Plastics Limits
Plastics Limits
The preparation of this report was made possible thanks to the generous contribution of the Government of France.
IV | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
TABLE OF CONTENTS
Acknowledgements................................................................................................................................................................................................................................... Iv
Key Findings................................................................................................................................................................................................................................................. 3
Executive Summary.................................................................................................................................................................................................................................... 3
Glossary 0f Terms....................................................................................................................................................................................................................................... 4
Introduction.................................................................................................................................................................................................................................................. 6
Methodology......................................................................................................................................................................................................................................... 8
Plastic Bags.........................................................................................................................................................................................................................................10
Single Use Plastics ...........................................................................................................................................................................................................................10
Key Findings ..............................................................................................................................................................................................................................................10
Microbeads..........................................................................................................................................................................................................................................11
An Overview Of Regulatory Approaches Controlling Plastic Bags..................................................................................................................................................12
Regulatory Approaches ...................................................................................................................................................................................................................13
Bans Or Restrictions..........................................................................................................................................................................................................................13
Thickness Requirement....................................................................................................................................................................................................................17
Material Composition Or Type.........................................................................................................................................................................................................19
Production Volume Or Number Restrictions................................................................................................................................................................................21
Promotion Of The Use By Consumer Of Reusable Bags............................................................................................................................................................21
Exemptions From Plastic Bag Ban.................................................................................................................................................................................................22
Market-Based Instruments .............................................................................................................................................................................................................34
Return, Collection, Recycling And Disposal Of Plastic................................................................................................................................................................41
Extended Producer Responsibility .................................................................................................................................................................................................41
Recycling Targets...............................................................................................................................................................................................................................44
Fines Related To Plastic Bag Legislation .....................................................................................................................................................................................45
City Level Regulation Of Plastic Bags............................................................................................................................................................................................46
Regulatory Approaches ...................................................................................................................................................................................................................47
An Overview Of Regulatory Approaches Controlling Single Use Plastic Items.............................................................................................................................47
Market-Based Instruments .............................................................................................................................................................................................................55
Taxes On Manufacturers Or Producers, Importers, And Retailers...........................................................................................................................................55
Regulation Of Single-Use Plastic Disposal ...................................................................................................................................................................................57
Extended Producer Responsibility .................................................................................................................................................................................................57
Deposit-Refund Schemes.................................................................................................................................................................................................................61
Recycling Mandates..........................................................................................................................................................................................................................63
An Overview Of Regulatory Approaches Controlling Microbeads...................................................................................................................................................70
Characteristics Of The National Laws And Regulations............................................................................................................................................................72
Definition Of Microbead....................................................................................................................................................................................................................73
Prohibition Of Use And Manufacture.............................................................................................................................................................................................73
Type Of Products Covered...............................................................................................................................................................................................................74
Exemptions..........................................................................................................................................................................................................................................76
Phase In Dates....................................................................................................................................................................................................................................76
Countries With Proposed Laws.......................................................................................................................................................................................................77
Regional Government Support For Microbead Bans..................................................................................................................................................................82
Other Voluntary Approaches............................................................................................................................................................................................................83
Conclusions................................................................................................................................................................................................................................................84
Recommendations:...................................................................................................................................................................................................................................86
Annex...........................................................................................................................................................................................................................................................87
References..................................................................................................................................................................................................................................................91
Secondary Sources:.........................................................................................................................................................................................................................108
End Notes..........................................................................................................................................................................................................................................111
Figures
Figure 1| Countries with National Legislation on Plastic Bags.........................................................................................................................................................12
Figure 2 | Types of National Restrictions or Bans..............................................................................................................................................................................16
Figure 3 | Number of Countries with Partial Bans..............................................................................................................................................................................17
Figure 4 | Regional Disaggregation of Reusable Bag Regulations..................................................................................................................................................22
Figure 5 I Countries with Levies and Fees according to Type..........................................................................................................................................................34
Figure 6 | Countries with laws that provide tax breaks for manufacturers to recycle or produce reusable bags..................................................................37
Figure 7 | Number of countries with characteristics of extended producer responsibility........................................................................................................42
Figure 8 | Number of bans by type.........................................................................................................................................................................................................49
Figure 9 | Bans on Specific Products.....................................................................................................................................................................................................55
Figure 10 | Regional Distribution of Countries with and without microbead laws......................................................................................................................71
Figure 11 | Countries that do and do not have national level laws or regulations controlling the use of microbeads.........................................................71
Figure 12 | Number of Countries with different types of microbead prohibitions........................................................................................................................74
Figure 13 | Number of countries disaggregated by voluntary ..............................................................................................................................................................
approach to the control of microbeads...............................................................................................................................................................................79
Figure 14 | Voluntary measures to control microbeads disaggregated by region........................................................................................................................80
Boxes
Box 1: European Union Regional Initiatives to Reduce Plastic Waste.............................................................................................................................................54
Box 2: Selected Examples of Subnational Action...............................................................................................................................................................................54
Box 3: Examples of proposed legislation to restrict single-use plastics........................................................................................................................................69
Box 4: Examples of subnational laws regulating the use and sale of microbead containing products...................................................................................72
2 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
the decade, with many countries
EXECUTIVE SUMMARY
enacting restrictions in the past
few years. Plastic bags regulations
include restrictions on the
This report provides a global overview on the progress of manufacture, distribution, use,
countries in passing laws and regulations that limit the and trade of plastic bags, taxation
and levies, and post-use disposal.
manufacture, import, sale, use and disposal of selected
The regulations vary considerably
single-use plastics and microplastics which have a great in their comprehensiveness, but
the most common form is the
impact in the production of marine litter
restriction on free retail distribution.
It is based on a review of national they apply to certain products, Twenty-seven (27) countries have
legally-binding instruments that materials or production enacted legislation banning either
include bans and restrictions, taxes processes, or use in specific specific products (e.g. plates, cups,
and levies, and waste management industries (such as food straws, packaging), materials (e.g.
measures to enhance disposal, service); polystyrene) or production levels.
encourage reuse and recycling,
• The type of incentives and Twenty-seven (27) countries have
and promote alternatives to plastic
disincentives that have been instituted taxes on the manufacture
products. The report includes
enacted—such as taxes and and production of plastic bags while
three sections: 1) plastic bags, 2)
fees—and whether they have thirty (30) charge consumers fees
other single-use plastics, and 3)
been applied at the production, for plastic bags at the national level.
microbeads. It seeks to provide a
consumption, or disposal stage;
more thorough understanding of Forty-three (43) countries have
the scope and types of regulatory • Requirements such as extended included elements or characteristics
approaches policymakers are producer responsibility to of extended producer responsibility
employing to address plastic promote a circular economy for plastic bags within legislation.
pollution. It does not, however, approach to plastic waste;
assess the effectiveness of the Sixty-three (63) countries have
• The extent to which national
implementation or enforcement of mandates for extended producer
waste management and
these measures. It also does not responsibility for single-use plastics,
recycling laws are applied to
comprehensively assess action including deposit-refunds, product
plastic waste; and
at the subnational level, though it take-back, and recycling targets.
• For microplastics only, an
does provide a few highlights of
overview of voluntary measures As of July 2018, eight out
measures that states and cities are
used to limit use. of 192 countries worldwide
taking. The report should enable
(4%) have established bans of
future research by enhancing the
Key Findings microbeads through national laws
understanding of existing legal
or regulations. These countries
requirements to prevent plastic As of July 2018, one hundred are Canada, France, Italy, Republic
pollution at the country level. and twenty-seven (127) out of of Korea, New Zealand, Sweden,
1921 countries reviewed (about the United Kingdom of Great
This research provides insights on:
66%) have adopted some form Britain and Northern Ireland, and
• The extent to which bans are of legislation to regulate plastic the United States of America. An
applied to the manufacturing, bags. The first regulatory measures additional four countries - Belgium,
use, distribution, import, or specifically targeting plastic bags Brazil, India, and Ireland - have
export of single- use plastic were enacted in the early 2000s, proposed new laws or regulations
products, in addition to whether gradually increasing throughout
GLOSSARY OF TERMS
PLASTIC BAGS
Plastic Carrier Bag - carrier bags, with or without handle, made of plastic, which are supplied to consumers at the
point of sale of goods or products.
Lightweight plastic carrier bags - plastic bags with a wall thickness below 50 microns.
Very lightweight plastic carrier bags - plastic bags with a wall thickness below 15 microns which are required for
hygiene purposes or provided as primary packaging for loose food when this helps to prevent food wastage.
Reusable packaging – packaging, including plastic bags, that are conceived and designed to accomplish within its
life cycle a minimum number of uses for the same purpose for which it was conceived.
Recyclable packaging – packaging, including plastic bags, that can be reprocessed in a production process of
the waste materials for the original purpose or for other purposes including organic recycling but excluding energy
recovery.
Biodegradable - packaging in which the waste shall be of such a nature that it is capable of undergoing physical,
chemical, thermal or biological decomposition such that most of the finished compost ultimately decomposes into
carbon dioxide, biomass and water.
Compostable – packaging waste that can be recycled through a process of organic recovery comprised of
composting and anaerobic digestion.
Extended Producer Responsibility - an environmental policy approach in which a producer’s responsibility for a
product is extended to the post-consumer stage of a product’s life cycle. It has two related features: (1) the shifting
of responsibility, physically and/or economically (fully or partially), upstream toward the producer and away from
municipalities for the treatment or disposal of post-consumer products; and (2) providing incentives to producers
to incorporate environmental considerations in the design of their products.
Sources: European Parliament and Council Directive 94/62/EC of 20 December 1994 on packaging and packaging
waste; Directive (EU) 2015/720 of the European Parliament and of the Council of 29 April 2015 amending Directive
94/62/EC; Extended Producer Responsibility: A Guidance Manual for Government, OECD 2001.
4 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Source: European Parliament and Council Directive 94/62/EC of 20 December 1994 on packaging and packaging
waste; Directive (EU) 2015/720 of the European Parliament and of the Council of 29 April 2015 amending Directive
94/62/EC.
MICROBEADS
Microbeads – Man made plastic particles intentionally added to consumer products, typically less than or equal to
5 mm in size. Microbeads can vary in chemical composition, size, share and density.
Microplastics – generic terms for small pieces of plastic under 5 mm
Primary microplastics- typically used to refer to microplastics originally manufactured to be that size. Primary
microplastics can include but are not limited to microbeads as they can also refer to industrial plastic powders and
pellets.
Secondary microplastics – Small particle pieces that have resulted from the fragmentation and weathering of
larger plastic items.
Adapted from IM0/ FAO/ UNESCO-IOC/ UNIDO/ WMO/ IAEA/UN/ UNEP. UNDPP Joint Group of Experts on the
Scientific Aspects of Marine Environmental Protection (GESAMP) 2015.
6 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
to the oceans, (ii) the development at reducing single-use plastic bags, single-use plastics and
of regional and national marine bags consumption and marketing microplastics pollution through
litter action plans, and (iii) greater restrictions of products leading to national laws. It provides a
collaboration and coordination with/ marine litter. As of July 2018, eleven snapshot of the types of regulation
through the Global Partnership on countries joined the coalition.16 currently existing for each stage
Marine Litter. The second session of the plastic lifespan, from
In 2017, the United Nations
of United Nations Environment manufacture or production, to use,
launched the #CleanSeas
Assembly also commissioned the and finally disposal. It is intended
campaign, which in a little over a
development of an assessment for use as a reference for countries
year has garnered commitments
of the effectiveness of relevant and other interested stakeholders
from over 50 countries representing
international, regional and sub- seeking to understand the
over 60% of the world’s coastline,
regional governance strategies approaches currently being used to
including high profile commitments
and approaches to combat marine address plastic pollution.
from India to eliminate single-
plastic litter and microplastics. The
use plastics by 202217.In its G7
options presented in this report are
presidency, Canada has made
under discussion by countries and
marine pollution a central issue
stakeholders and will be further
and along with the governments of
considered by the fourth session
France, Germany, Italy, the United
of the United Nations Environment
Kingdom, and the European Union
Environment Assembly which will
launched an Ocean Plastics Charter
take place in March 2019.
with timebound targets to reduce
An international coalition was plastic pollution and support
created at the initiative of France sustainable consumption.18
to coordinate action to promote
This report provides a global
the elimination of single-use
overview of national regulatory
plastic bags and exchange
frameworks adopted by 192
expertise and best practices, such
countries to control plastic
as existing regulations aiming
8 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
legislation. Examples are plastics exists in the country.
provided for each type of Researchers made a good
plastic. Similarly, many faith effort to locate laws
countries have made policy and regulations using online
pronouncement or incorporated databases, government
measures related to plastic in websites, and contacting
strategic plans or documents. government officials, but in
Where these are not in the form some cases could not confirm
of legislation they are excluded the existence of the law.
from analysis.
• The set of indicators developed
• This report is current up to July for the legal analysis is based
2018. The research shows that on an initial review of existing
in several countries there are legislation and published
proposed or pending legislation reports relating to plastics and
respecting one or more of marine litter. The indicators did
the three types of plastics not undergo external review
covered in this research. Not by thematic experts. Similarly,
having been formally enacted, the research findings for each
proposed or announced country did not undergo peer-
regulation are excluded from review by in-country experts.
the analysis, but examples are
• The indicators were designed
provided for each plastic type.
as yes or no questions in
• In some countries, the order to facilitate analysis. To
legislation provides a transition capture additional information,
period for coming into force or the researchers were required
a phase out period for existing to submit a summary of the
plastic products in the market. findings in narrative form.
Where the researchers were However, in some cases
able to ascertain the date of (particularly where there are
entry into force it is included in no plastic-specific legislation),
the report. some of the legal nuances may
have been missed.
• In few cases, public-private
partnerships or agreements (for • For non-English language laws,
example, product end-of-life), the researchers used official
where they are legally-binding, English translations as much as
are treated as legislation for possible. In cases where official
purposes of this report. English translation were not
found, non-official translations
• This report does not examine and Google Translate were used
the implementation or for the analysis.
enforcement of laws and
regulations in the countries
assessed.
10 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Microbeads some but not all of the laws or
regulations.
• Key Microbead Finding #1: As
of July 2018, eight (8) out of • Key Microbead Finding #4: As
192 countries worldwide (4%) at July 2018, four (4) countries
have established legally binding - Belgium, Brazil, India, and
bans of microbeads through Ireland - have proposed new
national laws or regulations. laws or regulations banning
These countries are Canada, microbeads at the national
France, Italy, Republic of Korea, level. The European Union has
New Zealand, Sweden, the also started the process to
United Kingdom of Great Britain restrict the intentional addition
and Northern Ireland, and the of microplastics to consumer
United States of America. and professional use products.
