New registration obligation for packaging in Spain

The Spanish packaging law obliges producers to register their packaging. Distributors from abroad must also register through an authorised representative if they sell packaged products in Spain.

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General Product Safety Regulation (EU) 2023/988 obliges
GPSR Risk Analysis Required

Mandatory for almost every product: According to the GPSR, producers must draw up technical documentation for the products they place on the market. The technical documentation must be based on an internal risk analysis.

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General Product Safety Regulation requires Responsible Person
EU Responsible Person Service for the GPSR and more

Since 16 July 2021, it is against the law to sell products with CE marking without a Responsible Person in the EU. In addition, a Responsible Person must also be specified in accordance with the General Product Safety Regulation (EU) 2023/988.

Personal EU Batteries Regulation Training
Ready for the new Batteries Regulation (EU) 2023/1542

Find out which obligations the EU Batteries Regulation places on you and how to deal with them in your specific case. Receive comprehensive information on how to implement your obligations with regard to labelling, battery passport, EPR and due diligence obligations in the supply chain.


WEEE – SMEs discuss aspirations and reality with political representatives

It is our sincere hope that this event only forms the prelude to a continued betterment of the circumstances for the implementation of the WEEE directive by retailers and SMEs

On October 10th over 100 small and medium sized producers, retailers and representatives of European take-back schemes for electrical and electronic devices met on Hohenkammer Castle to discuss the political aspirations and the real problems of the implementation of the WEEE directive with representatives of the European Commission and German Environmental Protection Agency in a constructive way. 

The fact that this event was fully booked by members of the VERE Association and customers of the take-e-way GmbH within short, shows how important this topic is, especially to SMEs.

The event concluded with the following results:

1. The future collection rates can only be met if citizens and retailers will be involved by lawmakers in a sufficient manner without being deterred by a detrimental bureaucracy.

2. Well-known online platforms convey the impression of legitimacy and facilitate commercial direct imports of unregistered, unchecked and possibly hazardous products at dumping costs, due to avoidance of compliance charges and even to tax evasion. An effective protection of law-abiding companies against this illegal competition is not in sight.

3. Due to diverse implementations of the WEEE directive and due to huge discrepancies with regard to legal execution, considerable business hurdles arise for companies who operate on a European scale.

4. Whole business sectors or sections thereof completely ignore the ElektroG (Electrical and Electronic Equipment Act = German WEEE conversion), while small producers get prosecuted even for the slightest transgressions. This certainly leads to warped proportionalities.

5. Several new features resulting from the revision of the ElektroG did not get implemented in a practical manner, e.g. the authorized legal representative provision. Related adjustments are urgently called for.

6. Constructive criticism relating to the circumstances described above has been met with exclusion and ignorance by some administrative agencies.

7. A most gratifying willingness to cooperate in improving the overall circumstances has been shown by the European Commission and the German Federal Environmental Protection Agency.

It is our sincere hope that this event only forms the prelude to a continued betterment of the circumstances for the implementation of the WEEE directive by retailers and SMEs and we will continue to advocate the concerns of the SMEs, so that these cannot be ignored any further. The original goal of the ElektroG, e.g. guaranteeing higher collection amounts of partly hazardous electronic waste devices and their reuse and recycling, in our opinion has been neglected for the benefit of an unconstructive bureaucracy.

About take-e-way
- Founded in 2004 in Hamburg/Germany
- Currently 35 employees
- Managers: Jochen Stepp, Oliver Friedrichs

Business fields: The take-e-way GmbH assumes the implementation of bureaucratic and operative requirements and obligations of manufacturers, importers, wholesalers, retailers and distributors of electrical and electronic devices in Germany and abroad in the field of product responsibility according to the law (Electrical and Electronic Equipment Act, WEEE, Battery Act, Packaging Ordinance, etc.).

VERE e.V.: The VERE Association for the take-back and recycling of waste electrical and electronic equipment (VERE e.V. registered association) founded in 2003 is the organization having the largest number of members among providers, manufacturers, trade associations and individuals regarding the implementation of the Electrical and Electronic Equipment Act (ElektroG/WEEE) in Germany. VERE is the founding organization of take-e-way GmbH and get-e-right GmbH that offers the WEEE authorized representative. VERE also represents the interests of more than 3,800 companies at political level.

Press Contact
take-e-way GmbH
Christoph Brellinger
Corporate Communications
Schlossstr. 8 d-e
22041 Hamburg

Phone: +49 (0)40/750687-111
Fax: +49 (0)40/750687-101

Sebastian Siebert

Sebastian Siebert
Head of Advisory services

Phone: +49 40 750687-0

Christoph Brellinger

Christoph Brellinger
Head of Marketing & Public Relations

Phone: +49 40 750687-0

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