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Pacific NW TPO Project

Pacific NW TPO Project. Background. Idea from Pilot Program experiences One central body could coordinate manufacturer input, participation Developed proposal through Northwest Product Stewardship Council EPA seed funding

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Pacific NW TPO Project

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  1. Pacific NW TPO Project

  2. Background • Idea from Pilot Program experiences • One central body could coordinate manufacturer input, participation • Developed proposal through Northwest Product Stewardship Council • EPA seed funding • Recruited manufacturers to fund and sit on Steering Committee to direct process • Kickoff announcement at EPA National Meeting • Official project start in May 2005

  3. Project Structure • Steering Committee • 8 contributing manufacturers only • Decide on project direction, final say on project recommendations • Support Team • NWPSC government reps, NCER, RBRC, consultants • Prepare documents, notes, tee up decision items for Steering Committee

  4. Conceptual Business Plan • Models the TPO directly, using a set of assumptions approved by Steering Committee • Allows for cost scenarios, collection volume projections, plans for resources needed • Sets specific goals, targets, and indicators for the TPO

  5. Major Assumptions • TPO is industry-led, non-profit entity • Works under state legislation • But conceived as serving multiple states – OR and WA • Funded via an ARF on retail sale/first sale into state • Covers all eligible sales, and funds all aspects of recycling infrastructure (collect, transport, recycle, education) – via single TPO • Product Scope: Desktops, laptops, TVs, monitors

  6. Major Findings • Startup costs needed before fee collection begins: $1.5 million • Total Costs first 4 years: $29 million • Fee per unit: • TV unit >19“ $6 • TV unit <19“ $3 • Desktop PC unit $2 • CRT/large LCD monitor $4 • LCD monitor unit <22“ $2 • Laptop unit $1 • Costs cover anticipated collection volumes of 1.35 lbs per capita Year One ramping up to 2.6 lbs per capita in Year Four

  7. Hybrid TPO Model • State-level: quasi-governmental E-Waste Commission • Created in legislation, members appointed by Governor (could be majority manufacturers, other stakeholders) • Sets ARF, collects from retailers/first sellers, enforces payment • Oversees program performance • Creates agreement with private TPO that runs collection/recycling system

  8. Hybrid TPO Model Cont’d • Multi-State: independent TPO, likely non-profit entity • Provides all collection, recycling, transportation services through agreements with one or more state E-Waste Commissions • Competitively contracts with multiple consolidation points • Contractors paid on per-lb basis, with a pass-through Collection Incentive Payment

  9. Why the Hybrid TPO Model? • Desire for true multi-state administration of recycling program to gain economies of scale • Special purpose state agency has more authority on fee collection than wholly private TPO • Avoid need for existing state agency to add fee collection and recycling program management to existing responsibilities

  10. Benefits of Hybrid TPO Model • Leaves control of funding at state level • Allows multi-state entity to realize operational, administrative, and scale efficiencies • Involves manufacturers in E-Waste Commission and/or independent TPO operations • Improve information flow in chain of commerce on product design characteristics, recycling challenges, communication with contracted recyclers

  11. Other Business Plan Highlights • Collection: free, convenient, at least one ongoing site in every town over 10,000 • Assumed 15 cents/lb, includes transport to consolidation center, 3 cent/lb more for distant areas • TPO contracts with consolidators who compete for local collection sites or provide collection directly

  12. Other Business Plan Highlights • Processing: estimates avg 24 cents/lb • Will be reduced over time through competitive contracting • Contract consolidators obligated to follow ESM standards and data reporting • Education: shared between TPO and local communities • Estimated $300k per year TPO costs

  13. What Resources Does the TPO Need? • Planning for TPO resource requirements • Key driver: expected volumes from residents, businesses, and institutions • Used existing programs as basis for increasing collection volume over 4 years • From projected Year 1 CA volume to Hennepin County current volume • 81% of TPO costs from collection, transport, recycling • $29M needed for four years, divided among covered product sales = $1- $6 per product

  14. Planning for Uncertainty • What if collection volumes are substantially higher? • E-Waste Commission would be authorized to adjust fees • Sequence plans for revenue collection to have cash reserve (i.e. fee collection begins before contractor payments due) • If collection volumes lower: TPO can adjust Collection Incentive Payment higher