Yes
No 127 65
n = 192
12 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
the Caribbean and five (5) countries legislation on plastic bags and Pacific region have seventeen (17)
in West Asia also regulate plastic those without. countries regulating domestic
bags. In North America, the trend market entry, while Latin America
Legislation to deal with the problem
in the U.S. and Canada is towards and the Caribbean has six (6)
of plastic bags cover some or all
regulating plastic bags through sub- countries and West Asia has five (5)
stages of the plastic bag life cycle,
national legislation and public and countries.
from its production and introduction
private sector collaboration, with
to the domestic market to post- Eighty-four (84) countries restrict
states and cities as well as major
consumer use and disposal. The the retail distribution of plastic
retailers at the forefront of reducing
regulatory approaches range from bags, mostly in tandem with
plastic bag usage and waste. Figure
bans or restrictions on supply restrictions on manufacture or
1 shows the number of countries
and distribution, taxation, levies production and importation. Of
worldwide with national-level
on consumers or end-users, and the 91 countries regulating market
extended producer responsibility. entry of plastic bags, fifty-five (55)
The prevailing approach is the countries regulate all three aspects
Key Plastic Bag restriction of retail distribution, of market entry: manufacture or
Finding #2: Among either as a stand-alone approach production, importation, and retail
or as part of a broader strategy distribution, while ten (10) countries
the countries that to curb plastic bag pollution. The restrict importation and retail
regulate plastic various regulatory approaches are distribution. Nineteen (19) countries
discussed below. ban free retail distribution alone. On
bags, interventions
the other hand, seven (7) countries
to reduce the Regulatory Approaches target only the manufacture and
§§manufacture, importation of plastic bags, of
This section surveys the regulatory which three countries, Lichtenstein,
distribution, use, and approaches to address the problem Austria, and Lebanon restrict
trade of plastics bags of plastic bag pollution. The two manufacture or production, three
main mechanisms employed by
vary considerably national governments are bans
(3) other countries, Algeria, Japan,
and Portugal restrict importation,
globally in their or restrictions on supply and and the Republic of Congo limiting
comprehensiveness. distribution and market-based both manufacture and importation.
instruments such as taxes or levies.
But the most common Some countries, such as Finland,
while not having enacted legislation,
form of regulation Bans or Restrictions has voluntary agreement between
is the ban on free Of the 127 countries with some
the Ministry of Trade and the
retail distribution, Federation of Finnish Commerce
form of plastic bag legislation,
to reduce the use of plastic carrier
which eighty-three ninety-one (91) countries,
bags. Table 1 disaggregates
representing about 72 percent
(83) countries (72%), have some type of ban or
countries according to the different
types of bans or restrictions.
have adopted. restriction on the manufacture
Countries that impose levies or fees
Manufacturing and or production, importation, and
to customers for plastic bags are
retail distribution of plastic bags.
import bans follow, The region with the greatest
indicated by an asterisk (*). Map 1
follows, providing a visual overview
with sixty-one (61) number of countries adopting
of the distribution of market entry
this approach is Africa, with
countries having restrictions across the world’s
thirty-four (34) countries, closely
adopted this form of followed by Europe with twenty-
regions.
14 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Retail Distribution Fiji* Bosnia & Chile
(*with Levy) Republic of Korea* Herzegovina Colombia*
Croatia*
Cyprus* Panama
Czech
Republic*
Estonia*
Ireland*
Israel*
Lithuania
Luxembourg*
Poland*
Republic of
Moldova*
Slovakia*
Slovenia*
Spain*
Plastic Bags
No Data
No Ban
Ban on Manufacture
Ban on Manufacture and Free Distribution
Ban on Manufacture, Free Distribution and Import
Ban on Free Distribution and Import
Ban on Free Distribution
Ban on Import
Ban on Manufacture and Import
10 7
Ban on Manufucture, Import
and Retail Distribution
19
Ban on Retail Distribution
16 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Map 2 | Total and Partial Bans on the Manufacture, Free Distribution, and Importation of Plastic
Bags
Plastic Bags
Total Bans
No Data
No total or partial ban
Partial Ban on Manufacture or Import or Both
Partial Ban on Free Retail Distribution
Partial Ban on Free Retail Distribution and Import
Partial Ban on Manufacture, Free Retail Distribution, and Import
Figure 3 | Number of Countries with Partial Bans over 30 microns thick. Cambodia
does not have an outright ban but
rather requires a permit from the
1 ministry of environment for the
16
manufacture or import of plastic
Production Volume Limits
bags with thickness of 30 microns,
Thicknes Requirements
with exemption given for the
Material Content Requirements
non-commercial importation of
Other less than 100 kilograms. Pakistan
38 combines a thickness threshold
of 50 microns with a requirement
n = 96 41
of oxo-biodegradability. Similarly,
Italy requires very lightweight
Thickness Requirement Thirty-eight (38) countries plastic bags of 15 microns or
regulate the thickness of plastic less to be certified biodegradable
Key Plastic Bag bags. Of this number, twelve (12) and compostable. A number of
Finding #3: countries ban or impose a levy countries, such as the Republic
on plastic bags with a thickness of Moldova and Uzbekistan, have
Manufacturing and of 50 microns or less, while 10 adopted a progressive phase-out of
import regulations countries ban or impose a levy on plastic bags. There is considerable
plastic bags with a thickness of variation in the thickness threshold
include governing requirements of other countries.
30 microns or less, both classified
the thickness and as lightweight or thin plastic bags. Table 2 shows the countries
material composition Some countries, such as Senegal, with the range of thickness
prohibit plastic bags that are less regulations for plastic bags. Table
of allowable plastic than 30 microns, at the same time 3 summarizes the text of the
bags mandating a levy on consumers thickness thresholds disaggregated
or end-users for plastic bags that by region.
Table 3: Regional Distribution of Countries with Thickness Requirements for Plastic Bags
Region Country Thickness Threshold
Africa Botswana Ban on plastic bags thinner than 24 microns
Cameroon Ban on non- biodegradable plastic bags less than or equal to 60 microns
Eritrea Ban on thin plastic bags less than 100 microns
Ethiopia Ban on nonbiodegradable plastic bags with a wall thickness of 0.03 millimeters or less
Madagascar Ban on plastic bags and bags of thickness less than or equal to 50 Microns
Malawi Ban on plastic bags less than 60 microns
Mozambique Ban on plastic bags less than 30 microns
Senegal Ban on Plastic bags less than 30 microns. Plastic bags greater than or equal to 30
microns, may not be distributed or offered free of charge
South Africa Ban on plastic bags with a thickness of 24 microns or less, but local manufacture for
export allowed
United Republic of Ban on plastic bags below 30 microns
Tanzania
Tunisia Ban on plastic bags with a thickness of less than 40 microns, or bags of low volumes
with a capacity of less than 30 liters
Uganda Ban on plastic bags less than 30 microns
Zimbabwe Ban on plastic bags less than 30 microns
Asia & the Bangladesh Ban on plastic bags 20 microns or less
Pacific
Cambodia Ban on plastic bags except for plastic bags 0.03 mm or thicker and with a bottom
width of at least 25 cm or 10 inches, subject to permit from the ministry of
environment
China Ban on plastic shopping bags less than 0.025 mm in thickness (ultrathin plastic bags)
India Minimum of 50µm (microns), except for bags made of compostable plastic
Mongolia Ban on all types of plastic bags 0.025 mm thick or lesser (full ban effective March 1,
2019)
Nepal Ban on plastic bags less than 30 microns for small bags (7” X 14”) and 40 microns for
bigger bags (20 Inches X 35 inches)
Pakistan Minimum thickness of oxo-biodegradable plastic products of at least 50 microns
18 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Sri Lanka Ban on plastic bags 20 microns or less, unless with written approval from the Central
Environmental Authority
Vanuatu Ban on plastic bags less than 35 microns thick
Vietnam Environmental-friendly bags more than 50 microns are exempt from tax
Europe Albania Ban on plastic bags below 30μ (microns) (15 for each side)
Andorra Ban on very lightweight bags less than 15 microns; levy charged to consumers for
plastic bags 50 microns or greater
Cyprus Lightweight plastic bags with thickness of less than 50 microns shall be subject to a
levy to be charged to consumers
France Ban on lightweight bags under 50 microns, except compostable bags made of
bio-sourced materials. Minimum bio-sourced content of single-use plastic bags to
gradually increase from 30% on 1 January 2017 to 60% on 1 January 2025
Italy Ban on non-biodegradable lightweight bags less than 50 microns
Monaco Ban on plastic bags less than 50 microns thick, except for compostable bags or those
made wholly or partly of bio-based materials
Poland Ban on free distribution of plastic bags less than 50 microns, but bags less than 15
microns may be distributed for free
Portugal Tax on manufacturers and importers of plastic bags with thickness of equal or less
than 50 microns
Republic of Moldova Ban on free distribution of bags, except very thin bags less than 15 microns.
Progressive bag ban stating with bags 50 microns or more from 2019, less than 50
microns from 2020 and less than 15 microns from 2021
Romania Ban on thin and very thin plastic bags with a handle is prohibited
Thin - under 50 microns, ultrathin under 15 microns
United Kingdom Plastic bags not less than 50 microns but not greater than 70 microns are exempt
from the levy to consumers
Uzbekistan Ban on plastic bags less than 15 microns thick and less than 5 liters capacity from
January 1, 2019, and less than 50 microns in thickness and less than 10 liters in
capacity starting January 1, 2020
West Asia Jordan Ban on plastic bags with thickness of 200 micrometers or less
Saudi Arabia Disposable plastic products made of poly-propylene and polyethylene with film
thickness of less than or equal to 250 microns that are generally used for packaging,
such as carrier bags, wraps and other similar applications, must be of the oxo-
biodegradable type and bear the prescribed logo
Yemen Ban on manufacture of plastic bags below 60 microns and import of plastic bags
below 70 microns
20 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Europe Albania Production, marketing, and import of non –biodegradable plastic bags by all
economic operators are prohibited
Andorra Ban on very lightweight and lightweight oxo-biodegradable, oxo-degradable,
biodegradable and compostable plastic bags; plastic bags 50 microns or greater must
have 80% minimum recycled content
Austria Plastic bags need to be manufactured in a way, that a certain amount of weight of
materials, which can be recycled, are used.
France Single-use non-compostable plastic bags under 50 microns are forbidden. Minimum
bio-sourced content of single-use plastic bags shall gradually increase from 30% from
1 January 2017 to 60% from 1 January 2025
Greece Placing on the market and supplying the consumer oxo-degradable plastic carrier
bags is prohibited. Incentives to be given to producers of biodegradable and
compostable plastic bags
Italy Ban on non-biodegradable and non-compostable lightweight plastic carrier bags.
Exemption given to reusable bags thicker than 200 microns and made of at least
30% of recycled plastic intended to carry food products or thicker than 100 microns
and made of at least 10% of recycled plastics intended to carry good and products
different from food
Lichtenstein Plastic bags can only be placed on the market, if they were manufactured in a way,
that a certain amount of weight of materials, which can be recycled, is used
The former Yugoslav Ban on plastic bags except biodegradable bags made in accordance with the
Republic of prescribed standards for biodegradability
Macedonia
Monaco Ban on single-use plastic bags except for the compostable bags and made of, wholly
or partly, of bio-based materials, from 30 % minimum from January 1, 2017 to 60%
minimum beginning January 1, 2025
San Marino Marketing and distribution of plastic carrier bags that do not comply with the
applicable European biodegradability requirements set out by technical standards is
prohibited
Turkey Ban on production, import and putting in the market packaging products Including
plastic bags that cannot be recycled or recovered. Plastic bags and packaging must
also contain a certain percentage of recycled material, from 4% in 2018 to 8% from
2020 and beyond
Latin America Colombia Plastic bag must contain at least forty percent (40%) of post-consumer or post-
and the industrial recycled material demonstrated according to technical standards
Caribbean
Paraguay Gradual replacement of polyethylene bags with biodegradable bags
West Asia Saudi Arabia All the disposable products manufactured from polypropylene and polyethylene
plastics which are often used for a short time must be OXO degradable then bio-
degradable; in accordance with relevant standards
United Arab Emirates Manufacturers and suppliers of plastics bags must meet prescribed standards for
oxo-degradable bags and distribute in the market only complying products
Yemen Ban on the manufacture and use of non-biodegradable plastic bags
Production Volume or came into force. Since then, only product and its acceptance by the
Number Restrictions biodegradable and compostable consumer.” Most EU Member States
plastic bags are allowed in the have transposed this provision into
Only one (1) country of those country. domestic law but generally have
examined for this report has not created explicit and binding
established production volume Regionally, European Union numerical targets.
restrictions, Cape Verde, which it Directive 94/62/EC stipulates that
imposed on conventional plastic packaging must be manufactured in
Promotion of the use by
bags. It applied a percentage such a way as to limit the packaging
consumer of Reusable Bags
reduction from 60% in 2015 to 100% volume and weight to the minimum
on July 1, 2016, the date the ban necessary to maintain the required Sixteen (16) countries have
on all conventional plastic bags safety and hygiene of the packaged explicitly promoted reusable plastic
7
6 8
5
3 5
2 3
1
0
Europe Asia and LAC
the Pacific
22 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Table 6: Types of Exemptions from Plastic Bag Bans
Region/ Types of Exemptions from Plastic Bag Ban
Country
Primary Transport Use for Use for Commercial Plastic Agricul- Natio- Alternative Small
packaging of small scientific sanitation uses e.g. bags tural nal bags volume use
- for fresh, retail or or waste protection of for uses secure- (woven for non-
perishable goods, clinical storage bank notes; export ty bags) commercial
or other e.g. research and laundry & uses / purposes
loose hardware or other disposal dry-clean airport
food; items medical bags and
pharma- uses duty-
ceutical free
products bags
Africa
Benin ✔
Burkina
✔ ✔ ✔
Faso
Côte d’Ivoire ✔ ✔ ✔ ✔ ✔
Gambia ✔ ✔ ✔ ✔ ✔ ✔
Kenya ✔ ✔ ✔
Madagas-car ✔ ✔ ✔
Malawi ✔ ✔
Mauritius ✔ ✔ ✔ ✔
Niger ✔
Seychelles ✔ ✔ ✔ ✔ ✔
South Africa ✔ ✔ ✔ ✔
Togo ✔ ✔
Tunisia ✔
Uganda ✔
Asia & the Pacific
Bangla-desh ✔
Cambodia ✔
Pakistan ✔
Republic of
✔
Korea
Europe
Andorra ✔
Cyprus ✔
The former
Yugoslav
✔ ✔
Republic of
Macedo-nia
UK ✔
Latin America & the Caribbean
Antigua & ✔ (water
Barbuda ✔ ✔ ✔ ✔ ✔
storage)
Panama ✔
West Asia
Saudi Arabia ✔
Table 7: Country Specific Narratives on plastic bags: Latin American and the Caribbean
Country Specific narratives: Latin America and the Caribbean
Country Features of Plastic bag regulations
Antigua and Barbuda • Prohibits the importation, distribution, sale and use of shopping plastic bags
• Fines provided for breach of rules e.g. $10,000 and imprisonment for 1 year for a first
offence.
• Exceptions provided of specific types of plastic bags
Argentina • Plastic bags regulated at subnational/city level
• Only regulates disposal at national level (solid waste/ litter regulation)
Bahamas • Only regulates disposal at national level (solid waste/ litter regulation)
Barbados • Only regulates disposal at national level (solid waste/ litter regulation)
Belize • Only regulates disposal at national level (solid waste/ litter regulation)
Bolivia (Plurinational State of) • Extended Producer Responsibility recognized in law including plastic bags
24 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Country Specific narratives: Latin America and the Caribbean
Panama • The use of polyethylene bags to transport goods and products is prohibited in supermarkets,
self-service shops, retail and commercial establishments.
• Law focuses on the promotion of reusable bags
Paraguay • New requirements that polyethylene plastics bags must be replaced with biodegradable and
reusable bags.
• Law governs Extended Producer Responsibility
• Time periods given for implementation of the law and provision of manufacture of
replacement products.
