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Written Question
Export Health Certificates
Friday 19th November 2021

Asked by: Gareth Thomas (Labour (Co-op) - Harrow West)

Question to the Department for Environment, Food and Rural Affairs:

To ask the Secretary of State for Environment, Food and Rural Affairs, how many complaints his Department has received on lost or delayed Export Health Certificates since 1 January 2021; and if he will make a statement.

Answered by Baroness Prentis of Banbury

Defra and APHA do not have a record of complaints specifically on lost or delayed Export Health Certificates (EHCs). If an EHC is lost, delayed or incorrect a certifier or exporter may apply to cancel the existing EHC and have it replaced. Between January 2021 to October 2021, 79 requests for cancel and replace certificates for EU exports were received.


Speech in Westminster Hall - Mon 15 Nov 2021
Water Companies: Sewage Discharge

"Does my hon. Friend also think there should be a requirement on water companies to report that information to their consumers, perhaps in the form of formal consumer committees of each water company, so that that company is more likely to be held to account by the very consumers who …..."
Gareth Thomas - View Speech

View all Gareth Thomas (LAB - Harrow West) contributions to the debate on: Water Companies: Sewage Discharge

Speech in Westminster Hall - Mon 15 Nov 2021
Water Companies: Sewage Discharge

"I appreciate the opportunity to speak in this debate. I join others in congratulating my hon. Friend the Member for Gower (Tonia Antoniazzi) on opening the debate. I want to underline in particular the figure that she used: 39 million tonnes of raw sewage was dumped in the River Thames …..."
Gareth Thomas - View Speech

View all Gareth Thomas (LAB - Harrow West) contributions to the debate on: Water Companies: Sewage Discharge

Speech in Westminster Hall - Mon 15 Nov 2021
Water Companies: Sewage Discharge

"The right hon. Gentleman will have to forgive me. I was concentrating on other things in the 10 years before privatisation—I am not quite that old. If he shares the Opposition’s concerns about the quality of performance of the privatised water companies, I welcome that.

I recognise that the Minister …..."

Gareth Thomas - View Speech

View all Gareth Thomas (LAB - Harrow West) contributions to the debate on: Water Companies: Sewage Discharge

Written Question
Export Health Certificates
Friday 10th September 2021

Asked by: Gareth Thomas (Labour (Co-op) - Harrow West)

Question to the Department for Environment, Food and Rural Affairs:

To ask the Secretary of State for Environment, Food and Rural Affairs, what discussions he has had with her counterparts in the EU to ensure that there is uniform acceptance of valid Export Health Certificates across all ports in the EU; and if she will make a statement.

Answered by Baroness Prentis of Banbury

The UK Chief Veterinary Officer (CVO) has written to the European Commission on several occasions since January, raising technical issues relating to Export Health Certificates. These include issues arising from consistency of interpretation. We have received helpful clarifications from the Commission and these have been sent to all EU Member States, meaning there are fewer incidences of differing approaches. The EU Member State relations team have liaised directly with EU Member States where we have had issues with individual Border Control Posts. The CVO has also had many meetings on this issue.


Written Question
Plastics: Production and Sales
Wednesday 2nd June 2021

Asked by: Gareth Thomas (Labour (Co-op) - Harrow West)

Question to the Department for Environment, Food and Rural Affairs:

To ask the Secretary of State for Environment, Food and Rural Affairs, what steps his Department has taken to disincentivise the production, sale and use of single-use plastics; and if he will make a statement.

Answered by Rebecca Pow

It is illegal under retained EU law to export UK waste for disposal to countries outside the European Union and the European Free Trade Area. Individuals and businesses found to be exporting waste in contravention of the requirements of the UK legislation can face a two-year jail term and an unlimited fine. In addition, the export of UK waste for disposal to EU/ EFTA countries is generally prohibited, save for the strictly limited exceptions which are laid out in the UK Plan for Shipments of Waste. Proposed updates to the Plan were consulted upon earlier this year and the revised UK Plan will be published next month. The UK Government is committed to banning the export of plastic waste for recycling to countries that are not members of the Organisation for Economic Cooperation and Development (OECD). The Government will consult on this measure and work is underway to make this happen.

The UK environmental regulators take a pro-active, intelligence led approach to checking compliance with the legislation on waste shipments, targeting exports which pose a high risk and intervening to stop illegal exports taking place. In 2019-20 the Environment Agency (EA) stopped 1,889 containers at ports and intervened at waste loading sites, preventing the illegal export of 463 containers comprising 22,688 tonnes of waste.

