States implementing packaging EPR applications are determining the way to cost producers the required charges. Oregon is the one one to this point that’s utilizing a typical however typically contentious software: life cycle assessments.
In response to draft implementation plans, these protocols for assessing the “cradle to grave” results of a product may assist resolve how a lot the 25 largest producers within the state pay into the EPR program. LCAs may even function a means for all manufacturers to pursue a reduction on their charges via a course of often known as ecomodulation.
The Oregon Division of Environmental High quality thinks that this method might assist it transcend simply shifting recycling prices onto manufacturers and likewise encourage higher utilization of packaging that has a comparatively decrease environmental influence.
Some individuals assume LCAs are the form of report that corporations or commerce teams solely launch when the outcomes align with their very own pursuits. In Oregon, the filings will typically be necessary and the company has specific protocols for corporations to comply with.
However the final effectiveness of LCAs, consultants say, is dependent upon how massive an affect the analyses have in decision-making and whether or not they embody all of the components that actually matter.
On the subject of how effectively this methodology gauges packaging environmental hurt, “I feel it’s completely truthful recreation and needs to be thought deeply about and criticized,” mentioned Shelie Miller, a sustainability scientist on the College of Michigan. “LCA is flawed, however it’s additionally the most effective we bought.”
The position of LCAs
EPR programs have been lively within the U.S. for numerous merchandise for many years, however are newer for packaging. As coverage advisors have identified, governments can craft the applications to form broader administration outcomes, like a lower in the sheer quantity of supplies produced.
5 states have handed laws creating EPR applications for packaging particularly. The legal guidelines require a producer duty group, or PRO, to cost producers charges associated to the design and kind of supplies produced and the way they’re disposed of.
The Oregon EPR program incentivizes producers to scale back the environmental hurt of the packaging they supply. LCAs are an important a part of how this system plans to succeed in this purpose.
First developed for Coca-Cola merchandise within the late Nineteen Sixties, life cycle assessments — and their intentions — have developed over time. The research goal to take a look at the environmental implications of a product from its uncooked materials assortment to its closing vacation spot, whether or not that’s a landfill, a compost pile, or the depths of the ocean. Creating an LCA requires pulling information and quantifying the water consumption, ozone depletion, air pollution and different harms of a given product.
When the Oregon system begins shaping recycling in July 2025, LCAs will peek via in a couple of locations, encouraging particular company choices.
How a lot cash an organization owes into the EPR system is dependent upon what sorts of packaging materials they use and what number of tons of it are used within the state. The highest 25 producers are required to create LCAs for 1% of their merchandise bought or distributed within the state each two years, whereas smaller corporations can voluntarily submit LCAs in the event that they wish to earn a discount on the payment they owe. Each sorts of corporations might earn a reduction in the event that they choose to take their LCAs a step additional and use them to show they’ve decreased the environmental influence of a product.
Providing decrease charges for extra environmentally pleasant merchandise is typically known as ecomodulation. The Oregon DEQ gave the PRO 5 components it needed to consider when deciding the way to shift fee, together with LCA consideration. Whereas these instruments are supposed to inform, none are required to truly be a part of how charges are in the end set.
“We really feel that among the many 5 components there within the statute, that is the one that almost all solidly correlates to precise adjustment in environmental impacts,” mentioned Nicole Portley, a program plan lead on the Oregon Division of Environmental High quality.
These guidelines had been adopted in late November. In early December, the Round Motion Alliance, the PRO for Oregon, submitted its third proposed implementation plan. The Oregon DEQ has but to approve the plan and feedback are open till Jan. 17.
No firm in Oregon is required to show via an LCA that they meet sure environmental benchmarks. Nonetheless, the Oregon DEQ thinks that finishing an LCA and making it public can have environmental advantages, because of the results of a research the company commissioned a few decade in the past. “Simply the straightforward act of a producer evaluating and disclosing correlates to motion to scale back impacts,” mentioned Portley.
Different researchers additionally see worth within the train itself. “It’s typically mentioned in my analysis neighborhood that the true worth of the LCA is doing it,” mentioned Reid Lifset, a analysis scholar on the Yale Faculty of the Surroundings.
Whereas definitive information isn’t out there on what number of LCAs are executed general, or who’s funding the analysis, it’s frequent to see them carried out by commerce teams and packaging corporations.
Proponents say that requiring a company to systematically collect additional details about how their merchandise are manufactured might push corporations to think about the implications of how and what they supply, make and waste. If the purpose of an EPR program is to scale back how a lot environmental hurt packaging creates, then an LCA may higher serve that mission than a program judging selections primarily based on whether or not they result in disposal or not.
