UPM-Kymmene Oyj

UPM · Companies & groups · FI

Kategorija
Companies & groups
Būstinė
Helsinki FI
Registruota
2013-09-13
Deklaruotos metinės išlaidos
100 000–199 999 € (pačios deklaruota)
Svetainė
http://www.upm.com
Skaidrumo registras
861194311863-31 ↗
Susitikimai su EK
Pateiktos pozicijos
Pozicijos dokumentai
0
Paminėjimai spaudoje
Sumą deklaruoja pati organizacija Skaidrumo registre; institucijos jos netikrina.

Susitikimai pagal metus

2015120211220221020243202517202615

Šaltinis: Europos Komisijos skelbiami susitikimai, sutapatinti pagal skaidrumo registro numerį. n = 58 susitikimų; x — metai pagal susitikimo datą, y — susitikimų skaičius.

Susitikimai su Europos Komisija

Skelbiami tik susitikimai su Komisijos nariais, jų kabinetais ir generaliniais direktoriais. Susitikimai žemesniu lygiu ir daugelis kontaktų Parlamente bei Taryboje į registrą nepatenka.
DataPriėmėTema
2026-06-09Cabinet of Executive Vice-President Teresa Ribera RodríguezPost-2030 climate policy package; role of forest industry in EU’s climate, energy, and competitiveness objectives
2026-06-09Cabinet of Executive Vice-President Teresa Ribera RodríguezPost-2030 climate policy package; role of forest industry in EU’s climate, energy, and competitiveness objectives
2026-06-09Cabinet of Executive Vice-President Teresa Ribera RodríguezPost-2030 climate policy package; role of forest industry in EU’s climate, energy, and competitiveness objectives
2026-06-09Cabinet of Executive Vice-President Teresa Ribera RodríguezPost-2030 climate policy package; role of forest industry in EU’s climate, energy, and competitiveness objectives
2026-06-09Cabinet of Executive Vice-President Teresa Ribera RodríguezPost-2030 climate policy package; role of forest industry in EU’s climate, energy, and competitiveness objectives
2026-05-21EnvironmentPolicy interventions on bioplastics.
2026-05-21EnvironmentPolicy interventions on bioplastics.
2026-05-21EnvironmentPolicy interventions on bioplastics.
2026-05-21EnvironmentPolicy interventions on bioplastics.
2026-05-13Cabinet of Executive Vice-President Henna VirkkunenEU Emissions Trading System (ETS)
2026-05-13Cabinet of Executive Vice-President Henna VirkkunenEU Emissions Trading System (ETS)
2026-05-13Cabinet of Executive Vice-President Henna VirkkunenEU Emissions Trading System (ETS)
2026-05-13Cabinet of Executive Vice-President Henna VirkkunenEU Emissions Trading System (ETS)
2026-03-04Cabinet of Executive Vice-President Stéphane SéjournéBioeconomy, Industrial policy, Biotech Act 2
2026-03-04Cabinet of Executive Vice-President Stéphane SéjournéBioeconomy, Industrial policy, Biotech Act 2
2025-11-27Cabinet of Commissioner Dan JørgensenHigh-level roundtable: Electrification of Energy-Intensive Industry
2025-11-27Cabinet of Commissioner Dan JørgensenHigh-level roundtable: Electrification of Energy-Intensive Industry
2025-11-12EnvironmentExchange of views on EU Bioeconomy Strategy
2025-11-06Cabinet of Commissioner Dan JørgensenDecarbonisation and maintaining global competitiveness
2025-11-06Cabinet of Commissioner Dan JørgensenDecarbonisation and maintaining global competitiveness
2025-11-04Cabinet of Commissioner Jessika RoswallCircular Economy
2025-11-04Research and InnovationExchange of view on the upcoming new Bioeconomy Strategy and links to industrial policy
2025-10-16Cabinet of Executive Vice-President Stéphane SéjournéUPM’s role in advancing the EU’s bioeconomy and the policy framework supporting bio-based industries
2025-10-16Cabinet of Executive Vice-President Stéphane SéjournéUPM’s role in advancing the EU’s bioeconomy and the policy framework supporting bio-based industries
2025-05-21Research and InnovationExchange of views on the new EU Bioeconomy Strategy and on UPM’s role and perspective as a key industrial actor in the bio-based sector.