In addition, the regulators undertake rigorous checks to ensure businesses accredited as exporters of packaging waste under the Packaging Waste Regulations comply with their conditions of accreditation, this includes verifying evidence that exported waste is recycled. Conditions of accreditation have been tightened to require an exporter to provide the EA with full details of the final overseas reprocessing sites receiving packaging waste it exports and to provide access to export documentation to prove that the material reached or was accepted by these overseas reprocessing sites. In 2020 the EA cancelled the accreditation of 4 exporters and suspended 7 accreditations Government is consulting currently on reforms to the packaging producer responsibility system which includes proposals for new requirements on those exporting packaging waste for recycling.

We are also taking action to reduce the volume of waste generated in the first place. The Resources and Waste Strategy (RWS) for England, published in December 2018, sets out the Government’s plans to reduce, reuse, and recycle more plastic than we do now. Our target is to eliminate all avoidable plastic waste throughout the life of the 25 Year Environment Plan, but for the most problematic plastics we are going faster - which is why we have committed to work towards all plastic packaging placed on the market being recyclable, reusable or compostable by 2025. We also committed to introducing electronic waste tracking to help us understand where waste is within the system. That will help to tackle illegal movements and misdescription of waste.

We have made significant progress, by introducing one of the world’s toughest bans on microbeads in rinse-off personal care products and have significantly reduced the use of single-use carrier bags by the main supermarket retailers by 95% with our 5p charge. The charge increased to 10p and was extended to all businesses on 21 May 2021. In October 2020, we introduced measures to restrict the supply of plastic straws, plastic drink stirrers, and plastic-stemmed cotton buds. We will continue to review the latest evidence on problematic products and/ or materials to take a systematic approach to reducing the use of unnecessary single-use plastic products, including problematic packaging materials. Furthermore, from April 2022, plastic packaging that does not contain at least 30% recycled content will be subject to a tax of £200/tonne. Further details on the development of this tax can be found at: https://www.gov.uk/government/publications/introduction-of-plastic-packaging-tax/plastic-packaging-tax#detailed-proposal.

Our Environment Bill will enable us to significantly change the way that we manage our waste and implement proposals from the Resources and Waste Strategy. The Bill includes powers to create extended producer responsibility (EPR) schemes; introduce deposit return schemes (DRS); establish greater consistency in the recycling system; better control the export of plastic waste; and to set new charges for other single-use plastic items. Our approach is focused on encouraging greater uptake of reusable alternatives and increasing supply and demand for secondary materials to be recycled in the UK. We have set new targets for plastic packaging to be recycled (to 2023) and we are currently consulting on a Deposit Return Scheme for drinks containers, an Extended Producer Responsibility Scheme for packaging, and our proposals for greater consistency in household and business recycling.

Statistics on Plastic Packaging Data (tonnes)

Total placed on the market (PoM)

Total recycling

UK recycling

Export

% Exported

2019

2,472,317

1,141,316

447,078

690,631

61%

2018

2,361,000

1,034,410

384,848

649,562

63%

2017

2,260,000

1,044,363

358,467

685,896

66%

2016

2,260,000

1,015,226

330,731

684,495

67%

2015

2,260,000

891,141

327,591

563,550

63%


Written Question
Plastics: Waste
Wednesday 2nd June 2021

Asked by: Gareth Thomas (Labour (Co-op) - Harrow West)

Question to the Department for Environment, Food and Rural Affairs:

To ask the Secretary of State for Environment, Food and Rural Affairs, what steps his Department has taken to reduce the amount of UK plastic waste that is exported for disposal; and if he will make a statement.

Answered by Rebecca Pow

It is illegal under retained EU law to export UK waste for disposal to countries outside the European Union and the European Free Trade Area. Individuals and businesses found to be exporting waste in contravention of the requirements of the UK legislation can face a two-year jail term and an unlimited fine. In addition, the export of UK waste for disposal to EU/ EFTA countries is generally prohibited, save for the strictly limited exceptions which are laid out in the UK Plan for Shipments of Waste. Proposed updates to the Plan were consulted upon earlier this year and the revised UK Plan will be published next month. The UK Government is committed to banning the export of plastic waste for recycling to countries that are not members of the Organisation for Economic Cooperation and Development (OECD). The Government will consult on this measure and work is underway to make this happen.

The UK environmental regulators take a pro-active, intelligence led approach to checking compliance with the legislation on waste shipments, targeting exports which pose a high risk and intervening to stop illegal exports taking place. In 2019-20 the Environment Agency (EA) stopped 1,889 containers at ports and intervened at waste loading sites, preventing the illegal export of 463 containers comprising 22,688 tonnes of waste.

In addition, the regulators undertake rigorous checks to ensure businesses accredited as exporters of packaging waste under the Packaging Waste Regulations comply with their conditions of accreditation, this includes verifying evidence that exported waste is recycled. Conditions of accreditation have been tightened to require an exporter to provide the EA with full details of the final overseas reprocessing sites receiving packaging waste it exports and to provide access to export documentation to prove that the material reached or was accepted by these overseas reprocessing sites. In 2020 the EA cancelled the accreditation of 4 exporters and suspended 7 accreditations Government is consulting currently on reforms to the packaging producer responsibility system which includes proposals for new requirements on those exporting packaging waste for recycling.

