ORLEN S.A. · Companies & groups · PL
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EU REGULATIONS AND INTERNATIONAL AFFAIRS DEPARTMENT INTERNATIONAL REGULATIONS OFFICE 1 Warsaw, January 8th 2026 ORLEN’S POSITION ON DRAFT DELEGATED ACT ON THE REUSE OBLIGATION OF PALLET WRAPPINGS AND STRAPS
January 8th 2026 ORLEN’S POSITION ON DRAFT DELEGATED ACT ON THE REUSE OBLIGATION OF PALLET WRAPPINGS AND STRAPS 1. ORLEN GROUP ORLEN Group is an integrated, multi-utility corporation primarily active in Central Europe. We supply energy and fuel to over 100 million Europeans, and our advanced products are sold in over 100 countries across six continents. We are involved in upstream and downstream sectors, as well as in power generation and distribution. ORLEN Group is one of the biggest fertilizers and petrochemicals producer in CEE region. Central to ORLEN’s mission is the commitment to lead the regional energy transition. The company is dedicated to adopting innovative, clean, and sustainable technologies, focusing particularly on low- and zero-emission power generation. This forward-thinking approach is part of ORLEN's strategic goal to achieve emission neutrality by the year 2050. 2.
This forward-thinking approach is part of ORLEN's strategic goal to achieve emission neutrality by the year 2050. 2. ORLEN’S POSITION ON DELEGATED ACT PROPOSAL On 10 December 2025, the European Commission published for public consultation a draft delegated decision under the Packaging and Packaging Waste Regulation („PPWR“) concerning reuse obligations for certain transport packaging formats, specifically pallet wrappings and straps. Article 29 of the PPWR, in its current wording, imposes extremely excessive requirements on the reuse of transport or commercial packaging on entities that use them. Under Article 29(2) and (3), undertakings operating within a single Member State or between affiliated undertakings within the European Union are required to ensure that, by 2030, 100% of such packaging is reusable within a reuse system.
…the European Union are required to ensure that, by 2030, 100% of such packaging is reusable within a reuse system. The draft delegated decision proposes to exempt these packaging formats from reuse obligations laid down in Article 29(2) and (3) of the PPWR, which is a step in right direction. ORLEN’s position is submitted in the context of mentioned public consultation. Its purpose is to address the continued inclusion of pallet wrappings and straps within the scope of reuse targets under Article 29(1) and to explain why, in light of technical, operational, and legal considerations, these packaging formats must be fully excluded from all reuse targets under Article 29 and not only from the 100 % reuse obligations.
…formats must be fully excluded from all reuse targets under Article 29 and not only from the 100 % reuse obligations. Currently, in accordance with Article 29(1), where operators trade in goods within the Union, they must ensure that, from 1 January 2030, at least 40% of packaging is reusable within a reuse system, and from 2040, this percentage should increase to 70%. The following considerations set out key reasons supporting ORLEN‘s position. Ref. Ares(2026)212035 - 09/01/2026 EU REGULATIONS AND INTERNATIONAL AFFAIRS DEPARTMENT INTERNATIONAL REGULATIONS OFFICE 2 Firstly, there are no viable alternatives to plastic pallet packaging on the market. Such packaging is light and has exceptional technical properties: it ensures maximum safety, load stability and protection against rain and sun, as well as exceptional adaptability to all formats.
…maximum safety, load stability and protection against rain and sun, as well as exceptional adaptability to all formats. At the same time, enforcing the requirements from Art. 29 would cause serious disruptions in supply chains and force the use of inefficient solutions. Especially since, unlike the current optimised, efficient and flexible single-use packaging, reusable pallet packaging is unlikely to be available on an industrial scale before 2030. This conclusion follows directly from the findings assessed in the Deloitte study1, which identifies the absence of mature automated solutions, significant operational efficiency losses, safety and handling constraints and unresolved logistical challenges. Secondly, the urgent implementation of such solutions would be extremely costly.
…and unresolved logistical challenges. Secondly, the urgent implementation of such solutions would be extremely costly. According to the Belgian consulting agency RDC Environment2, efforts to implement the provisions of Article 29(1)- (3) for pallet packaging would result in additional annual expenses of approximately EUR 5 bln for eight sectors (agricultural, dairy, water, glass, cement, construction, retail, plastics), resulting from the need to incur mentioned increased logistics and cleaning costs, as well as the need to operate two parallel systems (single-use pallet packaging and reusable packaging). Two systems are needed as for now reusable packaging relies on manual application. This leads to significantly lower throughput compared to automated single-use systems, increased labour requirements and higher operational complexity.
…compared to automated single-use systems, increased labour requirements and higher operational complexity. Any partial obligation still requires parallel operation of automated single- use lines and manual reuse processes, duplicated infrastructure and higher organisational and operational burdens. Strict requirements in light of lack of automated reuse solutions lead to loss of operational efficiency. Automated single-use wrapping systems achieve substantially higher pallet throughput than manually applied reuse solutions. Introducing reuse at any meaningful scale results in reduced line efficiency, increased handling time and higher dependence on manual labour.
…meaningful scale results in reduced line efficiency, increased handling time and higher dependence on manual labour. As reuse systems require the return of packaging components through reverse logistics, it entails additional transport movements, increased handling and storage requirements, tracking and sorting of reusable items and cross-border return flows within the EU market. Such logistics systems must exist even under partial reuse targets and must operate across Member States, adding additional costs for running business. As a consequence, it could lead to a reduction in the export competitiveness of EU companies, as exporters from third countries would not be required to bear such costs, and it would also weaken the internal market, as EU companies would be forced to operate within parallel systems.
…and it would also weaken the internal market, as EU companies would be forced to operate within parallel systems. The obligations regarding the reuse of packaging will therefore result in significant economic burden for EU companies. Thirdly, the Deloitte study underlines low recycling rate for stretch films and straps due to factors such as contamination, collection inefficiencies and sorting challenges.
…for stretch films and straps due to factors such as contamination, collection inefficiencies and sorting challenges. Furthermore, research conducted by the German Institute for Energy and Environmental Research (Institut für Energie- und 1Study on exclusion of plastic pallet wrappings and straps from the 100 % reuse obligations of transport packaging in the Packaging and Packaging Waste Regulation (PPWR) 2Economic impact on switching to reusable options for pallet wrapping EU REGULATIONS AND INTERNATIONAL AFFAIRS DEPARTMENT INTERNATIONAL REGULATIONS OFFICE 3 Umweltforschung)3, states that disposable plastic packaging has lower negative impact on the environment than reusable packaging, the production of which is associated with an increase in greenhouse gas emissions of between 35% and 1700%.
…packaging, the production of which is associated with an increase in greenhouse gas emissions of between 35% and 1700%. Reusable pallet packaging requires the use of heavier and less flexible products, which leads to less optimal use and results in a poorer environmental footprint. As a consequence, transport costs increase, fuel consumption and emissions increase and logistics efficiency decreases. These impacts apply proportionally to any level of reuse and are not limited to a 100% scenario. In this context, mandating reuse for packaging formats does not address the primary environmental bottleneck. Targeted measures to improve collection, sorting, and recycling rates would deliver more reliable environmental benefits than imposing reuse requirements that cannot be implemented without significant negative impacts.
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