2025-05-21Research and InnovationExchange of views on the new EU Bioeconomy Strategy and on UPM’s role and perspective as a key industrial actor in the bio-based sector.
2025-05-21EnvironmentExchange of views on Bioeconomy Strategy
2025-05-20Cabinet of Commissioner Christophe HansenForestry, EU bioeconomy strategy, improvement of the EU competitiveness while reaching the climate goals, and how the industry best can contribute to this work
2025-05-20Cabinet of Commissioner Christophe HansenForestry, EU bioeconomy strategy, improvement of the EU competitiveness while reaching the climate goals, and how the industry best can contribute to this work
2025-05-19Internal Market, Industry, Entrepreneurship and SMEsMeeting with EVP Mr Harald Dialer & UPM Senior Management on EU Bioeconomy Strategy
2025-05-19Internal Market, Industry, Entrepreneurship and SMEsMeeting with EVP Mr Harald Dialer & UPM Senior Management on EU Bioeconomy Strategy
2025-05-14EnvironmentEU Policies relevant for Forests
2024-03-04Cabinet of Executive Vice-President Margrethe VestagerEU Biotech and Biomanufacturing Initiative
2024-03-04Cabinet of Executive Vice-President Margrethe VestagerEU Biotech and Biomanufacturing Initiative
2024-01-31Cabinet of Commissioner Jutta UrpilainenBio- and circular economy
2022-12-09Cabinet of Commissioner Mairead McguinnessImports of Birch plywood of Russian origin to the EU market
2022-12-09Cabinet of Commissioner Mairead McguinnessImports of Birch plywood of Russian origin to the EU market
2022-12-09Cabinet of Commissioner Mairead McguinnessImports of Birch plywood of Russian origin to the EU market
2022-11-09Cabinet of Commissioner Jutta UrpilainenPackaging, waste regulation.
2022-11-09Cabinet of Commissioner Jutta UrpilainenPackaging, waste regulation.
2022-11-09Cabinet of Commissioner Jutta UrpilainenPackaging, waste regulation.
2022-10-05Cabinet of Commissioner Mairead McguinnessEnergy market initiatives
2022-06-27Cabinet of Executive Vice-President Frans TimmermansEU transition to a circular economy; fibre based packaging
2022-06-27Cabinet of Executive Vice-President Frans TimmermansEU transition to a circular economy; fibre based packaging
2022-06-27Cabinet of Executive Vice-President Frans TimmermansEU transition to a circular economy; fibre based packaging
2021-11-23Cabinet of Executive Vice-President Valdis DombrovskisEU paper industry views on the Green Deal strategy and industry’s vision for 2030
2021-11-23Cabinet of Executive Vice-President Valdis DombrovskisEU paper industry views on the Green Deal strategy and industry’s vision for 2030
2021-11-23Cabinet of Executive Vice-President Valdis DombrovskisEU paper industry views on the Green Deal strategy and industry’s vision for 2030
2021-06-10Cabinet of Commissioner Thierry BretonRoundtable of the Clean Hydrogen Alliance: 3rd meeting of the co-chairs
2021-06-10Cabinet of Commissioner Thierry BretonRoundtable of the Clean Hydrogen Alliance: 3rd meeting of the co-chairs
2021-06-10Cabinet of Commissioner Thierry BretonRoundtable of the Clean Hydrogen Alliance: 3rd meeting of the co-chairs
2021-06-10Cabinet of Commissioner Thierry BretonRoundtable of the Clean Hydrogen Alliance: 3rd meeting of the co-chairs
2021-06-10Cabinet of Commissioner Thierry BretonRoundtable of the Clean Hydrogen Alliance: 3rd meeting of the co-chairs
2021-06-03Cabinet of Executive Vice-President Frans TimmermansStudy on the role of hydrogen in the decarbonisation of steel sector
2021-06-03Cabinet of Executive Vice-President Frans TimmermansStudy on the role of hydrogen in the decarbonisation of steel sector
2021-05-18Cabinet of Commissioner Thierry BretonClean Hydrogen alliance; fit for 55 package
2021-05-18Cabinet of Commissioner Thierry BretonClean Hydrogen alliance; fit for 55 package
2015-02-25EnergyBiofuels

