
Frequently Asked Questions
FAQ filtered results:
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Program: Blue BoxTopic: Management activities , Producer , Reporting
There are only two allowable deductions for Blue Box materials. There are for materials that are:
- collected from an eligible source at the time a related product was installed or delivered (e.g., packaging that is removed from the house by a technician installing a new appliance). This is the “installation deduction”.
- deposited into a receptacle at a location that is collected from a business or institution where Blue Box collection services are not provided under the regulation. This is the “ineligible source deduction” that was expanded by the regulation amendment in July 2023.
Ineligible source deductions:
Blue Box Producers may deduct materials that are collected from a business or institution where producers are not required to provide Blue Box collection services. Examples include offices, stores and shopping malls, restaurants, community centres, recreation facilities, sports and entertainment venues, universities and colleges, and manufacturing facilities.
Producers cannot deduct the following materials collected through the collection systems established under the Blue Box Regulation:
- Material that is generated at a facility (including multi-residential buildings, retirement homes, long-term care homes and schools).
- Material that is collected from a residence through a curbside or depot collection service.
- Material that is collected from a public space (including an outdoor area in a park, playground or sidewalk, or a public transit station).
- Material collected under an alternative or supplemental collection system.
- Beverage containers cannot be deducted.
Materials that are deducted cannot count toward a producer’s management requirement.
Please see the Reporting Guidance Ineligible Source Deductions for the 2024 Blue Box Supply Report for more information on how to determine and use these deductions.
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Program: Blue BoxTopic: Producer , Reporting
Starting in 2022, producers are required to report their supply data annually to RPRA.
Each year, producers will need to provide the previous years’ supply data in each of the seven material categories – beverage container, glass material, flexible plastic, rigid plastic, metal material, paper material, and certified compostable products and packaging material – as well as any deductions.
See our FAQ to understand “What deductions are available to producers under the Blue Box Regulation?”
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Program: Blue BoxTopic: Producer , Registration
Producers are required to provide the following information when registering with RPRA:
- Contact information
- PRO information (if a PRO has been retained at time of reporting), including what services they have retained a PRO for
- Their 2020 supply data in each of the seven material categories– beverage container, glass material, flexible plastic, metal material, paper material, and certified compostable products and packaging material – as well as any deductions.
Please note that this information must be submitted to RPRA directly.
See our FAQ to understand “What deductions are available to producers under the Blue Box Regulation?”
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Program: Blue BoxTopic: Collection systems , General , PRO , Processor , Producer
The following are the types of Blue Box Materials obligated under the Blue Box Regulation:
- Blue box packaging (primary, transport, convenience, service accessories, ancillary elements)
- Paper products
- Packaging-like products
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Program: Blue BoxTopic: General , Producer
Under the Blue Box Regulation, consumers are individuals who use a product and its packaging for personal, family or household purposes, or persons who use a beverage and its container for personal, family, household, or business purposes.
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Program: Blue Box , Hazardous and Special ProductsTopic: Management activities , Producer , Reporting
No, products or packaging designated as Hazardous and Special Products (HSP) are not obligated under the Blue Box Regulation. For example, primary packaging for paints and coatings are HSP and therefore not obligated as Blue Box materials.
Some packaging for HSP products may still be obligated. For example, the packaging that contains an oil filter is obligated as Blue Box materials.
Consult the HSP Regulation or the Compliance and Registry Team for further information.
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Program: Blue BoxTopic: Collection systems , General , PRO , Processor , Producer
Under the Blue Box Regulation, a packaging-like product is:
- ordinarily used for the containment, protection, handling, delivery, presentation or transportation of things
- ordinarily disposed of after a single use
- not used as packaging when it is supplied to the consumer
Packaging-like products include aluminum foil, a metal tray, plastic film, plastic wrap, wrapping paper, a paper bag, beverage cup, plastic bag, cardboard box or envelope, but does not include a product made from flexible plastic that is ordinarily used for the containment, protection, or handling of food, such as cling wrap, sandwich bags, or freezer bags.
If a producer is unsure whether or not their product is a packaging-like product, they can ask themselves the following questions to help determine whether the product is obligated to be reported under the Blue Box Regulation:
- Is the product actually packaging around a separate product?
- If yes, the product is not a packaging-like product. Instead, the product is considered blue box packaging and must be reported as blue box material. If no, continue to the next question.
- Is the product used for the containment, protection, handling, delivery, presentation or transportation of a thing(s)?
- If no, the product is not a packaging-like product. If yes, continue to the next question.
- Is the product typically disposed of after a single use (regardless if some may wash and reuse it)?
- If no, the product is not a packaging-like product. If yes, continue to the next question.
- Is the product made from flexible plastic that is for the containment, protection or handling of food?
- If yes, the product is not a packaging-like product. If no, the product is a packaging-like product and must be reported as blue box material.
If a producer is still unsure whether or not their product is a packaging-like product, they should contact the Compliance and Registry Team at 833-600-0530 or registry@rpra.ca.
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Program: Blue BoxTopic: Producer , Reporting
For the purposes of the Blue Box Regulation, a beverage container is a container that:
- Contains a ready-to-drink beverage product,
- “Ready-to-drink” means a beverage packaged by the manufacturer for immediate consumption that does not require any preparation. A ready-to-drink beverage is intended to be consumed as purchased and does not require a dispensing device to be consumed.
- “Beverage” means a consumable liquid for enjoyment or hydration. It does not include an “alcoholic beverage”, or “non-alcoholic beer, wine or spirits” as defined in O. Reg. 391/21.
- Is made from metal, glass, paper or rigid plastic, or any combination of these materials, and
- If a beverage container is made only of flexible plastic, it would be obligated as a Blue Box material but would be reported under the material category “Flexible Plastic” rather than the “Beverage Container” material category. The Blue Box Regulation defines flexible plastic as unmoulded plastic. For more information on reporting of packaging and beverage containers that consist of multiple materials, please see the “Component Threshold Rule” in the Blue Box Verification and Audit Procedure Registry Procedure.
- Is sealed by its manufacturer.
- A cup provided to a consumer in a restaurant filled with fountain pop is not sealed by the manufacturer and is therefore not considered a beverage container. However, the cup (including the lid and straw) would still be obligated as a Blue Box material in the paper and/or plastic material categories.
For greater clarity, the Registrar does not consider the packaging from the following product types to be a beverage container:
- Infant formula
- Meal replacements, nutritional supplements or dietary supplements
- Regulated health products
- Concentrated beverages intended to be mixed or diluted before consumption, such as frozen juices, cocktail mixers, extracts and flavour enhancers
- Liquids that are not intended to be consumed as purchased such as soup, syrups, cream and other beverage additives, whipping cream, buttermilk, broth
- Beverage containers made of flexible plastics such as milk bags (these are still to be reported as flexible plastics)
Milk products and substitutes (e.g., soy beverage, almond beverage, a rigid plastic container of milk, drinkable yogurt) are beverage containers provided they are packaged in a container as defined above.
- Contains a ready-to-drink beverage product,