  15. TPO Staffing • Strong contracting role, minimal operational responsibilities, therefore: • Executive Director • Contract Manager • Accounts Payable Manager • Communications Directors • Office Manager • Administrative Support

  16. TPO Viability Analysis • Performed to model scenarios where TPO has less than 100% participation • TPO not responsible for managing entire system or meeting entire collection goal • 1st Scenario – companies “opt-out” but TPO admin and education costs fixed • Impact: fixed costs 2% higher with 85% TPO participation, 10% higher at 50% participation

  17. TPO Viability Scenarios • 2nd Scenario – single state implementation • Impact: fixed admin costs 22 cents per household higher in WA, and 70 cents higher in OR / equals 3 cents/lb and 10 cents/lb of collected electronics, respectively • 3rd Scenario – Fewer economies of scale if TPO manages only 85% of system • Impact: Per unit costs for TVs $5.25 instead of $4.50, monitors $4 instead of $3.50

  18. Legal Questions with a TPO • Legal analysis performed for project on the following topics: • Anti-trust issues associated with manufacturer participation • Liability concerns for participating manufacturers • Need for Interstate Compacts • Types of prohibited speech for TPO • Legal precedents/constraints for TPO structure in WA and OR

  19. Legal Analyses Highlights • Antitrust Issues • State legislation would exempt TPO from antitrust • Need to prevent improper info disclosure through antitrust policy adoption • Avoid activities that would exclude competitors • Liability concerns • “Piercing” doctrine for corporations limits liability for any shareholder or member (i.e. manufacturer in TPO) • State legislation could also provide protection, but well managed program should have limited exposure • Federal Superfund exemption for “arranging for recycling of recyclable material”

  20. Legal Analyses Highlights Cont’d • Interstate Compacts • Congressional approval not necessary when it does not increase political power of states – could be possible to write E-Waste Commission Compact without Congressional action • Prohibited Speech • WA Apple Commission case where members were compelled to support objectionable speech • Conclusion: TPO needs government control or have limited advertising role to avoid 1st amendment challenges

  21. Legal Analyses Highlights Cont’d • Legal Issues: Gave law firm with 2 “strawmen” TPO models; quasi-government, and private • Research any legal constraints on models • Quasi-Government: Apple Commission model • WA/OR legislatures could assess tax or fee on sales/distribution to fund this “special-purpose state agency (SPSA)” • Unclear whether SPSA could assess fee on manufacturers/distributors – need justification that it compensates burden from their activities • Manufacturers could have input and control of Commission/SPSA, with government oversight • Multi-state Commission/SPSA unlikely, need Compact

  22. Legal Analyses Highlights Cont’d • WA/OR Legal Issues Cont’d: Private, Non Gov’t TPO • Ensuring universal funding participation problematic • Could be funded like Commission if existing state agency collects/enforces fee; TPO then contracts with agency OR • Require OEMs/distributor to join/fund private entity as condition of sale in state/s • If funded by fee/tax imposed by govt agency, industry cannot have control over level of fee/tax • Private org more flexible for multi-state operations, but need to ensure legislatures coordinate

  23. Incorporating Other Stakeholder Concerns • Parallel to NWTPO project, National Center for Electronics Recycling MSTPO committees formed • General stakeholders • Recyclers Committee • Separate due to contractual nature with potential TPO • Produced TPO Fact Sheet, Matrix of TPOs in existing/proposed programs, and survey on TPO preferences

  24. Stakeholder Feedback • Major concerns addressed by business plan, explanation in Appendix E • Sample Concerns/Preferences: • Strong desire for multi-state TPO • Need to see precedent issues resolved • Fear of monopolistic TPO, cuts out local actors • Criticism that TPO allows manufacturers to escape responsibility • Desire for transparency in TPO operations, contracting decisions (recyclers) • Preference for multiple TPOs (NGO, but not govt)

  25. Addressing Stakeholder Feedback • Government oversight role addresses most concerns • Others dealt with in provisions of legislation under which TPO operates • Other stakeholders assumed to be represented on TPO Board • Goals set to ensure manufacturers are engaged in recycling process, aware of design challenges • TPO leaves many infrastructure decisions at local level – contracts but does not direct

  26. Spreadsheet Model • Final report includes spreadsheet documenting all major cost/collection volume assumptions • Stakeholders can verify or provide feedback

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