Peru • Legal rules requiring Public Sector Entities, to buy and use biodegradable plastic bags
• Only regulates disposal at national level (solid waste/litter regulation)
Saint Kitts and Nevis • Only regulates disposal at national level (solid waste/ litter regulation)
Saint Lucia • Only regulates disposal at national level (solid waste/ litter regulation)
• Environmental Levy administered on imported and locally manufactured goods
Saint Vincent and the • Only regulates disposal at national level (solid waste/ litter regulation)
Grenadines
Suriname • Only regulates disposal at national level (solid waste/ litter regulation)
Trinidad and Tobago • Only regulates disposal at national level (solid waste/ litter regulation)
Uruguay • Law governs Extended Producer Responsibility
Venezuela, Bolivarian • Only regulates disposal at national level (solid waste/ litter regulation)
Republic of
26 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Country specific narratives: Africa
Namibia • Only regulates disposal at national level (solid waste/ litter regulation)
• Drafting of regulations to create a levy on plastic bags has been announced to be issued this
year
Niger • Prohibiting the importation, production, marketing and storage of low-density plastic bags and
flexible packaging.
• Exemptions provided
Nigeria • Only regulates disposal at national level (solid waste/ litter regulation)
Rwanda • Prohibition of Manufacturing, Importation, Use and Sale of Polythene Bags
Sao Tome and Principe • Only regulates disposal at national level (solid waste/ litter regulation)
Senegal • Prohibition of the production, importation, use, possession for the sale and free sale or
distribution of plastic bags with a thickness of less than 30 microns
Seychelles • Prohibition of the manufacturing, importation, distribution of plastic bags
• Exemptions provided
Sierra Leone • No national solid waste management law found
Somalia • No national solid waste management law found
South Africa • Prohibition of the manufacture, trade and commercial distribution of domestically produced
and imported plastic carrier bags and plastic flat bags
• Fines are provided for breach of requirements and up to 10 years imprisonment
• Charges to retailers for plastic bags
South Sudan • No national solid waste management law found
Sudan • No national solid waste management law found
Swaziland • Only regulates disposal at national level (solid waste/ litter regulation)
Togo • Prohibition of the production, import, distribution and marketing of non-biodegradable plastic
bags and packaging
Tunisia • Draft law covering the prohibition of the production, importation, marketing, holding, for sale
or distribution, and distribution free of charge of specific types of plastic bags
Uganda • Prohibition of the manufacture, import, sale, use, distribution or of plastic bags
• Exemptions are included
United Republic of Tanzania • Prohibition of the manufacture, import, sale, use, distribution or of plastic bags
• Exemptions are included
Zambia • Plastic Carrier Bag and Flat Bag Standard Regulations being proposed
• Prohibition of the production and distribution of plastic bags of thickness less than 30
microns
Zimbabwe • Prohibition of the manufacture for use, commercial distribution or importation of plastic
packaging whether biodegradable or not, with a wall thickness of not less than 30
micrometers
• Duties of requirements for recycling polystyrene packaging material manufactured and sold.
28 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Country specific narratives: Europe
Israel • Banned plastic bags under 20 μm thick; plastic bags between 20-50 μm will be available for
purchase
• Tax on retailers
• Regulation of packaging law including recycling targets
Italy • Ban on placing on the market of a) non-biodegradable and non-compostable lightweight plastic
carrier bags; b) non-reusable plastic carrier bags with handle; c) very lightweight plastic bags
• Certified biodegradable and compostable plastic carrier plastic bags are not banned.
• Extended Producer Responsibility and obligation of collection and return of plastic packaging
and packaging waste- that includes plastic bags - on manufacturers and retailers
Kazakhstan • Only regulates disposal at national level (solid waste/ litter regulation)
Kyrgyzstan • Requirement for the gradual replacement of plastic bags with reusable bags
Latvia • Tax on packaging based on thickness and weight
Liechtenstein • Regulation on packaging and requirements for recycling
Lithuania • Prohibition of the distribution of light plastic shopping bags at places of sale of goods or
products
• Extended Producer Responsibility requirements duties on manufacturer, consumer and retailer
Luxembourg • Annual consumption rate set for consumer should not exceed 90 light plastic bags per person
• Regulation of distribution of plastic bags of specific thickness
Malta • Regulation on packaging and requirements for recycling
• Excise Duty on plastic bags
Monaco • Prohibited to make available, free or for a charge - checkout single-use plastic bags, except for
the compostable bags and those made of, wholly or partly, of bio-based materials
• The Production, distribution, selling, provision and use of bags made from oxo-fragmentable
plastics are forbidden.
Montenegro • Fees on the manufacture or import of specific types of packaging including plastics.
• Extended liability of the manufacturer
Netherlands • Ban prohibits the free provision of plastic bags in places where goods and products are offered
for sale.
• Recycling targets included in legislation for producer or importer
Norway • Tax on manufacture of Carrier bags
• Producers that place on the market packaging shall fund the collection, sorting, recycling and
other treatment of used packaging and packaging waste through membership of a producer
responsibility organisation.
Poland • Tax based on weight of plastic bags
• Prohibited free distribution of plastic bags thick less than 50 mkm (to 15 mkm)
• Distributor obliged to charge a recycling fee from a lightweight plastic shopping bag
Portugal • Charge per plastic bag, contribution is charged on plastic bags made completely or partially
from plastic material with handles, and with a thickness of equal or less than 50 microns
Republic of Moldova • Levy on plastic bags
• Prohibition to distribute plastic bags free of charge, except for very thin plastic bags.
• Requirements for recycling and reuse of waste
Romania • The placing on the national market of thin and very thin plastic bags with a handle is prohibited
• Eco-tax issued
• Extended Producer responsibility
• Annual targets for recycled packaging
Russian Federation • Only regulates disposal at national level (solid waste/ litter regulation)
Table 10: Country Specific Narratives for plastic bags: Asia and Pacific
Country specific narratives: Asia and Pacific
Afghanistan • Ban the import and usage of plastic bags in all shops in the cities and provinces across the
country
Australia • Extended producer's responsibility at national level and used packaging regulations
• Regulation of plastic bags by States
Bangladesh • Restrictions on manufacture, sale of all kinds or any kind of polythene shopping bag, or
any other article made of polyethylene or polypropylene, imposing absolute ban on the
manufacture, and sale
Bhutan • Restrictions on the import of plastic bags
• Extended producer responsibility for wastes
30 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Country specific narratives: Asia and Pacific
Brunei Darussalam • Only regulates disposal at national level (solid waste/litter regulation)
Cambodia • Handle plastic bags are prohibited from importation, production, distribution and use, except
for: A- the plastic bags are 0.03 mm or thicker; and B- the plastic bags have a bottom width
of at least 25 cm or10 inches. All importation and local production of plastic bags in A and
B above shall have permit from the ministry of environment except for non-commercial
importation of less than 100 kg
• Customers will pay for plastic bags from supermarkets, commercial centers, and all business
and service locations
• Legislation requires encouragement of use of renewable materials and minimization of waste
generation
China • Ban on the import of used plastic bags and single use plastic products
• No free plastic shopping bags shall be provided at any commodities retail places, and the
price of plastic shopping bags shall be clearly marked and charged separately from the
commodity price.
Democratic People’s • No Law found
Republic of Korea
Fiji • Environment and Climate Adaptation Levy shall be charged on plastic bags distributed by
businesses. Levy charged on plastic bags is $0.10c per plastic bag and payable by the person
to whom a plastic bag is provided.
India • Plastic waste management jurisdiction given to urban local bodies in their respective
jurisdiction for recycling
• Requirements to confirm to standards for plastic waste recycler and recycling of plastic IS
14534:
• Registration of producer, recyclers and manufacturer, -from the State Pollution Control Board
• Responsibility of waste generator to take steps to minimize generation of plastic waste and
segregate plastic waste at source in accordance with the Solid Waste Management Rules,
2000 or as amended from time to time.
Indonesia • Law speaks to creation of policy directives on waste reduction, handling and minimization
including the development of a road map on extended producer responsibility
• Manufacturers are obliged to recycle waste by
• a. preparing a waste recycling program as part of its business and / or activity;
• b. using recyclable production raw materials; and / or
• c. reclaiming garbage from product and product packaging for recycling.
Iran (Islamic Republic of) • No data
Japan • Recycling plan instituted by law
• Extended producer responsibility for designated businesses who are required to reduce
waste containers and packaging discharged through rationalization of use of containers and
packaging by using recyclable containers and packaging and reducing the excess use of
containers
Kiribati • Issuance of a levy and fund on waste
Lao People’s Democratic • General requirements to separate waste for different purposes such as recycle, reuse,
Republic reprocess as new products and elimination with methods and techniques within identified
areas base
Malaysia • Investment tax allowance for use of biodegradable materials
Maldives • Standards set for importers and local producers of biodegradable bags.
Marshall Islands • Unlawful for a person to import, manufacture, sell or distribute plastic shopping bags.
Micronesia (Federated • Only regulates disposal at national level (solid waste/litter regulation)
States of)
Mongolia • Use of all types of plastic bags which are less than 0.025 mm thick or lesser for package use
shall be prohibited in any trade and services
Myanmar • Only regulates disposal at national level (solid waste/litter regulation)
32 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Table 11: Country specific narratives Plastic Bags: Western Asia
• Country specific narratives – Western Asia
Bahrain • Only regulates disposal at national level (solid waste/litter regulation)
Iraq • No law found
Jordon • Prohibition of the importation, export and commercialization of non-biodegradable plastic bags
Kuwait • No law found
Lebanon • Prohibition, Local Production, Importation, Marketing and Use of Plastic Packaging Bags
Oman • Only regulates disposal at national level (solid waste/litter regulation)
Qatar • Only regulates disposal at national level (solid waste/litter regulation)
Saudi Arabia • Technical Regulation for the Biodegradable Plastic Products issued on import of products
Syrian Arab Republic • No law found
United Arab Emirates • Standard & Specification for Oxo-biodegradation of Plastic bags and other disposable Plastic
Yemen • Prohibits the manufacture, import and use of non-biodegradable plastic bags
Table 12: Country specific narratives plastic bags: Canada and USA
Country specific narrative Canada and USA
Canada • Plastics not regulated at federal level – only implicit authority to regulate use, manufacture, and
importation of plastic bags
USA • Plastics not regulated at federal level except in relation to reduction of solid waste generation.
• Regulation at State level including some states that have prohibitions against plastic bag bans
Table 13: Countries which have proposed new legislation on plastic bags as of July 2018
Countries which have proposed new legislation on plastic bags
Several countries have proposed new specific legislation, this year to begin to control plastic bags. Some important country
examples come from the Pacific, Latin American and the Caribbean, Asia and Africa.
Caribbean
• The Government of Jamaica (proposed for January 2019), St. Vincent and the Grenadines, St. Kitts and Nevis, Bahamas
(proposed 2020) and Belize (Proposed April 2019) have indicated their intention to take steps in the banning of single use
plastic bag in the retail trade. No announcements on exemptions have yet to be released.
Pacific
• The Governments of the Solomon Islands, Papau New Guinea (proposed before end of 2018) , Samoa( Proposed January
2019) have all announced plans to ban single use plastics in their territories.
Latin America
• The Government of Costa Rica has announced a plastic bag ban by 2021 to eliminate single use plastic and plastic bags.
• The Government of Argentina has announced two bills (2018) which would promote reuse, recycling, and recovery,
consumer awareness on associated environmental risks, and the use of environmentally sensitive materials techniques, and
technologies in relation to all plastic bags used to hold or transport products supplied at any point of Sale or delivery. The
Second would prohibit the use of bags made from polyethylene and other conventional plastic materials in supermarkets, and
retail shops. The plastic bag ban would be implemented gradually and progressively over time through the replacement of
plastic bags with biodegradable equivalents.
Africa
• The Government of Zambia has developed draft regulations regulating the manufacture, import, trade or commercially
distribution of packaging materials in Zambia including requirements for provision of alternative shopping bags to customers.
Asia
• The Thailand Government has announced a plan to study the creation of a plastic bag levy.
• On 5 June 2018 the Government of India used World Environment Day to announce that India will, by 2022, “eliminate all
single use plastics from our beautiful country.” The announcement builds on state-specific bans on the manufacture, supply,
storage and use of plastics that are already in place in at least 25 of the country’s 29 states. Most recently, on June 23,
Mumbai became the country’s largest city to implement a complete ban on single-use plastics, from plastic bags to bottles
and cutlery, as part of a statewide ban in Maharashtra. The ban allows exemptions for retail packaging, trash can liners and
takeaway packaging.
160
143 No Levies or Fees
140 Levies or Fee only on Customers
120 Levies or Fee only on
100 Manufuctures
40
22 20
20 7
0
Total
n = 192
34 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Table 14 presents data on all the countries disaggregated by region which charge a tax on manufacture of plastic
bags
Table 14: Countries which have a tax on manufacture/ production/import of plastic bags
Countries which have a tax on manufacture/production/import of plastic bags
Africa Latin America and Europe Asia and Pacific Western Asia Canada and US
the Caribbean
Côte d’Ivoire Dominica Albania India Jordan N/A
Lesotho Jamaica Bulgaria Tunisia
South Africa Denmark Uzbekistan
Uganda Estonia Viet Nam
Lithuania
Malta
Montenegro
Morocco
Norway
Poland
Portugal
Republic of Moldova
Romania
Serbia
Slovenia
The former
Yugoslav
Republic of
Macedonia
Lesotho, Dominica, Jamaica, Bulgaria, Denmark, Malta, Montenegro and Serbia while having taxes instituted on
plastic bags currently have no bans.
Map 3 also includes a visual representation of the 30 countries which charge the consumer for the use or sale of
plastic bags.
Plastic Bags
No Data
No tax on customer or retailer on distribution or manufacture
Tax on manufacture of plastic bags
Tax on distribution of plastic bags
Tax on manufacture and distribution of plastic bags
Fee on the distribution of plastic bags to end-users
Fee on the distribution of plastic bags to end-users and tax on distribution
Fee on the distribution of plastic bags to end-user and tax on manufacture
Fee on the distribution of plastic bags to end-users, tax on manufacture and distribution
Table 15 presents data on all the countries disaggregated by region which charge a fee to the consumer for plastic
bag sale or consumption. Countries that impose a legal mandate for reusable bags are indicated by an asterisk (*).
Table 15: Countries which charge a levy or fee for plastic bags at the national level on the
consumer
Countries which charge a levy or fee for plastic bags (national level) on the consumer
Africa Latin America and Europe Asia and Pacific Western Asia Canada and US
the Caribbean
Senegal Colombia* Andorra China N/A N/A
Bosnia and
South Africa Paraguay* Herzegovina Fiji
Bulgaria Nepal *
Croatia
Cyprus* Republic of Korea
Czech Republic
Estonia
Greece*
Ireland
Israel
Italy*
Luxemburg
Netherlands
Poland
Republic of Moldova
Slovakia
Slovenia
Spain
The former
Yugoslav
Republic of
Macedonia
Turkey
United Kingdom*
Uzbekistan
* Countries with a legal mandate for re-usable bags.
