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The Dual Obligation of EPR and Environmental Product Charge Has Been Abolished, EPR Penalty Rates Have Been Introduced

Hungary
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Following the year-end legislative news, several changes affecting so-called "green taxes" came into force at the beginning of 2025. The most significant of these is the effective abolition of the dual obligations of the Extended Producer Responsibility (EPR) and the Environmental Product Charges (EPC), except for plastic carrier bags, and the introduction of the EPR penalty rates that have been expected since the introduction of the EPR. At the same time, there are also many changes to the EPR rules.

The amendment aims to reduce the double administrative burden for the obligated parties.

From 1 January 2025, the dual obligation of the EPR and the Environmental Product Charge (EPC) on the packaging, electrical and electronic equipment, batteries, tyres, office stationery, and promotional paper will be abolished. Since the introduction of the EPR, the product charge obligation for these product streams consisted only of administrative tasks and did not constitute a payment obligation, as the introduction of the EPR made the amount of the EPR charge for the relevant product or material stream deductible from the product charge. Although the amendment has not brought any significant financial benefits to companies, it has nevertheless relieved the businesses concerned of a significant administrative burden.

An important change is that from 1 January 2025, plastic carrier bags will be included in the product stream of other plastic products and will remain subject to the product charge as a single product subject to the EPR. A change from the draft was made to the level of the product charge payable on plastic carrier bags, with the deduction of the EPR charge from the product charge as the only product still covered by both pieces of legislation.

Significant uncertainty for businesses has been removed by the definition of the penalty rates for non-compliance with the EPR obligation in the Government Decree on Waste Management Fines, which will enter into force on 1 April 2025.

By Rozsa Rusvai-Darazs, Attorney at law, KCG Partners Law Firm

KCG Partners at a Glance

KCG Partners is a Hungarian business law firm providing a comprehensive range of legal services to international and local clients seeking local knowledge and global perspective. The firm comprises business-minded lawyers with sector-specific expertise, creating value for clients by applying a problem-solving approach and delivering innovative solutions.

The firm has a wealth of knowledge in corporate law, M&A, projects and construction, energy, real estate, tax, employment, litigation, privacy and forensics, securitization, estate planning and capital markets.

To address clients’ regional and international concerns, the firm maintains active working relationships with other outstanding independent law firms in Central and Eastern Europe, whilst senior counsel Mr. Blaise Pásztory brings over 40 years’ of US capital market and fund management experience.

KCG Partners Law Firm is the result of the teamwork of passionate and talented lawyers guided by the same principles and sharing the same values: 

  • Our most valuable asset is our people. They are the engine of our business and the key to our success.
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Firm's website: http://www.kcgpartners.com