On August 12, 2026, the EU’s Packaging and Packaging Waste Regulation (Regulation (EU) 2025/40) becomes generally applicable. Most companies have already heard about the new PFAS restriction on food-contact packaging.
But that deadline points to something bigger. The EU is changing how it expects packaging to be designed, tracked, and accounted for. If you place packaged goods on the EU market, even as an exporter who doesn’t think of yourself as an “EU packaging company,” this is worth getting ahead of now, not after the deadline passes.
Regulation (EU) 2025/40 entered into force on February 11, 2025, and its core provisions take effect on August 12, 2026. It applies to any company placing packaged goods on the EU market, including manufacturers based outside the EU who export into it.
It’s tempting to call this a blanket “zero PFAS” ban, but the actual rule is more specific, and the specifics matter for your compliance planning. Beginning August 12, 2026, food-contact packaging within the scope of the regulation can’t be placed on the EU market if PFAS concentrations meet or exceed these limits:
For food-contact packaging, PPWR raises the bar on PFAS compliance with strict concentration limits that apply from that date forward.
Here’s the detail that tends to get missed. European Commission guidance is clear that there’s no transitional stock exhaustion period for food-contact packaging containing PFAS produced before the deadline.
Packaging placed on the EU market before August 12, 2026, can remain in circulation and doesn’t need to be withdrawn. Anything placed on the market after that date must already comply.
In practical terms, you can’t treat August 12, 2026 as the day to start preparing. For covered food-contact packaging, it’s the day your compliant packaging needs to already be on shelves.
Two details worth knowing before you assume PPWR hits every shipment the same way. First, packaging used to transport dangerous goods under Directive 2008/68/EC, including UN-rated steel drums, is carved out of several core PPWR requirements, among them the recyclability rules in Article 6 and the reuse targets in Article 29. If your volume runs through UN-rated drums for hazardous or regulated materials, confirm with your supplier which exemptions apply to your specific SKUs before you build a compliance plan around the wrong assumptions.
Second, the reusable packaging labeling requirement isn’t finalized yet. The European Commission’s Joint Research Centre is expected to issue the label specification around August 12, 2026, with a two-year compliance runway after that. Treat the labeling deadline as its own timeline, not a rider on the PFAS deadline.
PPWR doesn’t exist in isolation from EPR. It strengthens and harmonizes packaging requirements across the EU, covering recyclability, labeling, recycled content, reuse, and EPR obligations together.
Under EPR programs, you carry financial responsibility for the packaging you place on the market. That means your material choice has a direct line to reporting burden, compliance workload, and cost.
That’s true across industries, from industrial chemicals and petrochemicals to paints and coatings. The packaging decisions you make today shape how complicated, and how expensive, EPR compliance becomes tomorrow.
Regulations like PPWR reward packaging that’s recyclable, traceable, and backed by proven end-of-life infrastructure. Steel drums already deliver on all three.
Steel packaging is fully recyclable and can be recycled into new steel products indefinitely without losing material quality. Steel drums support a closed-loop life-cycle through a broad network of third-party reuse and recycling providers.
Steel for Packaging Europe reports:
That track record matters. Steel isn’t catching up to circularity expectations. It’s already meeting them.
We also have a direct line into how this regulation is shaping up. Our CEO, Kyle Stavig, chairs the Industrial Steel Drum Institute and sits on the boards of the Industrial Packaging Alliance of North America and the International Confederation of Drum Manufacturers, including direct engagement in Brussels on PPWR.
Steel packaging supports a more straightforward approach to recycling, compliance, and long-term waste reduction. Its established recycling infrastructure, durable construction, and ability to be recycled repeatedly make steel a strong choice for companies navigating evolving packaging requirements.
For organizations focused on reducing regulatory exposure and strengthening sustainability performance, steel drums provide a reliable packaging solution with clear end-of-life pathways. North Coast Container (NCC) combines these inherent material advantages with dependable nationwide service, consistent quality, and responsive customer support.
Italy’s CONAI system is a useful illustration of where EPR fee structures are headed. CONAI’s own framing is that environmental contributions fund separate collection, recycling, and recovery, with fees allocated based on material and packaging characteristics.
CONAI’s contribution differentiation gives steel packaging one of the most favorable fee structures by reflecting its strong recyclability and established end-of-life recovery pathways. As EPR programs increasingly reward packaging that is easier to recycle, steel is well positioned to benefit. As more EU member states refine their EPR programs, steel’s fee advantage is a pattern worth watching closely.
If you’re a facilities manager, corporate purchasing leader, or plant buyer, PPWR isn’t an abstract regulatory update. It’s a question of whether your packaging decisions create documentation gaps, inventory risk, border delays, or last-minute sourcing scrambles down the line.
We help industrial manufacturers source quality steel drums from an easy-to-work-with partner with a nationwide, redundant manufacturing network and a culture of continuous improvement.