36 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
In addition to the main approaches Figure 6 | Countries with laws that provide tax breaks for
identified a few countries provide manufacturers to recycle or produce reusable bags
incentives for manufacturers or
producers of re-usable bags. These
countries have adopted incentives 9
to promote the production and
manufacture of re-usable bags as
in the case provided in Vietnam and
Romania where environmentally Countries with tax breaks
friendly bags made from renewable
Countries withut tax breaks
resources are exempt from an
environmental protection tax. Nine
(9) countries, Albania, Cambodia, 183
Estonia, Greece, Malaysia,
n = 192
Montenegro, Norway, Romania and
Vietnam provide fiscal incentives
or tax breaks to manufactures to Table 16: Country examples of taxes on the manufacture or
either recycle or produce reusable import of plastic bags
plastic bags.(Figure 6)
Country Tax on manufacture of plastic bags or import
Ten (10) countries charge a tax or South Africa · Levy on the manufacture of plastic bags: 12c per bag is payable
levy on the retailers or distributor of to the South African Revenue Authority. An environmental levy is
plastic bags- Botswana, Bulgaria, payable on certain locally manufactured plastic bags of which the
manufacturing takes place in a licensed manufacturing warehouse.
Croatia, Hungary, Israel, Jamaica, The environmental levy is assessed and collected on the principles of
Latvia, Poland, Portugal and Duty at Source.
Serbia. The predominant approach Malta · Tax on import: Charges are made on any goods of a class or
description on plastic sacks and bags which further delineates rates
therefore is the charge on the of excise duty.
consumer for use of plastic bags.
Latvia · Tax on plastic bags: The law provides for a tax specifically on
Table 16 provides some examples plastic bags 4,80 euro/kg for lightweight plastic bags, 1,50 euro/
of taxes, levies and fees on plastic kg for plastic bags thickness of material of which is more than 50
microns and the weight of one bag is more than three grams
bags instituted.
Table 17: Country examples of the regulation of plastic bags through levies or fees
Countries Regulation by payment of levies or fees
Levies
Bosnia Herzegovina · Levy paid by retailers of plastic bags: The levy for placing in the market a plastic bag is 0,05 KM per
piece and 50 KM per a pack of 1000 bags. Levies are paid by the retailers directly to the Environmental
Protection Fund of Federation twice per year. A 0,025 € levy is paid by the retailers who put plastic bags
thinner than 20 microns into circulation.
Ireland · Levy paid by Retailer on plastic bags: Plastic Bag Levy: Supply to customers of plastic bags will be
charged, levied at the point of sale to them of goods or products to be placed in the bags, or otherwise of
plastic bags in or at any shop, supermarket, service station or other sales outlet. The amount of the levy is
22 cents for each plastic bag.
Cyprus · Levy paid by Retailer on plastic bags: The levy charged is 5 eurocents plus 19% VAT from 1 July 2018
onwards. From 1 July 2018, the free distribution of lightweight plastic carrier bags from retailers who make
available to the public such bags at the points of sale is prohibited.” All retailers who make available to the
public lightweight carrier bags at the points of sale, shall charge, at a minimum, 5 eurocents plus VAT for
each lightweight plastic carrier bag.
Fiji · Levy paid by consumer: A levy is charged on plastic bags distributed by businesses prescribed by
regulations. the Environment and Climate Adaptation Levy charged on plastic bags is $0.10c per plastic
bag. The Levy on plastic bags is payable by the person to whom a plastic bag is provided.
Israel · Levy paid by retailer of plastic bags: The Law for the Reduction of the Use of Disposable Carrying Bags-
2016 requires a large retailer to pay, for every single carrying bag sold, a levy of 8.54 agorot. A large retailer
will not provide a customer with a carrying bag, unless the customer charges the customer no less than the
amount of the levy under article 5, plus VAT applicable to the sale.
Colombia · Consumption tax on plastic bags: This tax is generated when delivering any plastic bag, whose purpose
is to load or carry products sold by the commercial establishment that delivers it. This tax is generated
when delivering any plastic bag, whose purpose is to load or carry products sold by the commercial
establishment that delivers it. Plastic bags that offer Environmental solutions will have differential rates of
0%, 25%, 50% or 75% the full value of the tariff, as long as the following requirements:
1. Biodegradability: Biodegradable plastic bag in an equal percentage or greater than thirty percent (30%)
as indicated in the regulations In any case, the plastic bag must not contain substances of interest in its
composition
2. Percentage of recycled material in the composition of the bag:
3. Reuse: Plastic bag that, by dynamic load test, show that it is reusable with the maximum load indicated,
in accordance with standards.
Fees
Andorra · Fees on the distribution of plastic bags: Commercial establishments can distribute plastic bags with a
thickness equal to or greater than 50 microns that have a volume equal to or greater than 10 liters, provided
that the following applies: All the distributed stock exchanges: At a minimum price of 10 cents of euros
for plastic bags manufactured with a minimum of 80% recycled plastic. At a minimum price of 15 cents of
euros for plastic bags manufactured with less than 80% recycled plastic.
Bulgaria · Fees for Plastic bags: Product fees have been adopted for thin plastic bags for shopping with exception
of the ultrathin plastics bags without a handhold are offered to the consumers for payment at the point of
sale of the goods or products. The Product tax is not due for plastic bags for shopping under the following
cumulative conditions: a) the thickness of the bag is at least 25 µm; b) the minimal size of the bag is 390
mm/490 mm in full length; в) they bear a sign in Bulgarian printed on each package of bags. Persons,
placing plastic bags on the market, incl. the retailers and persons selling to final consumers must pay the
one-off product fee.
China · Fees on the sale of plastic bags: No exact fee requirement is provided by the law, this is determined by
the retailer, but the fee for plastic shopping bags cannot be lower than the manufacturing cost or have any
discount or be free. No free plastic shopping bags shall be provided at any commodities retail places, and
the price of plastic shopping bags shall be clearly marked and charged separately from the commodity
price.”
Croatia* · Fees on the distribution of plastic bags: The law requires that any person who places plastic bags on
the market (e.g. retail chains selling / distributing bags) must pay a fee of $ 1,500.00 per ton.
38 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Countries Regulation by payment of levies or fees
Czech Republic · Control of Packaging waste: Packaging Act The law does not stipulate the fixed or minimum price
of plastic carry bags, each vendor determines this price itself. The minimum price is at least so high to
reimburse the costs corresponding to the cost of plastic bag purchased by vendor. A plastic carrying bag
may be provided at the point of sale of the product to the consumer at least for the reimbursement of costs
corresponding to the cost of its purchase. This does not apply if it is a very light plastic carrying bag plastic
bag with a wall thickness of up to 15 microns which is necessary for hygienic reasons or is provided as a
sales package for bulk foods if its use helps to prevent food waste.
Estonia · Consumer fee: Lightweight and very lightweight plastic carrier bags shall not be supplied to consumers
free of charge except for very lightweight plastic carrier bags which are used for ensuring hygiene or for
primary packaging of loose food when this helps to prevent food wastage. The retailer determines the fees.
Greece · Fee on the sale of plastic bags: Lightweight plastic carrier bags of a wall thickness less than 50 μm
are subject to an environmental fee. For 2018, the fee is set at 3 eurocents plus 24% VAT (for a total of 4
eurocents rounded up) whereas from 1 January 2018m the fee will be set at 7 eurocents plus VAT (for a
total of 9 eurocents rounded up). Plastic carrier bags, including reusable ones, of a thickness between
50 μm to 70 μm are not subject to the environmental fee but cannot be distributed for free unless in the
context of a recycling promotional activity nevertheless, domestic law does not set the price of these bags
which can be set by the retailer at his / her discretion. It should be noted that the law explicitly provides for
the possibility of increasing the environmental fee should the target regarding consumption of lightweight
plastic carrier bags not be met.
Italy · Fee on the sale of plastic bags: Plastic bags not banned from circulation, including biodegradable and
compostable bags, cannot be distributed for free. The policy of pricing applies to all types of carrier plastic
bags and to very lightweight bags for loose food. The amount of the fee is not prescribed by Law. National
legislation provides only the prohibition of free distribution of plastic bags, combined with the duty of
retailers-producers to clearly indicate the costs of the bag in the receipt/invoice.
Lithuania · Packaging waste: The Law provides an obligation to of the Producers and Importers to Manage
Packaging and Packaging Waste and pay the costs of collection, transport, preparation for use and use
of packaging waste and participation in the security for non-reusable packaging in connection with the
management of disposable packaging waste collected in the deposit system and the administration of the
security for the non-reusable packaging system, as well as the costs of organizing and conducting public
awareness
Luxembourg · Packaging waste: To reduce sustainably plastic bags consumption on all Luxembourgish territory, 1)
the level of annual consumption should not exceed 90 light plastic bags per person by 31 December 2025.
very light Plastic bags defined by Article 3-5 are excluded; 2) By 21 December 2018, plastic bags will not be
provided freely in stores. very light Plastic bags defined by Article 3 (5) are excluded. There are agreements
between the Government, the distributors and the Recycling authority providing for the use of re-usable
bags. Agreements also provide the price of disposable bags based on agreement between industry and
government
Republic of Korea Fee on the sale of plastic bags: Act on the promotion of saving and recycling of resources – For Single-
use plastic bags and shopping bags -5 cent/bag.
United Kingdom · Fee on the sale of plastic bags: Large shops in England charge 5p for all single use plastic carrier bags
they provide. From 20th October 2014 all retailers in Scotland must charge a minimum of 5p for each
new single-use carrier bag. All retailers are required to charge, not just supermarkets, however smaller
businesses are exempt from the requirement to report centrally the numbers of bags sold and how much
they have given to charity to minimize administrative burdens. From the 8 April 2013 all sellers of goods in
Northern Ireland had to charge their customers at least 5p levy for each single use carrier bag supplied new
to enable goods purchased to be taken away or delivered. From 19 January 2015, the levy was extended
to all carrier bags with a retail price of less than 20 pence, whether they are considered single use or
reusable. In Wales The regulations require all retail sellers of goods to charge 5p per bag. There are certain
exemptions. Sellers which employ 10 or more staff must keep certain records.
The former · Consumer fee: Order for prohibition for the use of bags for transport of goods made of plastics, in
Yugoslav Republic shops, stores, warehouses, green markets for retail trades and personal use. exception bags light plastic
of Macedonia bag. Charges are 2 MKD (~0,030 EUR) per plastic bag
Republic of · Packaging waste: To prevent waste generation in accordance with the provisions of Article 3, and to
Moldova avoid environmental pollution, it is prohibited to distribute plastic bags free of charge, except for very thin
plastic bags. No amount specified
Spain · Fee on the sale of plastic bags: Bags of thickness less than 15 microns intended for uses other than
those listed in the definition of very light bags of article 3 d): 5 cents / bag. *Bags of thickness between 15
and 49 microns: 15 cents / bag. *Bags of thickness equal to or greater than 50 microns: 15 cents / bag.
*Bags of thickness equal to or greater than 50 microns, with content equal to or greater than 50% recycled
plastic but less than 70%: 10-euro cents / bag
Nepal · Consumer fee:. Retailers, super Market and Shopping malls are entitled to charge fee for alternate bag
they provided. 0.30 cent to 50 cents
Netherlands · Consumer fee:.Plastic bags cannot be provided for free. This implies that the retailer is obliged to levy a
fee when providing plastic bags to. Supermarkets no longer give away free plastic bags at the cash register
as of 1 January 2014. The fee is not specified in the regulation.
Paraguay · Consumer fee: Based on size and thickness of the bag the law establishes that as of April 1, 2017,
supermarkets self-service stores and stores in general, that in areas destined to collection of merchandise
(each cash register), deliver polyethylene bags of only one use for the transport of merchandise, must
charge for them, to
from the 4 unit (up to 3 units may be delivered in a free), as a minimum price based on size ranging from
100-250 Gas. The charge for the bags, has as objective, to deliver to the consumer bags of polyethylene,
which can be reused often, and allocate resources to the awareness campaigns.
Poland · Fees for Plastic bags: An Entrepreneur operating a retail unit or wholesale, in which lightweight plastic
shopping bags are offered Intended for packing products offered in this unit, is obligated to collect a
recycling fee from a lightweight plastic shopping bag plastic. The recycling fee is not collected from the
purchaser of a very light bag
plastic shopping. The rate of the recycling fee is PLN 0.20 per one piece of lightweight plastic shopping
bag.
Senegal · Fees for Plastic bags: Plastic bags of a thickness greater than or equal to 30 microns, whatever the use
for which they are intended, may not be distributed or offered free of charge. The use, possession for sale,
offering for sale and the sale or free distribution of plastic bags of a thickness of less than 30 microns shall
be punishable by a fine of 50,000 CFA francs.
Slovakia · Packaging waste: The packaging manufacturer who provides light plastic bags for the purchase of
goods or products is obligatory (a) to provide them for payment; This obligation does not apply to the
providing of very light plastic packaging,
b) provide other types of bags. The legislation does not regulate a price for a plastic bag.
Slovenia · Packaging waste: Free distribution of plastic carrying bags is prohibited except for very light plastic
bags, but no laws determine the amount of fee that should be imposed by the retailer. The law currently
leaves it to distributor to determine the price, and institute a return/exchange program
Uzbekistan* · Fee on consumer: From January 1, 2019 there is prohibition of free issue or inclusion of the cost of
packages of polymer films in the cost of goods sold in the territory of the Republic of Uzbekistan, as well as
the sale of packages of polymer films below their cost is prohibited. The amount of levy appears to be left
to the retailer.
Note: * Countries fee systems are not yet in force but regulations were passed this year.
40 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Return, Collection, Recycling it as “an environmental policy • Responsibility for return and
and Disposal of plastic approach in which a producer’s trade controls e.g. Gambia
Many countries have not extended responsibility for a product is requires importers to return
their regulation of plastic beyond extended to the post-consumer plastic or recycle it at own
the collection of plastic bags as stage of a product’s life cycle, costs, and manufacturers to be
litter or solid waste. However, including the shifting of physical responsible for recycling.
a range of countries have and/or financial responsibility,
fully or partially, towards upstream Countries whose laws included
concentrated on regulating the
producers for treatment or disposal limited elements of EPR or
disposal phase of the plastic life
of post-consumer products, and vagueness in EPR responsibilities
cycle through recycling targets,
providing incentives to producers were not included in this report as
extended producer responsibility
to incorporate environmental having full EPR systems.26
or fees or fines for the disposal of
plastic bags. Approaches include considerations in the design of their Table 18 provides examples of EPR
requiring the responsible collection products”. rules that apply to packaging and
and disposal by manufacturers or plastic bags.
EPR as a policy mechanism relies
producers of plastic, retailers and
on the industry to galvanize action
distributors and in some cases the
to ensure recovery and recycling of
consumer.
packaging. Different approaches
Extended Producer are found to incorporate this policy
approach in countries which are
Key Plastic Bag often found in a patch work of
Finding #5: 43 different laws and regulations.
EPR as a policy approach consists
countries have of a number of elements which
included elements were found by researchers in
the countries assessed. Some
or characteristics of
examples include:
extended producer
• Responsibility for addressing
responsibility policy environmental impacts e.g. In
related to plastic Australia, EPR is part of lifecycle
management of a range of
bags within national products and can include
legislation. management of the potential
environmental impacts of
a product in all stages of
Responsibility
production, distribution, use,
Extended Producer Responsibility
collection, re-use, recycling,
(EPR) is a policy approach in which
reprocessing and disposal of
a producer’s responsibility for a
that product.
product is extended to the post-
consumer stage of a product’s life • Recovery and Recycling of
cycle, such as responsibility for bags e.g. In Mali, the producer
clean-up or recycling, or other ways and distributor who markets
of managing the waste generated or uses in its activity’s plastics
by their products put on the market. or other non-biodegradable
The OECD Guidance Manual packaging is obliged to proceed
for Governments on Extended to recovery of its plastics and
Producer Responsibility defines packaging used for recycling.