On the identical time, Lifset mentioned, he’s skeptical that the outcomes of an LCA itself — a numerical rating — needs to be the idea for any EPR program. Becoming each related element into the evaluation is just too massive an ask. Lifset mentioned that particulars resembling social penalties from guaranteeing kinds of packaging may gain advantage from their very own unbiased evaluations.
“I am unsure that we wish one monster software to deal with all of our considerations,” he mentioned.

Oregon legislators handed the Plastic Air pollution and Recycling Modernization Act in 2021, resulting in years of implementation efforts.
The plastics issue
LCAs have additionally sparked debate for different causes lately, significantly with regards to analyzing plastics.
Anja Brandon, the director of plastics coverage on the Ocean Conservancy, thinks LCAs miss essential components about the advantages or penalties of a given packaging sort.
For plastic, LCAs typically don’t handle well being repercussions for communities close to refineries and manufacturing crops or the broader implications of additional justifying fossil gas extraction. The identical may be mentioned for microplastic unfold, PFAS contamination, “or any variety of different kinds of issues that we wrestle to include as a result of we wrestle to measure them to start with,” Brandon mentioned.
However LCA outcomes that target emissions can turn into the deciding think about what packaging is promoted, Brandon provides, sometimes within the plastic trade.
A 2024 evaluation of over 130 LCAs centered on packaging choices, a few of which had been commissioned by corporations or teams, exhibits that the findings tended to favor plastic choices. Run by Anibal Bher and Rafael Auras at Michigan State College’s Faculty of Packaging, the evaluation discovered that 92% of the LCAs reported emissions related to totally different bundle choices and that these greenhouse gasoline values had been decrease for plastic bottles and cartons than glass variations or cans.
The protocols for Oregon producers incomes a payment discount by displaying improved efficiency state that local weather impacts are weighted extra closely in an LCA rating than mineral and metallic use, plastic hurt to wildlife, or how the fabric impacts nutrient-dumping in water. Manufacturers additionally need to report scores for toxicity to people and the atmosphere, however share these outcomes unbiased from the LCA worth.
The Oregon DEQ is aware of that there are different impacts of concern — and ones with paltry information describing how they affect the atmosphere. A part of its LCA protocol refers to modules from organizations continuously updating the easiest way to evaluate sure questions as a means to deal with the ever-changing science
MariLCA, or Marine Impacts in LCA, is one in all these modules. A mixture of teachers, nonprofits and trade teams, funded by the Life Cycle Initiative and Plastics Europe, is constructing out a extra sturdy means for LCAs to include the hurt plastic litter has on organisms, ecosystems and human well being. On the subject of aquatic life, for instance, some concerns embody plastic entanglement or ingestion.
Anne-Marie Boulay, a chemical engineer at Polytechnique Montréal who’s co-chairing MariLCA, first organized an identical initiative masking water use, a now-common life cycle influence issue that was once overlooked of analyses. Plastic unfold via the atmosphere is one more lacking piece that would go away individuals conducting LCAs with a deceptive conclusion, she mentioned.
“If the emissions of plastic litter into the atmosphere isn’t included in that methodology, then most questions relating to packaging couldn’t be correctly answered,” Boulay mentioned. “How do we all know if this isn’t really worsening one other drawback or transferring the issue some other place, when we do not have the total image?”
Some MariLCA collaborators analysis how totally different plastic varieties, shapes and fragment sizes behave in freshwater, saltwater, or soil. Others like Boulay take the array of accessible research to construct characterization components, the a part of an LCA that interprets scientific understanding right into a measurable sense of environmental influence.
MariLCA affords a couple of methods to make the conversion. One methodology interprets the science into the proportion of species probably affected by a given plastic per 12 months. Proper now, MariLCA solely affords steering on calculating marine system influence. As extra information rolls in, MariLCA will revise its software. Boulay and her colleagues are already drafting the second replace, which she anticipates being printed later in 2025.
Even when LCAs develop extra complete and embody considerations like hurt to wildlife, Brandon would moderately see states take a distinct method than Oregon.
As an alternative of setting charges or incentives primarily based on LCA outcomes, Brandon would like EPR applications work backwards from the recycling system they want. If the purpose is to maximise reuse, have easy-to-operate recycling programs, and cut back plastic packaging — that are the form of EPR program objectives the Ocean Conservancy wish to see — then coverage may be crafted to assist these adjustments.