Ką pateikė viešoms konsultacijoms

2026-09-01 · Sustainability criteria for plastic recycling technologies ↗ originalus šaltinis
UPM supports sustainability criteria that are technology-neutral and outcome-based. Recycling technologies should be assessed based on their demonstrated environmental and circularity performance rather than on the technology used. Sustainability criteria should consider, where relevant: greenhouse gas performance, energy demand, resource efficiency, material recovery, output quality, substitution of virgin materials and virgin fossil resources, and contribution to circularity objectives. The framework should recognise that different recycling technologies may play complementary roles for different waste streams. In particular, sustainability criteria should recognise the contribution of…
2023-03-02 · Review of the requirements for packaging and feasibility of measures to prevent packaging waste ↗ originalus šaltinis
UPM is one of the leading producers of sustainable packaging materials in the EU. Our renewable raw materials - pulp, wood-based naphtha and renewable mono ethylene glycol (MEG) are used to produce recyclable fibre-based packaging and renewable plastics. Food and a myriad of consumer goods are packed safely in UPMs flexible paper packaging materials. We also create high-performing labelling materials for branding and promotion as well as informational labels and labels with functionality. Packaging and Packaging Waste Regulation (PPWR) proposal is a step into the right direction to boost circular economy in Europe and to tackle the alarmingly fast growth of packaging waste globally. With…

Ką rašo savo pozicijos dokumentuose

Ištraukos iš organizacijos pačios įkeltų dokumentų, be trumpinimų ir perpasakojimų.
Review of the requirements for packaging and feasibility of measures to prevent packaging waste · 2 p.

UPM-Kymmene Corporation Tel. +358204 15 111 Domicile Helsinki Fax +358204 15 110 Business identity code 1041090-0 Alvar Aallon katu 1 www.upm.com PO Box 380 VAT No FI10410900 FI-00101 Helsinki Finland 1 (2) 2 March 2023 UPM position on Commission proposal for a Packaging and Packaging Waste Regulation UPM is one of the leading producers of sustainable packaging materials in the EU. Our renewable raw materials - pulp, wood-based naphtha and renewable mono ethylene glycol (MEG) – are used to produce recyclable fibre-based packaging and renewable plastics. Food and a myriad of consumer goods are packed safely in UPM’s flexible paper packaging materials. We also create high-performing labelling materials for branding and promotion as well as informational labels and labels with functionality.

…labelling materials for branding and promotion as well as informational labels and labels with functionality. Packaging and Packaging Waste Regulation (PPWR) proposal is a step into the right direction to boost circular economy in Europe and to tackle the alarmingly fast growth of packaging waste globally. With some amendments, PPWR can create opportunities for the European forerunners in the field of sustainable packaging materials. Positive elements in the proposal The proposal aims to harmonise the differing requirements set for packaging in Europe and limit the possibilities of Member States to make their own regulatory demands e.g. in recycling or labelling. This is an extremely positive development and will simplify the operating environment of companies selling their goods in multiple European markets.