The pie chart provided in Figure 7 outlines countries which regulate the disposal phase of plastic bags through
recycling targets, extended producer responsibility etc. and those which do not regulate this phase of the plastic bag
life cycle. It outlines the percentage of countries twenty-two percent (22%) which have adopted EPR as part of their
regulatory approach in law.
67 22
33
11
Countries that do not have disposal regulations or requirements
Countries with disposal regulations that do NOT include extended producer responsibility
Countries with disposal regulations including extended producer responsibility
n = 192
42 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Forty-three (43) country national laws were identified as including characteristics of EPR.27 These countries are
provided by region in Table 19. A map of the countries that recognize characteristics of EPR is provided as well.(Map 4 )
Map 4 | Countries which include extended Producer responsibility to regulate plastic bags
Plastic Bags
No Data
No Extended Producer Responsbility or special regulations on return or disposal
Special regulations on return, or disposal only
EPR and special regulation on return or disposal
Table 19: Regional distribution of countries that include EPR in the regulation of plastic bags
Countries which include EPR as part of their regulation of plastic bags
Africa Latin America and Europe Asia and Pacific Western Asia US/ Canada
the Caribbean
Côte d’Ivoire Antigua and Barbuda Austria Australia Tunisia
Gambia Bahamas Bosnia & Herz. Bhutan
Cyprus
Mali Bolivia (Plurinational Estonia India
Senegal State of) Finland Indonesia
Zimbabwe Paraguay Georgia Japan
Uruguay Greece Republic of Korea
Hungary
Israel Togo
Italy Tonga
Lithuania Vanuatu
Luxemburg
Malta
Montenegro
Netherlands
Norway
Republic of Moldova
Romania
Serbia
Slovakia
Spain
Sweden
The former
Yugoslav
Republic of
Macedonia
Table 20: Regional distribution of countries that require recycling within the regulation of
plastic bags
Countries with national laws that require the recycling of plastic bags
Africa Latin America and Europe Asia and Pacific Western Asia North America
the Caribbean
Botswana Bolivia (Plurinational Austria Australia Qatar N/A
Cameroon State of) Croatia Bhutan
CAR Brazil Cyprus* Cambodia*
Chad Paraguay* Czech Rep. India
Ethiopia Uruguay Estonia Indonesia
Gambia Finland Japan
Mali Georgia Lao People’s
Senegal Greece* Democratic
Tunisia Hungary Republic
Israel Mongolia
Lichtenstein Philippines
Lithuania Republic of Korea
Luxemburg Samoa
Malta Togo
Montenegro Tonga
Netherlands Tuvalu
Norway Vanuatu*
Portugal*
Republic of Moldova
Slovakia
Spain
Sweden
The former
Yugoslav
Republic of
Macedonia
Turkey*
*Countries whose laws also promote the use of re-usable bags
44 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Fines related to Plastic Bag Legislation
Most countries have solid waste or litter legislation to govern the disposal of plastic bags. A few countries were
identified in addition to these laws to have specific fines for breach of plastic bag specific rules or packaging or
waste generation rules. Some examples of countries that have adopted criminal offences or fines for breach of
national bans or other legal requirements related to plastic bags as packaging are outlined in Table 21 below.
46 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
AN OVERVIEW OF REGULATORY
APPROACHES CONTROLLING SINGLE USE
PLASTIC ITEMS
This section provides a global overview of countries that have established some form of
national legislation to regulate single use plastic items.
Regulatory Approaches Table 22: Polymer types and commonly associated plastic
products
This section surveys the regulatory
approaches to address the problem Polymer type Common products
of single use plastic item pollution. Low-Density Polyethylene (LDPE) Bags, trays, containers, food packaging
The two main mechanisms film
employed by national governments High-Density Polyethylene (HDPE) Milk bottles, freezer bags, shampoo
bottles, ice cream containers
are bans or restrictions on the
Polyethylene Terphtalate (PET) Bottles for water and other beverages,
manufacture, use, distribution, sale, dispensing containers for cleaning
or trade of single-use plastics and fluids, biscuit trays
market-based instruments such as Polystyrene (PS) Cutlery, plates, and cups
taxes or levies. Expanded Polystyrene (EPS) Hot drink cups, insulated food
packaging, protective packaging for
Bans and prohibitions on the fragile items
manufacture, use, distribution, sale, Polypropylene (PP) Microwave dishes, ice cream tubs,
or trade of single-use plastics potato chip bags, bottle caps
48 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Figure 8 | Number of bans by type
No ban 166
Partial Bans
No Data
No ban of any type enacted
Ban on free distribution and use and import, but not manufacture
Ban on manufacture and free distribution and use but not import
Ban on manufacture, distribution and use, and import
Ban on manufacture and import but not distribution and use
Ban on free distribution and use
Ban on import
50 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Table 23: National bans and restrictions on single-use plastics
Country Type of ban or restriction Legislation
Antigua and Barbuda Material and product ban: Ban on expanded polystyrene Ban on the importation and use of
products in the food service industry Styrofoam food service products, 2017
Burkina Faso Product ban: The production, importation, marketing or Law N ° 017-2014 /AN on the prohibition
distribution of packaging and non-biodegradable plastic of the production, import, marketing and
bags intended directly for sanitary activities, scientific distribution of non-biodegradable plastic
and experimental research or for the purpose of packaging and plastic bags
security and national security, are subject to a special
authorization issued by the Minister charge of industry,
commerce and craftsmanship based on advices from
the Minister in charge environment and sustainable
development
Canada Material/Product ban: Ban on manufacturing, use, and Ozone-depleting Substances and
import of rigid foam plastic produced through use of Halocarbon Alternatives Regulations
CFCs or HCFCs1 2016/137
China Material/product ban: Ban on the import of used Notice on adjusting the managing
plastics for use as raw materials, including plastic bags, category of imported wastes”
films, and nets, and polyvinyl, styrene polymer, PET (02/26/2014) Exhibit 1 Prohibited
Wastes, No. 80; 2
Costa Rica Material/product ban: A ban on single-use plastics Directive 14, 2018
(including polystyrene) in food service areas of
government institutions
Fiji Production/distribution restriction: Facilities must have Environmental Management (Waste
a plastic bottle permit from work permit committee disposal and recycling) Guidelines 2007
in order to manufacture or import plastic bottles.
Application for permit must include measures taken to
collect and recycle bottles.
France Product ban: By January 1st, 2020, distribution of Energy Transition for Green Growth
disposable “kitchen cups, glasses, and plates made out Act n°2015-992 of 18 July 2015, Title
of plastic” as well as cotton swabs with plastic sticks is IV “Combating wastage and promoting
prohibited circular economy: from design to
recycling”
Haiti Material ban: The manufacture, import, and use of Presidential Ban in Favor of
polystyrene products is banned Environmental Protection, 2012
Israel Product restriction: Prohibits the manufacture and Deposit on beverage containers law,
import of beverage containers that require a deposit 1999, Article 3
without the label containing the words “owe deposit”
Italy Product ban: Manufacture and sale of cotton swabs Law n. 205/2017, Art. 1, Section 545
with a plastic stick will be banned starting January 1,
2019
Guyana Material ban: The manufacture, use, distribution, and Regulation 8 of 2015 under
import of polystyrene containers for food service Environmental Protection Act
establishments is banned
Liechtenstein Production restriction: Packaging must be designed Article 5 Section 1 Regulation on
and manufactured to limit the volume and weight to the Packaging and Packaging Waste
minimum necessary to ensure safety and hygiene while (Verordnung über Verpackungen und
also ensuring the material can be recycled or reused Verpackungsabfälle), Annex II Council
Directive 94/62/EC on packaging and
packaging waste.
Malta Product restrictions: Packaging, plates, cups, and some Waste Management Regulations 549.43,
beverage containers must be designed, manufactured, 2007
and sold in such a way to permit their reuse or
recyclability
Saudi Arabia Material and product ban: Prohibited to manufacture, Technical Regulation No. (MA-156-16-
advertise, sell, import, or use polypropylene and 03-03) on the biodegradable plastic
polyethylene plastics intended for one-time use, products of in the local markets
including personal care products, plastic bags intended
for one-time use, and disposable foot products such as
spoons, plates, and cups
Seychelles Material and product ban: Prohibition on the S.I. 38 of 2017 Environment Protection
manufacture, import, distribution, and sale of (restriction on importation, distribution,
polystyrene boxes and plastic utensils. Plastic is and sale of plastic utensils and
defined as: “material which contains as an essential polystyrene boxes) Regulations 2017
ingredient a high polymer such as polyethylene
terephthalate, high density polyethylene, vinyl, low-
density polyethylene, polypropylene, polystyrene resins,
multi-materials like acrylonitrile butadiene styrene,
polyphenylene oxide, polycarbonate, polyburtylene
terephthalate “
Sri Lanka Material/product ban: 1) Ban on the manufacture, Executive Order as gazetted No.
distribution and use of food containers, plates, 2034/34 of September 1, 2017 provided
cups, and spoons made from polystyrene and lunch for by Article 51 of the 19th Amendment
wrappers (a commonly used item in Sri Lanka) to the Constitution and the National
made from polyethylene. Separately, 2) the import of Environmental Act No. 47 of 1980 as
disposable polystyrene boxes and polymers of ethylene, amended, S. 23. 2) Imports and Exports
styrene and vinyl chloride are controlled. Control Act No. 1, 1969; Gazetted
2044/40 and 2044/41 of September 11,
2017.
Tuvalu Material/product ban: The manufacture, sale, Ozone Depleting Substances
distribution of plastic foam products (including Regulations 2010.
polystyrene foam, board stock, egg cartons, food
containers, disposable plates and cups, and horticulture
netting) is banned.
52 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
United Arab Emirates Material/product ban: The manufacture and import Standard & Specification for Oxo-
of non-biodegradable semi-rigid plastic packaging for biodegradation of Plastic bags and other
food, magazines, consumer durables, garbage bags, disposable Plastic objects; Specific
shrink wrap, pallet wrap, and other disposables is Requirements for the Registration of
banned. Oxo-biodegradable Plastic Objects
according to UAE Standard 5009: 2009
(Revision 1, March 1, 2014)
Vanuatu Material/product ban: The manufacture, distribution, Waste Management Act 24 of 2014
use, and import of plastic straws and polystyrene
products, including takeout boxes, food packaging,
disposable plates and cups, and horticultural netting
Zimbabwe Material ban: The manufacture, distribution, use, and The Environmental Management
import of plastic packaging of a thickness of greater (Plastic Packaging and Plastic Bottles)
than 30 micrometers and polystyrene is prohibited Regulations, 2010 as amended by
Statutory amendment 84 of 2012.
Table 24 shows the breakdown of ban types by region, showing that bans have been enacted in a range of countries
of different income levels and across regions.
Africa
Burkina Faso
Mauritius
Seychelles
Zimbabwe
China
Marshall Islands
Pakistan
Rep. of Korea
Sri Lanka
Tuvalu
Vanuatu
Europe
France
Israel
Italy
Lichtenstein
Malta
Monaco
San Marino
LAC
Guyana
Haiti
Uruguay
North America
Canada
West Asia
Saudi Arabia
UAE
Bans on specific products most Box 1: European Union Regional Initiatives to Reduce Plastic
commonly focused on those Waste
associated with food service and
delivery—a common disposable. The European Union has recognized its role as in reducing plastic-based marine
letter by developing a Plastics Strategy that includes directives to prevent
Twelve countries target plates, cups, and reduce plastic waste. For single-use plastics, this includes a Directive on
stirrers, and/or utensils while five Packaging and Packaging Waste—created initially in 1994 (Directive 94/62/EC)
and updated over the past two decades (Directive 2015/720) to better clarify the
target takeout containers and six definition of packaging and to explicitly include single use plastics. These support
target plastic bottles and beverage the Waste Framework Directive (2008/98), the Marine Strategy Framework
containers.(Figure 9) Directive (2008/56/EC), and the Urban Wastewater Treatment Directive (91/271/
EEC).
Key Single Use In 2018, the EU proposed a Directive intended to reduce single-use plastics as a
central part of its Plastics Strategy.
Plastics Findings
#3: Small Island Box 2: Selected Examples of Subnational Action
States have been While this report focuses on national-level legislation and regulation, it’s important
disproportionately to note that significant action to reduce plastic pollution is taking place at the
subnational level through the efforts of states, cities and other jurisdictions. The
more likely to enact following examples highlight a few of these efforts:
Seattle, Washington (USA) became the first US city to ban plastic utensils and
bans on single-use straws in restaurants when its new ban went into force on July 1, 2018. The
ban is part of a 2008 ordinance that requires food service establishments to
plastics—37% (10 seek recyclable or composable alternatives to disposable containers, cups,
straws, utensils, and other products (CBS/AP, 2018). The ban will affect the city’s
countries) of national estimated 5,000 restaurants.
bans have come from The Indian state of Maharashtra banned the manufacture, usage, distribution, sale,
storage, and import of plastic bags and disposable products made from plastic
these countries. (including polystyrene). This includes cups, utensils, plates, glasses, containers,
and plastic packaging. There are exceptions for use in the medical, agricultural,
waste, food storage, and export fields. Fines have been set at the equivalent of
US$68 for first offenders, which doubles for a second offense. Third offenses may
result in a fine of the equivalent of US$340 and possible imprisonment (Indian
Express, 2018)
The City of Malibu, California (USA) began enforcing a ban on the use, distribution,
and sale of single-use plastic straws, stirrers, and cutlery from retails stores and
restaurants on June 1, 2018.
54 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Figure 9 | Bans on Specific Products
Plastic packaging
Rigid plastic foam
Plastic banners
Ad flyers with plastic coating
Takeout food packaging
Cotton swabs
Plastic plates, cups, cutlery or
stirrers Plastic Straws
Plastic bottles or beverage
containers 0 2 4 6 8 10 12 14
Palau Deposit beverage container fee on distributors (manufacturers and importers) of filled
deposit beverage containers (The Palau Recycling Act).
Europe Albania Excise tax for plastic packaging at higher rates than glass and other packaging (National
Tax Law).
Bulgaria Product fee for packaging materials, including articles for one-time use such as cups,
buckets, etc., used for packaging goods at point of sale, subject to exemption for
producers participating in a collective system of waste recovery, reuse and recycling, or
individually fulfilling those obligations in the manner prescribed by regulations (Waste
Management Act).
Croatia Refund fee to be paid by producers that place packed drinks on the market, to be used
for taking back used beverage packaging, and waste management fee to cover collection
and processing of waste packaging (Regulation on Packaging and Packaging Waste).
Denmark Levy on certain packaging, including beverage packaging and disposable tableware (The
Packaging Tax Act).
Estonia Packaging excise duty for plastic packages (The Packaging Excise Duty Act).
Finland Excise duty on retail containers of alcoholic beverages and soft drinks, with exemption
for containers that are included in a deposit-based return system and which can be
refilled or used for raw material recovery (Act on Excise Duty on Certain Beverage
Containers).
Hungary Environmental product fee for packaging materials marketed in the country (Act on the
Environmental Product Fee).
Israel Plastic beverage container deposit for each marked beverage container containing a
drink and marketed in the country; provided that, failure to meet annual collection targets
for used beverage containers will pay double the deposit fee for the difference (Deposit
on Beverage Containers Law).
Italy Environmental contribution towards waste collection, recovery, reuse and recycling,
based on the total quantity, weight and type of packaging placed on the national market,
including disposable packaging designed or intended to be filled at the point of sale
(Environmental Code).
