue Box materials that were disposed of in a building’s receptacles but were not supplied and used or consumed within that physical building are not deductible. This deduction applies to all Blue Box materials supplied for personal, family or household, but not those supplied for business purposes. This deduction is not available for beverage containers.
This does not reduce the obligation of a producer to provide complete and accurate supply data or limit the ability of an Authority inspector to review the data and related records for the purpose of determining compliance.
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Program: Blue BoxTopic: First Nation communities
No, First Nations are not required to participate. First Nations can choose if the producer-run Blue Box system is the best option for their community. One of RPRA’s roles in overseeing the Blue Box program is to provide as much information as possible to support a community’s informed decision.
If your community is still undecided about whether or not to register, we encourage you to reach out to a Compliance Officer at registry@rpra.ca with your questions or to get more information.
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Program: Blue BoxTopic: First Nation communities
If your community is south of the Far North boundary, you can complete the registration form and email it to registry@rpra.ca to express your community’s interest in participating in the producer-run Blue Box program. A Compliance Officer will reach out to you to discuss the reporting and offer process, confirm the information provided in the registration form, and answer any questions you may have.
Communities in this situation are eligible to receive recycling collection services starting January 1, 2026.
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Program: Blue BoxTopic: First Nation communities
A First Nation’s transition date represents the earliest date that producers are required to provide the community with either Blue Box service or funding within the Blue Box program. Transition dates cannot be moved or changed.
A First Nation’s community name, reserve name(s) and transition date appearing on the transition schedule means it is an eligible community to receive Blue Box collection service or funding between July 1, 2023, and December 31, 2025. The transition schedule was amended for the last time on February 23, 2024. There will be no more additions to the transition schedule.
Related FAQs:
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Program: Batteries , Blue Box , Hazardous and Special Products , ITT/AV , Lighting , TiresTopic: Producer , Registration , Registry , Reporting , RPRA Program and Registry Fees
Producers are obligated parties under the Resource Recovery and Circular Economy Act and are ultimately responsible for their data submitted through RPRA’s Registry. Producers can choose to contract with an external consultant to support their data submission, but third parties have limited permissions in the Registry as they are not regulated parties.
A producer can choose to assign a primary or secondary user profile in their Registry account to an external consultant. An external consultant may submit supply data reports and/or pay registry fees on the producer’s behalf.
External consultants cannot submit and/or sign registration, executive attestations, account admin changes or supply data adjustment documentation on behalf of a producer. External consultants cannot be account admins, nor can they manage a PRO within the Registry on behalf of a producer.
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Program: Batteries , Blue Box , Hazardous and Special Products , ITT/AV , Lighting , TiresTopic: Producer
No, where a producer is exempt, the regulatory obligations do not become the responsibility of the organization that is next in the producer hierarchy. The exempt producer remains the “producer” for those materials; they are just exempt from certain requirements under the regulation as set out in the relevant provisions providing for the exemption. This is the case in all RRCEA regulations.