…development and will simplify the operating environment of companies selling their goods in multiple European markets. Currently, an increasing number of EU Member States are setting different over-lapping national requirements which increases administrative costs and weakens the internal market. We strongly support the proposal’s approach to demand all packaging to be recyclable. Materials need to be recovered as much as possible from all packaging materials and types, including also reusable packaging. UPM welcomes the proposal’s demand for separate collection of all packaging waste. Separate collection is the key to greatly increase recycling rates of all packaging materials and the quality of recyclate. Today, the greatest barrier to increase paper and board recycling rates is the divergence among collection systems for paper and board at source.

…to increase paper and board recycling rates is the divergence among collection systems for paper and board at source. Paper and board should be collected separately from residual waste as well as from other recyclables such as plastic, metal or glass. Commission’s decision to propose Design for Recycling guidelines instead of detailed restrictions and bans of packaging characteristics gives possibilities for European companies to develop innovative and sustainable packaging also in the future. Innovation potential must not be hindered by dictating technical solutions in regulation. It is crucial to find a cooperative method, which would guarantee the strong participation of the industry in the preparation of the delegated acts. CEN should be commissioned to work on standards related to recyclability and recycling at scale.

…of the delegated acts. CEN should be commissioned to work on standards related to recyclability and recycling at scale. Industry’s efforts to boost recycling rates of different materials (like in 4evergreen project for fibre-based packaging) would provide an already well-developed basis for developing Design for Recycling guidelines. Ref. Ares(2023)1524956 - 02/03/2023 2 (2) How could the proposal be made better during the EU legislative process? UPM proposes that recycled content is required only from packaging consisting predominantly of plastics to make the requirement effective and possible to implement. By far most of the plastic in packaging is used in packaging made entirely of plastic.

…and possible to implement. By far most of the plastic in packaging is used in packaging made entirely of plastic. Extending the scope of mandatory recycled content to all plastic parts in all packaging doesn’t significantly boost the market demand of recycled plastic but would create unnecessary bureaucracy, technical problems, and unnecessary costs for the whole packaging value-chain. In fibre-based packaging, plastics are used especially in food contact to form a protective barrier against moisture and fat. Barriers form a very small part of the whole packaging but have a central function in food safety and hygiene. Adding recycled plastic to the protective coating is technically very difficult, if not impossible, and would require a lot of recycled plastic from highly energy-consuming chemical recycling.

…if not impossible, and would require a lot of recycled plastic from highly energy-consuming chemical recycling. Bio-based content should be considered as an equivalent option to comply with recycled content requirements in plastics. Bioplastics made of sustainable biomass are already available. These materials are chemically identical to their fossil counterparts, and they allow setting higher recycled or biobased content targets in all categories including contact sensitive packaging. As chemical recycling of plastics is still in its early stage, reducing use of fossil materials in contact sensitive plastic packaging would be significantly speeded up by allowing both recycled and biobased be included in the targets. Re-use and recycling are complementary solutions to achieve circularity. Therefore, recycling should have an equal position in legislation with reuse.

…solutions to achieve circularity. Therefore, recycling should have an equal position in legislation with reuse. Packaging achieving 90% recycling rate by 2030 should be exempted from the reuse obligation. Proposed re-use targets must be re-evaluated based on independent science-based proof to assess whether re-use is a feasible solution in each use case. Recyclable single-use packaging is still the most feasible and environmentally sound solution in many applications, such as industry’s transport packaging. Industry has invested more and more in new technologies and achieved very high recycling rate (> 80%) of paper and cardboard packaging in the EU. If adopted, the reuse targets provided in the Commission proposal will disrupt the highly performant recycling system that the paper and board industry has invested in and committed to further improve.

…highly performant recycling system that the paper and board industry has invested in and committed to further improve. Together with the entire value chain, fibre-based packaging industry has voluntarily set a 90% recycling target by 2030.

originalus šaltinis (PDF) ↗

Kokias ES temas nurodo sekanti

Mainly regulatory processes around the Clean Industrial Deal, Circular Economy and Bioeconomy: trade, water, product policy, energy, climate change, transport, innovations and biochemicals and biofuels.