Latvia Tax on the packaging of goods and products and disposable tableware and accessories;
with exemption granted to taxpayers that have with established and applies a used
packaging or disposable tableware and accessories management system in accordance
with relevant regulations (Natural Resources Tax Law).
Lithuania Pollution tax for products and/or packaging waste (Law on Pollution Tax).
The former Fees or compensation for managing packaging waste for goods manufacture and
Yugoslav Republic imported, including primary packaging such as single-use plates and cups, and plastic
of Macedonia bottles (Law for Packaging and Packaging Waste Management).
56 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Montenegro Special fee for placing in the market manufactured or imported packed goods (higher
rate for goods made non-biodegradable materials) and deposit beverage container fee
on each beverage container manufactured or imported into the country (Regulation
on Detailed Criteria, Amount, and Manner of Payment of Special Fees for Waste
Management).
Norway Environmental tax on manufacturers and importers of recyclable bottles in PET
plastic. The tax is in addition to basic tax imposed on recyclable bottles or cans. The
environmental tax decreases in line with the return rate (i.e., number of bottles collected
individually or as a group under EPR), starting with a 25% return rate. At a 95% return rate,
the environmental tax will cease completely (Environmental Tax under excise tax laws).
Republic of Environmental pollution levy for goods that during their use pollute the environment,
Moldova including primary plastic packaging containing products manufactured or imported into
the country (Law on Payment for Environmental Pollution).
Slovenia Environmental tax on manufacturers for packaging that is designed and intended to be
filled at the place of retail (single-use plates and cups), with exemption for packaging put
on the market below 15000 kg annually (Decree on Environmental Tax on the Generation
of Packaging Waste).
Uzbekistan Environmental fee on manufactured and imported goods and packaging disposed of
after loss of consumer properties (Resolution on Measures to Further Improve and
Develop the Sanitation System).
LAC Antigua & Barbuda Environmental levy on plastic beverage containers for aerated, carbonated and non-
carbonated drinks, whether filled or empty, manufactured, imported or used in the
country (Environmental Protection Levy Act, 2002).
Jamaica Environmental protection levy on plastic goods manufactured or imported into the
country (Environmental Protection Levy Order)
St Kitts & Nevis Deposit levy on all aerated beverages bottled in non-returnable bottles manufactured
or imported, subject to refund on re-export or used bottles or other acceptable disposal
arrangements (Trade (Bottles and Cans Deposit Levy) Act).
St Vincent & the Deposit levy on beverages bottled in non-returnable bottles, subject to refund on re-
Grenadines export or used bottles or other acceptable disposal arrangements (Environmental Levy
Act).
Uruguay Tax on containers for bottling beverages (Value-added tax on PET PACK Manufacturers
and Importers).
Single Use
No Data
Countries no extended producer responsibility (EPR) or recycling mandates that include single-use plastic items
Countries with recycling mandates that include single-use plastic items but no EPR
Countries with EPR for the return, collection, or disposal of single-use plastic items
The EPR mandates mainly target the responsibility primarily to the up systems for return, collection,
post-use of plastic packaging and distributor or retailer, for example, recovery, including recycling, of
other single-use items, subject Barbados. The establishment of packaging and packaging waste.29
to some variation in specific EPR mandates by many European Table 26 shows the regional
obligations from country to country. countries is in response to the disaggregation of countries with
Many countries extend the EPR EU Directives on Packaging and EPR regulations and Table 27
obligations to both producers and Packaging Waste (Directive 94/62/ gives examples of the types of
retailers or distributors, but there EC and Directive (EU) 2015/720), regulations.
are a few countries that impose which require member states to set
58 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Table 26: Regional distribution of countries with Extended Producer Responsibility
Africa Asia & the Pacific Europe LAC
Mali Fiji Austria Belize
Mauritius India Belgium Bolivia (Plurinational State of)
Morocco Indonesia Bulgaria Brazil
Senegal Republic of Korea Estonia Paraguay
Zimbabwe Australia Finland St Kitts & Nevis
Togo Bhutan Georgia St Vincent & the Grenadines
Tunisia Japan Germany Uruguay
Palau Hungary Venezuela, Bolivarian Republic
of
Marshall Islands Israel Barbados
Italy
Lithuania
Luxembourg
The former Yugoslav Republic
of Macedonia
Malta
Republic of Moldova
Montenegro
Netherlands
Romania
Norway
Serbia
Slovakia
Slovenia
Spain
Switzerland
Ukraine
Croatia
Bosnia & Herzegovina
Cyprus
Sweden
Portugal
France
Poland
Ireland
United Kingdom
Latvia
Czech Republic
Greece
Turkey
60 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Deposit-refund Schemes leads the way with 15 countries, EPR mandates require it. The most
whereas the Asia-Pacific region common single-use plastic subject
Twenty-three (23) countries, has five (5) countries, and in Latin of deposit-refund schemes are
representing about 12 percent of America and the Caribbean has beverage bottles. Table 28 shows
the 192 countries reviewed have three (3) countries. The other regional disaggregation with brief
requirements for taking back of regions are not represented. description of deposit-refund
single-use plastic products through Deposit-refund scheme is a type schemes.
deposit-refund schemes. Europe of EPR, but not all countries with
62 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Key Single Use Recycling Mandates have instituted national recycling
mandates and objectives of some
Plastics Findings Fifty-one (51) countries were type, more than any other region.
found to have explicit regulatory
#6: The most This is followed by Africa with
mandates regarding recycling eight (8) countries, the Asia Pacific
common legal beyond general policy objectives. region with seven (7) countries and
measures for The regulations vary, with most Latin America and the Caribbean
countries’ regulations limited also with seven (7) countries. As
post-consumer to general requirements and/or with EPR, the adoption of recycling
use disposal for targets for plastics recycling, while mandates by most European
other countries require recycling
single use plastics as a component of EPR. Of the
countries is in compliance with
the EU Directives on Packaging
are recycling 51 countries with some type of and Packaging Waste, which
recycling mandate, 26 countries
requirements stipulates recycling as an integral
include specific recycling targets. component of packaging and
and solid waste Nine (9) countries provided fiscal packaging waste recovery.30 Figure
management incentives to promote recycling 13 below represents the number
activities. Palau enacted a national of countries and type of recycling
laws which may recycling program in which regulation. Table 29 shows the
implicitly include the government administers a regional disaggregation and type of
beverage container deposit-refund
single-use plastics scheme. Panama requires public
regulation, while Table 30 provides
examples of regulations. Table 31
under household or institutions to sort their waste and describes the fiscal incentives of
undertake recycling schemes for
commercial waste or the countries that have instituted
plastic bottles and other types of them.
explicitly set targets containers. In terms of regional
for plastics. distribution, 29 countries in Europe
51
26
9
Mandated With Targets With Fiscal Incentives
64 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Montenegro ✔
Netherlands ✔ ✔
Norway ✔ ✔ ✔
Republic of Moldova ✔ ✔
Serbia ✔
Slovakia ✔ ✔
Spain ✔
Switzerland ✔
Africa Mali “Any producer and distributor who markets or uses in its activities plastics or other non-
biodegradable packaging, and any responsible person for first time on the market, if the
producer and the distributor are unknown, is obliged to proceed the recovery of its plastics
and packaging used for recycling.”
Zimbabwe “Any person who- (a) uses polystyrene in packaging to protect goods from damage during
transportation or storage; (b) uses polystyrene in construction, shall take responsibility for
recycling any polystyrene packaging material they manufacture and sell.”
Asia & Pacific Fiji “A facility that imports or manufactures plastic bottles must send returns to the Department
of Environment of all import, manufacture, distribution, return and disposal of bottles.
Returns must be in writing and sent every 6 months from the issue of the permit. xxx
Failure to send a return by the due date is an offence under section 44 of the Act and can
lead to suspension of the permit.
India “Responsibility of producers, Importers and Brand Owners. - xxx (3) manufacture and use of
non-recyclable multilayered plastic if any should be phased out in two years’ time.”
Europe Cyprus “Until 2020 the following objectives should be met: (a) regarding preparation for the reuse
and recycling of waste, household waste consisting of paper, metal, plastic and glass waste
and potentially of waste of other [i.e. non-household] origin, the increase of these activities
[i.e. preparation for reuse/recycling] with a view to encompassing at a minimum 50% of
their total weight.”
Israel “A manufacturer and importer shall collect empty beverage containers marked at an
average annual rate of the total beverage containers marketed in each two-year period,
not less than 77 percent, provided that the percentage of the beverage containers to be
collected from the total beverage containers marketed each year will not fall below 73
percent; xxx Each year, a manufacturer and importer will collect large empty beverage
containers at a rate of at least 55 percent of the total large beverage containers that were
marketed that year.”
Lithuania “Producers and importers must take the necessary measures to ensure that empty
transport, grouped and sales packaging as well as its waste are managed xxx and that
targets for collection, recycling and reuse of packaging and packaging waste set by the
Government or an institution authorized by it are attained. xxx Producers and importers
who do not meet the objectives provided xxx relating to collection, recycling and reuse of
packaging and packaging waste, must, pursuant to the law, pay a tax for pollution of the
environment with product waste.”
Malta “Producers or third parties acting on their behalf shall, with respect to packaging waste
arising from their activities, using existing systems or set up systems, individually or
collectively, or both, in accordance with any existing laws and regulations, to provide for: (a)
the return and, or collection of used packaging and, or packaging waste from the consumer,
other final user, or from the waste stream in order to channel it to the most appropriate
waste management alternatives, ensuring that these systems are open to all economic
operators (b) the reuse or recovery including recycling of the packaging and, or packaging
waste collected (c) the use of materials obtained from recycled packaging waste for the
manufacturing of packaging and other products”
Table 31: Countries with Fiscal Incentives for Single-Use Plastics Recycling
Region Country Fiscal Incentive
Asia & Pacific Malaysia Manufacture of biodegradable disposable packaging and household wares and
waste recycling activities are listed as promoted products and activities under the
Promotion of Investments Act which are eligible for pioneer status and investment
tax allowance.
Europe Albania Under the amendments to the Law on National Taxes, effective January 1, 2017,
the tax on plastic packaging for domestically produced and domestically recycled
packages is reduced from 50 ALL/kg to 1 ALL/kg.
Estonia Exemption from excise duty imposed under the Packaging Excise Duty Act granted
with respect to packaging for which a deposit has been established under the
Packaging Act, and from which xxx at least 85 per cent of each class of packaging
material is recovered as of 1 January 2012.
Finland Exemption from excise duty under the Act on Excise Duty on Certain Beverage
Containers for containers which are included in deposit-based, functional return
system and which can be refilled or used for the recovery of raw material.
Greece Under the Packaging and Alternative Management of Packaging Waste and Other
Products, manufacturers and importers who carry out alternative management of
packaging and other products, in compliance with the targets, the demands and
the general principles of the present law, will be offered incentives.
Iceland The Iceland Recycling Fund, a state-owned agency under the Ministry of
Environment, applies economic incentives to establish practical arrangements for
processing waste.
Lithuania Manufacturers and importers are exempted from environmental pollution tax under
the Law on Pollution Tax for products and (or) packaging waste for the quantity of
products and/or packaging which meets the proportion of the use and/or recycling
of waste products and/or packaging identified by the Government. To benefit from
the tax relief, documentation must be provided in accordance with established
procedures, confirming the amount of recovered or used for energy production.
66 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Montenegro Special (lower) fee paid by the manufacturer or importer who places biodegradable
products or packed goods in circulation. Under the Waste Management Law, the
load unit for xxx plastics made of other materials that are not biodegradable is 10
(number JO / kg), and for plastics that are biodegradable the load unit is 1.
Norway Under tax regulations, an environmental tax is imposed on plastic PET bottles, set
at NOK 3.44 for recyclable bottles. The environmental tax lessens in line with the
return rate, starting with a 25 percent return rate. At a 95 percent return rate, the
environmental tax cease completely.”
Table 32: Types of recycling mandates, both specific to single-use plastics or general mandates
that implicitly include single-use plastics as solid waste.
Country Target Law
Bosnia and Herzegovina No new targets for the Law on Waste Management in Republika Srpska
Federation of Bosnia and (Official gazette of RS 111/13, 106/15, 16/18),
Herzegovina. For Republika Article 63g Rulebook for package and package
Srpska, there is a 20% target for waste management;
2018 onwards for packaging
waste
Bulgaria 50% of all household waste by Waste Management Act, 2012
weight is reused or recycled by
January 1, 2020
Cyprus 50% (all recyclables) to be Law 185(I)/2011 On Waste, Article 13(4)(a)
recycled or reused by 2020
Estonia 50% of all recyclable waste Waste Act (2004) subsection 120
from non-agricultural and non-
forestry sources recycled or
reused by January 1, 2020
Germany 65% of total weight of all 2009 Packaging Ordinance
recyclables is diverted to
recycling by 2020
Greece 78% of plastic packaging waste JMD 180036/252/207, Article 7 paragraphs 2,
by 2020 should be recycled and 2.1, Cabinet Act No. 49 of 15 December 2015
65% of total weight of waste On modifying and adopting the National Plan for
recycled by 2020 Waste Management and the National Plan for the
Prevention of Waste Creation, Strategy No. 3., page
9209, table 14
India 9. Responsibility of producers, Plastic Waste Management Rules, 2016
Importers and Brand Owners.-
... (3) manufacture and use of
non- recyclable multilayered
plastic if any should be phased
out in Two years’ time.
Ireland 50% by weight of household EU Waste Framework Directive; Waste
paper, metal, plastic, and glass Management Act 1996, European Communities
by 2020 to be recycled. Waste Directive Regulations 2011
Israel Manufacturers must collect Deposit on beverage containers law, 1999, Article 7
at least 73% of beverage + 7A + 7E(A)
containers up to 1.5 L and 55%
of containers above 1.5L and
recycle at least 90% of them
Italy 50% of household waste Law n. 205/2017, Art. 181, Section 1.
(including, but not exclusive to
plastic) reused or recycled by
2020
Lithuania Min of 55% and max of 80% of Law on Management of Packaging and Packaging
plastic packaging waste to be Waste 2001 and 2014-2020 National Waste
recycled by 2020 Management Plan
Malta 55-80% by weight of all waste Waste Management (Packaging and Packaging
recycled by 2020 and at least Waste) Regulations 2007
22.5% of plastics
Morocco 20% recycling rate (all Law No. 1-06-153 of 22 November 2006 (30
recyclable materials) by 2020 chaoual 1427) promulgating Law No. 28-00 on the
management of waste and its disposal.
Netherlands 50% of plastic packaging Decision on Packaging Management, 2014
to be recycled by 2020 and
increasing 1% a year following
Peru Public sector entities must use Supreme Decree 011-2010-MINAM; Ministerial
plastics with a minimum of 80% Resolution 021-2011-MINAM
recycled content
Republic of Korea Mandatory Recycling Ratio Act on the Promotion of Saving and Recycling of
applied to manufacturers, Resources;
ranging from 0.442 (single-
material polystyrene paper) to
0.830 (PET complex materials).
Recycling due is 30/100 of the
sum of expenses to be incurred
in recycling non-recycled
wastes out of the mandatory
recycling quantity.
Republic of Moldova 30% (total target inclusive of Law on Waste #209 from 29.06.2016. Art.14 para.
glass, paper, plastics, metals) (1) b)
by 2020
68 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Box 3: Examples of proposed legislation to restrict single-use plastics
Africa
• Kenya – after enacting one of the most stringent plastic bag bans in the world (penalties for violation include fines of up to
$38,000 (€32,000) and a jail term of up to four years), the government has promised to ban disposable plastics next33.