Different states are taking this method. In California, for instance, the regulation for the EPR program requires the quantity of single-use plastic packaging and meals service ware bought within the state to drop a minimum of 25% come 2032. All of these items need to be recyclable that very same 12 months — and 65% have to truly make it via the recycling system.
The draft implementation plans have the PRO decide what producers owe relying on the quantity and weight of plastic supplies they’ve within the state. The PRO can be anticipated to present reductions to producers utilizing plastics which might be derived of “renewables,” or supplies “wholly derived from pure sources that aren’t of mineral or fossil gas origin, with out ensuing within the web depletion of any of the sources.”
The California program doesn’t ask producers to provide life cycle assessments. Whether or not they do is as much as them, in response to CalRecycle.
“The regulation does incentivize producers to think about the lifecycle of a product by guaranteeing producers pay for the prices related to end-of-life administration. Merchandise which might be tougher to reuse and recycle will bear the next value below the EPR program,” wrote Patrick Coyne, an data officer, over e mail. “Producers might want to contemplate the lifecycle of a product, together with a product’s design for straightforward recycling, composting, or reuse, and the product’s recycling price.”
Shane Buckingham, the EPR program planning lead for Round Motion Alliance, which is the PRO for the Oregon and California applications, wrote over e mail that “CAA doesn’t presently plan to introduce the usage of LCAs in states the place it’s not a part of the EPR laws or rules.”

Staff type recyclables, together with a number of kinds of plastic, at Far West Recycling on Oct. 30, 2017, in Hillsboro, Oregon.
Natalie Behring through Getty Photos
Future questions
If a bunch of producers select to — or in Oregon’s case, need to — submit LCAs as a result of a regulation, evaluating one firm’s evaluation to a different can get difficult.
“The actual concern is available in once we attempt to use LCA for laws and lawmaking,” mentioned College of Michigan’s Miller. “How will we really guarantee that particular person LCA practitioners are doing the identical factor in the identical means and accounting for issues on a constant foundation?”
The Oregon EPR program spells out some LCA protocols for producers. Your entire course of is constructed on the pointers printed by the requirements group ISO, a selection many however not all LCA practitioners make, too. The Oregon DEQ added further specs to maintain manufacturers working with as most of the identical inputs as doable.
However each group of LCAs evaluating related merchandise to 1 one other runs up in opposition to the identical conundrum, Miller mentioned. Both everybody can use the identical baseline information — an trade common or perhaps a quantity pulled from a single research — and agree that none of it’s the excellent match for their very own operations. Or, they’ll use site-specific data for a extra correct LCA however make it tougher to match outcomes.
One instance of those trade-offs has come up typically in Miller’s work and conversations with different LCA practitioners. LCAs U.S. manufacturing embody vitality use information, particularly how a lot carbon dioxide is emitted per kilowatt hour of energy. There’s a nationwide common everybody can use, however amenities in states with lower-than-typical values like California or Vermont may push again.
“If my plant is positioned someplace that’s lower than the U.S. common, that signifies that you are penalizing the research that comes out about my explicit plant,” Miller mentioned. There’s nobody proper resolution to make about these trade-offs, however they’re inevitable, she added.
The Oregon DEQ desires data in model LCAs to be as particular as doable to the present manufacturing procedures the businesses use for items that may find yourself in Oregonians’ palms.
“The producers are compelled to symbolize their particular product and provide chain to the best extent doable, and with major information first,” mentioned Peter Canepa, an LCA specialist on the Oregon DEQ.
Even when the necessities make it tougher to match one firm’s outcomes to a different’s, the site-specific data serves one other DEQ purpose to make extra details about manufacturing practices out there. Avoid wasting proprietary particulars, the LCAs and what goes into them need to be made public, Canepa added. The primary necessary studies shall be printed in 2026.
Extra details about how packaging is made and its final destiny may very well be helpful to authorities employees, coverage researchers and activist teams, Yale’s Lifset mentioned. Through the years, all the data popping out of the Oregon LCAs might present the myriad of how manufacturing protocols is perhaps modified to scale back emissions, improve recyclability, or drop the quantity of fabric used.
The LCAs produced for Oregon’s EPR program will add to a protracted checklist of present assessments that Miller mentioned is already ripe for its personal sort of research.
Sufficient LCAs have examined related merchandise and programs that it’s doable to step again and see which of them agree or disagree with one another. Although there’ll at all times be variations in professionals or cons of a given bundle relying on the place it was made and what it consists of, one dependable methodology for lowering any form of environmental hurt stays fixed, Miller mentioned.
“The one approach to assure no trade-offs is to scale back the quantity you devour.”
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