Microbeads
No Data
No Ban/Data Not Found
New Law Proposed
Partial Ban
This section provides a global countries are Canada, France, Italy, products through national level
overview of countries that have Republic of Korea, New Zealand, laws or regulations. Figure 10
established national limits or bans Sweden, the United Kingdom below provides an overview of the
of microbeads. Overall eight out of of Great Britain and Northern number of countries with national
192 countries assessed enacted Ireland (UK), and the United States laws controlling microbeads while
national level laws or regulations of America (US). This number Figure 11 provides the overview by
that ban the use, sale, and/or suggests that most countries have region. Table 33 provides the name
manufacture of microbeads in not yet taken action to eliminate of the specific microbead law or
personal care products. These microbeads from personal care regulations in each country.
70 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Key Microbead Figure 1 | Countries that do and do not have national level laws
or regulations controlling the use of microbeads
Finding #1: As of
July 2018, eight out
184
of 192 countries
worldwide (4%) have
established legally
binding bans of
microbeads through
national laws or
8
regulations.
No Yes
n = 192
Yes No
54
50
36
33
11
4
2 2
Africa Asia and Europe Latin America and North America West Asia
the Pacific the Caribbean
n = 192
While the focus of this report was on national laws and regulations, in some countries subnational governmental
bodies have passed laws or ordinances banning the use of microbeads in personal care products. Box 4 below
provides a description of subnational actions taken in the United States of America and Canada.
Box 4: Examples of subnational laws regulating the use and sale of microbead containing
products
Subnational laws banning the use and sale of products containing microbeads
United States of America
Illinois became the first state to enact legislation prohibiting the sale and manufacture of personal care products containing
non-biodegradable plastic microbeads in 2015. Public Act 098-0638 banned the manufacture for sale of personal care products
except over the counter drugs starting December 31, 2017. The sale of products sold as over the counter drugs that contain
synthetic plastic microbeads was prohibited beginning December 31, 2018. According to the National Caucus of Environmental
Legislators, since then at least 15 states introduced legislation to ban microbeads including Arizona, Colorado, Connecticut,
Hawaii, Maryland, Main, Minnesota, Mississippi, New Jersey, New York, Texas, Virginia, Washington, and Wisconsin. Under the
national Microbead-Free Waters Act of 2015, states are not allowed to enact or enforce laws that restrict the manufacture or
sale of personal care products containing plastic microbeads unless the state or local restrictions are the same as the federal
law.
Canada
Ontario parliament passed a ban on the manufacture of microbeads in 2015 - Bill 75 Microbead Elimination and Monitoring Act,
2015. Toronto City Council and Montreal as well as the Quebec Metropolitan region have also passed motions encouraging
bans on the use of plastic microbeads in personal care products at the provincial level.
Characteristics of the different laws and regulations used the sale and/or manufacture
National Laws and to limit the manufacture, import, of products containing
Regulations sale, and use of plastic microbead microbeads
products based on legal analysis. It • the scope of products covered
The laws and regulations used specifically looks at under each law or regulations
to control microbeads share a
number of similarities but also • the definition and size of • exemptions and,
critical differences. This section microbead • the phase-in dates for
describes the approaches used in • if the law or regulation controls enactment.
72 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Key Microbead Definition of Microbead
All of the countries with national laws or regulations banning microbeads
Finding #2: Seven include a definition of microbeads. The definition bases restriction on the
out of eight of the size and specificity of plastic particles. In some cases, the definition also
includes the type of products or water solubility. France also includes
countries with a reference to the process used to create the microbead - hot-shaping
laws or regulations process. Table 34 below provides a summary of the different microbead
controlling the use definitions provided in the law or regulations for each country.
of similarities Scotland
in definition of Wales
US “plastic microbead” is defined as any solid plastic
microbead, product particle that is — 5 millimeters or less in size and
intended to be used to exfoliate or cleanse the body or
types covered, and any part of the body.
74 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
the specific human body part to be Table 36 below presents the of products covered. Table 37
cleaned with the rinse off product, different product types covered illustrates the countries based on
while others focus on the exfoliating under each law or regulation as the scope of products covered
purpose of the product. well as the specific description
Table 36: Type of products covered under national laws and regulations limiting the use and
sale of microbeads
Country Product Type Covered Specific Description
Canada toiletries Toiletries means any personal hair, skin, teeth or mouth care products for
cleansing or hygiene, including exfoliants and any of those products that
is also a natural health product as defined in the Natural Health Products
Regulations or a non-prescription drug.
France Cosmetic and rinse-off cosmetic A cosmetic product shall mean any substance or preparation intended to
be in contact with external parts of the human body (epidermis, hair system,
nails, lips and external genital organs) or with teeth and oral mucosa with a
view exclusively or mainly to cleaning them, perfuming them, changing their
appearance, protecting them, keeping them in good condition or correcting
body odours; a rinse-off cosmetic is defined as a “product which is intended
to be removed by a water rinse immediately after use”
Italy Rinse-off cosmetics Products [that are] rinsing cosmetics with exfoliating or detergent containing
microplastics.
Republic of Korea Cosmetics and sanitary aids product types such as cosmetics (for rinse-off, scrub, etc) and sanitary aids
(gargle, toothpaste, and teeth whitening)
New Zealand Wash-off products including heavy- wash-off product for 1 or more of the following purposes:
duty hand cleansers, abrasive (i) exfoliation of all or part of a person’s body:
cleaning products and car or (ii) cleaning of all or part of a person’s body:
industrial cleaning products (iii) abrasive cleaning of any area, surface, or thing:
(iv) visual appearance of the product;
Sweden rinse-off cosmetic A cleansing, exfoliating or polishing effect in rinse-off cosmetic products.
The prohibition covers cosmetic products intended to be rinsed of or spat
out after use on skin, hair, mucous membrane or teeth.
UK4 rinse-off personal care product “rinse-off personal care product” means any substance, or mixture of
N. Ireland substances, manufactured for the purpose of being applied to any relevant
England human body part in the course of any personal care treatment, by an
Scotland application which entails at its completion the prompt and specific removal
of the product (or any residue of the product) by washing or rinsing with
Wales
water, rather than leaving it to wear off or wash off, or be absorbed or shed,
in the course of time;
and for this purpose—
(a)a “personal care treatment” means any process of cleaning, protecting or
perfuming a relevant human body part, maintaining or restoring its condition
or changing its appearance; and
(b)a “relevant human body part” is—
(i)any external part of the human body (including any part of the epidermis,
hair system, nails or lips);
(ii)the teeth; or
(iii)mucous membranes of the oral cavity;
US cosmetics and non-prescription Rinse off cosmetic intended to be used to exfoliate or cleanse the human
(also called “over-the-counter” or body or any part thereof; the term ‘rinse-off cosmetic’ includes toothpaste
“OTC”) drugs, such as toothpastes
Exemptions Canada provides an exemption for microbeads include specific dates for
toiletries moving through the country. when the ban takes effect. They range
Four countries - Canada France, And as mentioned above, in France, from May 19, 2017 to January 1, 2020.
Sweden, and the United States of French cosmetics companies can still In some cases, countries extended
America include specific exemptions produce cosmetics containing plastic the time for some product types
in the laws and regulations limiting microbeads if they were already on (Canada, Republic of Korea, England,
the use and manufacturing of the market before the 1st January and the United States) or the selling
microbeads in personal care products. 2018. The descriptions of exemptions of products (Italy, Sweden, and the
In two of these cases, France and provided in country laws are provided United States). Each of the countries
Sweden, these exemptions are for in Table 38 below. that comprise the United Kingdom
biodegradable alternatives. In the have slightly different dates for when
case of New Zealand and the US, Phase In Dates the regulations came or will come into
specific exemptions are outlined force. The specific dates are provided
Each of the eight countries with
for medicine or medical purposes. in the Table 39 below.
national laws or regulations banning
Table 38: Type of exemption of microbead containing product in country laws and regulations
Country Type of Exemption Exemptions
Canada Transit of goods toiletries in transit through Canada, from a place outside Canada to another place
outside Canada.
France Biodegradable natural origin particles that are not likely to remain in the environment, to spread
Alternatives chemical or biological active ingredients as “solid natural origin particles for which
the time and degradation conditions are defined by an order from the Minister for the
Environment”. It also defines the term “natural origin particles that are not likely to impact
animal food chains” as “solid natural origin particles not containing or not releasing
during their degradation in sea water classified substances, either because of a danger
for the environment, either due to a danger for human health, by an order from the
Minister for the Environment”
Italy No Exemption
Republic of Korea No Exemption
New Zealand Medical Medical device and medicine - Medical device is any device, instrument, apparatus,
appliance, or other article is intended to be used in, on, or for human beings for a
therapeutic Medicine is defined as any substance or article that is manufactured,
imported, sold, or supplied wholly or principally for administering to 1 or more human
beings for a therapeutic purpose
Sweden Biodegradable The ban does not cover cosmetic products containing microbeads consisting solely of
Alternatives natural occurring polymers. The Chemicals Agency may issue regulations on exceptions
or in individual cases grant exemption from the ban.
UK5 No Exemption
N. Ireland
England
Scotland
Wales
US Medical drugs that are not also cosmetics
76 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Table 39: Dates when control of microbead use takes effect in countries with laws and
regulations
Country Phase in Dates
Canada Entered into Force January 1, 2018
Prohibition to manufacture, sell, or import applies on or after July 1, 2018
Toiletries that are also natural health products or non-prescription drug prohibition applies on
or after July 1, 2019
France Entered into Force January 1, 2018
Italy Entered into force January 1, 2018,
Prohibition to sell begins January 1, 2020
Republic of Korea Entered into force July 1, 2017 for cosmetics, May 19, 2017 for sanitary aids
New Zealand Entered into force June 7, 2018
Sweden Entered into force on 1 July 2018. Cosmetic products released on the market before July 1,
2018 must be phased out by the end of December 2018.
UK6 N. Ireland - The prohibition on the manufacture and sale will come into force in September
N. Ireland 2018.
England England – The prohibition on the manufacture came into force on January 9, 2018 for
Scotland manufacture, June 19, 2018 for sale
Wales Scotland - The prohibition on the manufacture and sale came into force on July 9, 2018.
Wales - The prohibition on the manufacture and sale came into force on 30 June 2018.
USA For rinse-off cosmetics: Prohibition to stop the manufacturing of the products was July 1,
2017. Prohibition to stop the introduction or delivery for introduction of these products into
interstate commerce was July 1, 2018.
For rinse-off cosmetics that are also non-prescription drugs: The deadline was July 1, 2018 to
stop manufacturing the products described in the law. The deadline to stop the introduction or
delivery for introduction of these products into interstate commerce is July 1, 2019.
78 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
while civil society organizations in 16 countries. Overall the • Government statements of
have also publicly provided lists of specific voluntary approaches support or plans for a phase-
products containing microbeads that have been used to phase out or ban of microbeads
to spur action. Finally some out or encourage the elimination • Ecolabeling
individual multinational companies of microbeads by individual
have announced the voluntary governments and national The list of countries by voluntary
elimination of microbeads in their companies or trade associations approach is provided in Table
products wherever they are sold. include 40 below. Table 41 provides
These approaches are discussed a description of the voluntary
• Government and industry initiative being used in each
below.
sector negotiations and country. The number of countries
Government and Industry Voluntary agreements for voluntary using each type of voluntary
Initiatives phase-out action approach is provided in Figure 13.
• Individual company and/or Figure 14 provides a breakdown by
Voluntary measures to phase
trade association voluntary region.
out or eliminate microbeads in
industry phase-out actions
cosmetic products were found
Government and industry sector Individual company and/or trade Government statements of Ecolabeling
agreements for voluntary phase- association voluntary industry support for a phase-out or ban
out action phase-out actions of microbeads
5 5
7
7
12
n = 192
The voluntary phase out does not include a number of products known to contain
microbeads including cosmetic products that are generally wiped-off, such as make
up and lipsticks, some industrial cleaning products or medicines
80 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Denmark Individual company and/or trade The Danish cosmetics industry’s trade association, The Danish Association of
association voluntary industry Cosmetics and Detergent Industries (SPT) has expressed support for the Cosmetics
phase-out actions Europe’s recommendation to avoid non-biodegradable microbeads in wash-off
cosmetic in 2020. The SPT statement mentions that the vast majority of Danish
Ecolabeling companies have already phased out the use of microbeads, and therefore,
microbeads are only present in a very limited number of products in Danish market47.
Regional Government of the formulation72. In June 2017 Poland, Russia and Sweden.
Support for Microbead Bans the EU announced new criteria for Regional Baltic Sea Action Plan
Statements of support and six widely used types of detergents marine junk. HELCOM has created
development of regional action - laundry, industrial laundry, a Regional Action Plan for Marine
plans that include plans for phasing dishwasher, industrial dishwasher, Litter that sets the standard for
out the use of microbeads in hand dishwashing and hard-surface each HELCOM coastal member
personal care products have been cleaning detergents. These new countries for putting agreed
issued by the EU, HELCOM, Nordic criteria will now require these commitments into action. This
Council of Ministers, OSPAR, and products to be free of microbeads action plan includes specific
SPREP regional bodies. The EU has as well73. measures to address microplastics.
also incorporated the elimination To address the use of microbeads
HELCOM: HELCOM (Baltic
of microbeads in their ecolabeling in personal care products
Marine Environment Protection formulations, it states “the possible
program. These regional actions
Commission - Helsinki
are outlined below. impact on the marine environment
Commission) is the governing body should be reduced by applying
EU: In addition to the proposed of the Convention on the Protection substitutes.74”
plans to restrict plastic microbeads of the Marine Environment of
outlined above, the EU has an the Baltic Sea Area, known as Nordic Council of Minsters: The
Ecolabeling program that includes the Helsinki Convention. The Nordic Council of Ministers and
criteria requiring the exclusion of Contracting Parties are Denmark, the Nordic Council, a forum for
microbeads from personal care and Estonia, the European Union, official cooperation between
rinse off cosmetic products, as part Finland, Germany, Latvia, Lithuania, Denmark, Finland, Iceland, Norway,
82 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
Sweden, the Faroe Islands, and regional government voluntary recommended to its members
Greenland and Åland, launched approaches to minimizing and they discontinue, by 2020, the use
a Nordic program to reduce the phasing out the use of microbeads of synthetic microbeads used for
environmental impact of plastic in in personal care products, exfoliating and cleansing, that are
May 2017. This program includes civil society and multinational non-biodegradable in the aquatic
multiple objectives to develop a corporations have also taken environment. This recommendation
framework that prevents plastic action. Examples of these type of built on voluntary initiatives already
waste by replacing plastics with approaches are provided below. taken by individual member
other materials and cites the use of companies of Cosmetics Europe.
Public listing of products
microbeads as an example75. They
containing and not containing Unilever stopped using microbeads
have also contributed to the EU
microbeads as a scrub material in 2014
strategy on plastic.
and replaced them with natural
The International Coalition Beat
OSPAR: OSPAR is the mechanism alternatives.80 Colgate-Palmolive,81
the Microbead, supported by 94
by which 15 Governments and Johnson & Johnson Family of
NGOs in 44 countries and led by the
the EU cooperate to protect the Consumer Companies82 along with
Plastic Soup Foundation, houses
marine environment of the North- Target in their branded products83
a website and app that presents
East Atlantic. OSPAR’s Regional have as well. L’Oréal no longer uses
product lists from 24 countries79.
Action Plan includes a provision plastic microbeads as cleansing or
The lists include the names of
to engage with all appropriate exfoliating agents in its wash-off
companies, producers and brands
sectors (manufacturing, retail products, first for Biotherm (2014)
and ranks products that contain
etc.) to explore the possibility of and The Body Shop (2015) before
and don’t contain ingredients which
a voluntary agreement to phase being extended to all the Group’s
are commonly considered to be
out the use of microbeads as a portfolio in 201784. Boots brands
microplastics by the amount of
component in personal care and and exclusive beauty and personal
microbead they contain. They also
cosmetic products76. It also states care products, owned by US
offer their own ecolabel, ‘Look for
that if voluntary agreements are company Walgreens Boots Alliance
the Zero’ for products guaranteed
not sufficient, OSPAR should (WBA), reformulated to stop using
to be 100% free of microplastic
be prepared to call on the EU to plastic microbeads in 2015 and
ingredients. These initiatives,
introduce measure to achieve the stopped purchasing products with
along with the EU and Nordic Swan
complete phasing out of the use of plastic microbeads after December
ecolabels, look to recognize and
microbeads in these products.77 201785. WBA worked to do the same
reward microbead free products with its US suppliers in advance of
SPREP: In September 2017, the and create market incentives that the US microbead ban86.
Secretariat of the Pacific Regional positively influence the choices
Environment Programme (SPREP) people make when buying personal
endorsed a Call for Action on care products.
Plastic Microbeads. This call
Multi-national Company Voluntary
to action commits member
Elimination of Microbeads
governments to take measures to
ban the use of plastic microbeads Like many national companies,
in their countries and advocate multinational companies and
other members for such bans.78 multinational trade unions have
SPREP has 21 Pacific island also voluntary agreed to phaseout
member countries and territories microbeads in the products they
and 5 developed countries with produce. In 2015 Cosmetics
direct interest in the region. Europe, the European trade
association for the cosmetics
Other Voluntary Approaches
and personal care industry,
In addition to the country specific
84 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
service industry, as well as plastic covered under the law also varies, It should also be noted that many
packaging. although all but one country, New companies, governments, and civil
Zealand, limit control to rinse off society organizations have cited
While bans are widespread, cosmetics and other personal the availability of biodegradable
instruments of taxation are far more care products. This suggest that and natural alternatives to plastic
concentrated in Europe, where 17 of countries have prioritized personal microbeads such as including
the 31 national taxation measures care products for bans and have jojoba beads, apricot seeds, and
are in place. Extended Producer not used national legislation to powdered nut shells as reasonable
Responsibility has been established prohibit the use of microbeads in substitutes for plastic microbeads.
in 42 countries to encourage other types of cleaning or industrial Further, ecolabeling programs have
retailers to develop systems for products. begun to include the prohibition
collecting, reusing, recycling or of plastic, nonbiodegradable
safely disposing of plastic products. The report finds that actors in at microbeads in their Ecolabel criteria
Forty-seven countries have enacted least 14 countries have utilized for cosmetics and other personal
recycling mandates, making it voluntary approaches at the country care products. Coupled with the
the most common approach, level to encourage the elimination growing awareness around the
but a smaller subset define clear of microbeads in personal care
problems of marine litter and
economy wide targets or offer fiscal products. Beyond individual the contribution of microbeads,
incentives. country actions, multinational the relatively easy availability of
companies, trade associations, and
Several countries have begun to alternatives has likely reinforced
regional government bodies have
put in place important innovative the range of approaches being
all taken voluntary initiatives to
approaches to tackle single use used to control microbeads. This
spur the phase out of microbead-
plastic, including those which have range can, in turn, act as a source of
containing cosmetic and personal
put in place regulations based on a inspiration for other actions.
care products across the globe.
detailed definition of plastic as the These findings suggest that more Microbeads used in personal
Seychelles or Canada’s ban which countries are choosing to utilize care and cosmetic products are a
is part of a larger circular economy voluntary approaches rather than significant direct source of marine
initiative and green growth act. laws or regulations to explicitly litter, especially in locations with
Microbeads: To date, eight control the use and manufacture no or limited wastewater treatment
countries have passed laws or of microbeads and microbead in place. Phasing out the use
regulations at the national level containing products. of microbeads in personal care
while four, plus the EU, are in the products will help contribute to
However, the report’s findings
process of passing new laws or Sustainable Goal 14: Conserve
also highlight that three countries
regulations. This suggests that, to and sustainably use the oceans,
that have passed national bans
date, few countries have taken legal seas and marine resources for
and two that are in the process
action to prohibit the use of plastic sustainable development by
of passing proposed laws have
microbeads in products.22 reducing the amounts of micro
also initiated voluntary actions. particles in the marine environment.
The laws and regulations, which Many trade associations and Regional declarations, national
all limit the selling of microbead individual countries have also legislation and voluntary initiatives
containing products, define taken on voluntary phase outs at all have an important role to play in
microbeads as plastic particles both the country and global level. achieving this global commitment
smaller or equal to 5 millimeters This suggests that discussions to reduce marine litter.
in size, but vary in the control of around the need to eliminate the
manufacturing or importing of use of microbeads in personal care
microbead containing products. The products through legislative action
scope of products and specificity of may spur voluntary action in some
terms used to describe the products countries.
86 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
ANNEX
Table 42: Plastic Bag Indicators
General
1. Are there any laws that prevent regulating the sale, use or disposal of plastic bags?
2. Is there any overarching or framework law that regulates marine pollution which includes plastics in the country being
researched? How does the framework law address plastics?
Manufacture and Production
1. Are there any national laws that prohibit or ban the manufacture or production of plastic bags?
2. Is the prohibition or ban total?
3. Is the prohibition or ban partial?
4. If partial, which of the following types? (Type YES for all that apply).
4.1 Production restrictions, i.e., manufacture of production of plastic bags is limited to a maximum number or volume.
4.2 Thickness requirement, i.e., thin, ultrathin, or lightweight plastic bags are prohibited.
4.2.1. Specify the required thickness or size (minimum or maximum ___________).
4.3 Material content requirement, i.e.
4.3.1. Requirement of a percentage or content of recycled material.
4.3.2. Only biodegradable and/or compostable bags are allowed.
4.4 Other (please specify): ________________
5. Are there national laws that impose a tax on the manufacture of plastic bags?
6. Are there any national laws that provide fiscal incentives (e.g. tax breaks) to manufacturers to recycle and/or produce re-usable
plastic bags?
6.1. If there are national laws that provide fiscal incentives, what are these incentives (e.g., exemption from tax)?
Use
1. Are there any national laws that prohibit or ban the free distribution of plastic bags?
2. Is the ban total?
3. Is the ban partial?
4. If partial, which of the following types? (Type YES for all that apply).
4.1 Only biodegradable or compostable plastic bags are allowed for free distribution.
4.2 Paper bags allowed for free distribution in lieu of plastic bags.
4.3 Other (please specify): _____________
5. Are there any national laws that mandate the retailer to impose a levy or fee to the customer for plastic bags provided?
5.1 If so, how much is the levy/fee?
6. Are there any national laws that mandate or promote the use of re-usable bags?
7. Are there any national laws that place a tax on the retailer for the distribution of plastic bags?
7.1 If so, how much?
8. Are there any national laws that require creation of a fund (e.g. environmental fund) from taxes or levies charged on plastic
bags?
8.1. If so, provide the name of the fund and the weblink
Disposal
1. Are there any national laws that regulate or require the return, collection, and disposal of plastic bags? If ‘Yes’, what is the extent
of the provision?
1.1 Who is required?
5. Are there any national laws that impose a tax on the manufacture of single use plastic products?
6. Are there any national laws that provide fiscal incentives (e.g. tax breaks) to manufacturers to recycle and/or produce re-usable
products?
Use
1. Are there any national laws that prohibit or ban the free distribution or use of single use plastic products?
2. Is the prohibition or ban total?
88 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
2. Is the prohibition or ban partial?
4. If partial, which of the following types:
4.1 Ban on certain products (type YES for all that apply):
4.1.1 Plastic bottles or beverage containers.
4.1.2 Plastic plates, cups, cutlery or stirrers
4.1.3 Plastic straws
3.1.4 Other (please specify): ______________.
4.2 Ban on certain materials (type YES for all that apply):
4.2.1 Polystyrene/expanded polystyrene/Styrofoam
4.2.2 Other (please specify): ______________.
4.3 Production restrictions i.e. manufacture of production of single use plastic products is limited to a maximum number or
volume.
5. Is there a ban on certain products? If YES, specify which type of products: _____________
6. Is there a ban on certain business establishments? If YES, specify which type of businesses (e.g. beach restaurants prohibited
from providing straws): ____________
7. Are there any national laws that ban the sale of single use plastic products? If YES, specify which type of products:
________________
9. Are there any national laws that impose a tax on retailers/business establishments for the use or distribution of single use
plastic products? If YES, specify which type of products: ________________
11. Are there any national laws that provide incentives to retailers/business establishments for the use of re-usable plastic
products? If YES, pecify which type of products: ______________
12. Are there any national laws that mandate targets for reduced use or recycling of plastic products?
13. Are there any national laws that require the creation of an environmental fund from charges levied on single use plastic items?
Disposal
1. Are there any national laws that regulate the return, collection or disposal of single use plastic items?
1.1 If YES, who is required?
1.1.1 Manufacturer or producer (for example, under an extended producer responsibility*)
1.1.2 Retailer
1.1.3 Consumer
2.Are there any national laws that require recycling of single use plastic items?
3. Are there any national laws that require specific fees/taxes or other charging scheme for the disposal of single use plastic
items?
3.1 Who is required to pay the fee/tax?
3.3.1 Manufacturer
3.3.2 Retailer
3.3.3 Consumer
4. Are there any national laws that impose fines for unlawful disposal of single use plastic items outside of regulated spaces? What
are the fines?
5. Are there any national solid waste management laws that cover single use plastic items? To what extent?
Trade
1.Are there any national laws that prohibit or ban the import of single use plastic products?
2.Is the ban total?
3.Is the ban partial?
4. If partial, which type of ban?
4.1 Ban on certain products. Specify which type of products: ____________
4.2 Ban on certain business establishments. If YES, specify which type of businesses: _____________
5. Are there any national laws that prohibit the export of single use plastic items?
13. Does the law on microbeads add or reference microbeads in laws governing toxic substances or additives?
14. Are there any voluntary measures or standards set by the government or industry to phase out from microbeads?
90 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
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End notes
1. Results from Iran (Islamic Republic of) and Palestine are missing from this global review
2. SDG Goal 14.1: By 2025, prevent and significantly reduce marine pollution of all kinds, in particular from land-based activities, including marine debris and nutrient pollution.
3. Jambeck et al 2015
5. UNEP 2018
6. Ibid.
7. Dris et al 2015
8. EPA 2016
10. Ibid.
20. In this report the term ‘laws’ is used to describe any primary legislation (e.g. acts or statutes adopted by national parliaments/legislatures) and secondary legislation (e.g. regulations, statutory
orders, by-laws) made under primary legislation. Laws adopted at the sub-national level have not been considered within the scope of this report.
23. Andorra, Decree of May 17, 2017, Regulation on the reduction of consumption of plastic bags
24. Luxembourg Law of 21 March 2017 related to packaging and packaging waste
25. e.g China, Notice of the General Office of State Council on Restricting the Production, Sale and Use of Plastic Shopping Bags” (SC GO G [2008] No.72)and Estonia Packaging Act (2004)
subsection 5 (2) 1)
26. Countries which included vague requirements or exemptions or significant limitations to the characteristics of EPR rules included Venezuela, China, Cuba, Laos, Chad, Brazil, Cameroon, Central
African Republic, Zambia
27. The report uses the term Extended Producer Responsibility elements or characteristics as there is no overarching consensus globally of what extended producer responsibility legislation must
include. For Example elements of EPR were found in Brazil and Zambia but they were so limited that Brazil and Zambia were not included within the report as having a national EPR system.
28. http://ec.europa.eu/environment/waste/plastic_waste.htm
29. European Parliament and Council Directive 94/62/EC of 20 December 1994 on packaging and packaging waste, at https://eur-lex.europa.eu/legal-content/EN/TXT/
PDF/?uri=CELEX:01994L0062-20150526&from=EN.
31. “Portugal: Parliament to Discuss Banning Disposable Plates in Restaurants | Macau Business,” accessed September 19, 2018, http://www.macaubusiness.com/portugal-parliament-discuss-
banning-disposable-plates-restaurants/.
32. “UK Government Rallies Commonwealth to Unite on Marine Waste - GOV.UK,” accessed September 19, 2018, https://www.gov.uk/government/news/uk-government-rallies-commonwealth-to-
unite-on-marine-waste.
34. “Why India Passed One Of The World’s Toughest Anti-Plastic Laws | HuffPost,” accessed September 19, 2018, https://www.huffingtonpost.com/entry/single-use-plastic-ban-india_
us_5b3a09b6e4b0f3c221a28a07. 7
35. “Senators to Push for Single-Use Plastic Ban | News | GMA News Online,” accessed September 19, 2018, http://www.gmanetwork.com/news/news/nation/656075/senators-to-push-for-single-
use-plastic-ban/story/.
36. “Use of Plastics in Public Institutions of Costa Rica Is Restricted from Now On | The Costa Rica News,” accessed September 19, 2018, https://thecostaricanews.com/use-of-plastics-in-public-
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37. “Budget Addresses - Budget Address 2018 - 2019: From Survival, to Sustainability and Success: A Resilient Dominica - Ministry of Finance,” accessed September 19, 2018, http://finance.gov.
dm/budget/budget-addresses/file/27-budget-address-2018-2019-from-survival-to-sustainability-and-success-a-resilient-dominica.
38. “Plastic+Ban+Countries.Pdf.”https://www.bahamas.gov.bs/wps/wcm/connect/e8d4a940-99bf-4bc7-9cb0-c777e420ccaf/Plastic+Ban+Countries.pdf?MOD=AJPERES
39. “Plastic+Ban+Countries.Pdf.”https://www.bahamas.gov.bs/wps/wcm/connect/e8d4a940-99bf-4bc7-9cb0-c777e420ccaf/Plastic+Ban+Countries.pdf?MOD=AJPERES
40. “Nevis Government to Ban Disposable Plastics - The St Kitts Nevis Observer,” accessed September 19, 2018, http://www.thestkittsnevisobserver.com/local-news/nevis-government-ban-
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44. Government of Australia. 2018. Assessment of the voluntary phase out of microbeads.
49. Ibid.
51. UNEP. The Ocean Conference for implementation of Sustainable Development Goal 14
53. Ibid.
54. FEBEA
55. UNEP. The Ocean Conference for implementation of Sustainable Development Goal 14
57. UNEP. The Ocean Conference for implementation of Sustainable Development Goal 14
59. Ibid.
60. UNEP. The Ocean Conference for implementation of Sustainable Development Goal 14
61. Ibid
62. House of Representatives of the States General 2 Meeting year. October 2014.
66. Ibid.
68. UNEP. The Ocean Conference for implementation of Sustainable Development Goal 14
70. Ibid.
77. ibid
81. Colgate-Palmolive. Core Values. Our Policy on Ingredient Safety: Earning Your Confidence for Generations, Every Day.
82. Johnson and Johnson Inc. Safety and Care Commitment. Microbeads.
86. Ibid.
112 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations
United Nations Environment Programme | 113
114 | Legal Limits on Single-Use Plastics and Microplastics:A Global Review of National Laws and Regulations