We are also taking action to reduce the volume of waste generated in the first place. The Resources and Waste Strategy (RWS) for England, published in December 2018, sets out the Government’s plans to reduce, reuse, and recycle more plastic than we do now. Our target is to eliminate all avoidable plastic waste throughout the life of the 25 Year Environment Plan, but for the most problematic plastics we are going faster - which is why we have committed to work towards all plastic packaging placed on the market being recyclable, reusable or compostable by 2025. We also committed to introducing electronic waste tracking to help us understand where waste is within the system. That will help to tackle illegal movements and misdescription of waste.

We have made significant progress, by introducing one of the world’s toughest bans on microbeads in rinse-off personal care products and have significantly reduced the use of single-use carrier bags by the main supermarket retailers by 95% with our 5p charge. The charge increased to 10p and was extended to all businesses on 21 May 2021. In October 2020, we introduced measures to restrict the supply of plastic straws, plastic drink stirrers, and plastic-stemmed cotton buds. We will continue to review the latest evidence on problematic products and/ or materials to take a systematic approach to reducing the use of unnecessary single-use plastic products, including problematic packaging materials. Furthermore, from April 2022, plastic packaging that does not contain at least 30% recycled content will be subject to a tax of £200/tonne. Further details on the development of this tax can be found at: https://www.gov.uk/government/publications/introduction-of-plastic-packaging-tax/plastic-packaging-tax#detailed-proposal.

Our Environment Bill will enable us to significantly change the way that we manage our waste and implement proposals from the Resources and Waste Strategy. The Bill includes powers to create extended producer responsibility (EPR) schemes; introduce deposit return schemes (DRS); establish greater consistency in the recycling system; better control the export of plastic waste; and to set new charges for other single-use plastic items. Our approach is focused on encouraging greater uptake of reusable alternatives and increasing supply and demand for secondary materials to be recycled in the UK. We have set new targets for plastic packaging to be recycled (to 2023) and we are currently consulting on a Deposit Return Scheme for drinks containers, an Extended Producer Responsibility Scheme for packaging, and our proposals for greater consistency in household and business recycling.

Statistics on Plastic Packaging Data (tonnes)

Total placed on the market (PoM)

Total recycling

UK recycling

Export

% Exported

2019

2,472,317

1,141,316

447,078

690,631

61%

2018

2,361,000

1,034,410

384,848

649,562

63%

2017

2,260,000

1,044,363

358,467

685,896

66%

2016

2,260,000

1,015,226

330,731

684,495

67%

2015

2,260,000

891,141

327,591

563,550

63%


Written Question
Waste: Recycling
Wednesday 2nd June 2021

Asked by: Gareth Thomas (Labour (Co-op) - Harrow West)

Question to the Department for Environment, Food and Rural Affairs:

To ask the Secretary of State for Environment, Food and Rural Affairs, what steps his Department has taken to ensure that rubbish exported from the UK to be recycled is not dumped in unregulated and illegal sites; and if he will make a statement.

Answered by Rebecca Pow

It is illegal under retained EU law to export UK waste for disposal to countries outside the European Union and the European Free Trade Area. Individuals and businesses found to be exporting waste in contravention of the requirements of the UK legislation can face a two-year jail term and an unlimited fine. In addition, the export of UK waste for disposal to EU/ EFTA countries is generally prohibited, save for the strictly limited exceptions which are laid out in the UK Plan for Shipments of Waste. Proposed updates to the Plan were consulted upon earlier this year and the revised UK Plan will be published next month. The UK Government is committed to banning the export of plastic waste for recycling to countries that are not members of the Organisation for Economic Cooperation and Development (OECD). The Government will consult on this measure and work is underway to make this happen.

The UK environmental regulators take a pro-active, intelligence led approach to checking compliance with the legislation on waste shipments, targeting exports which pose a high risk and intervening to stop illegal exports taking place. In 2019-20 the Environment Agency (EA) stopped 1,889 containers at ports and intervened at waste loading sites, preventing the illegal export of 463 containers comprising 22,688 tonnes of waste.

In addition, the regulators undertake rigorous checks to ensure businesses accredited as exporters of packaging waste under the Packaging Waste Regulations comply with their conditions of accreditation, this includes verifying evidence that exported waste is recycled. Conditions of accreditation have been tightened to require an exporter to provide the EA with full details of the final overseas reprocessing sites receiving packaging waste it exports and to provide access to export documentation to prove that the material reached or was accepted by these overseas reprocessing sites. In 2020 the EA cancelled the accreditation of 4 exporters and suspended 7 accreditations Government is consulting currently on reforms to the packaging producer responsibility system which includes proposals for new requirements on those exporting packaging waste for recycling.

We are also taking action to reduce the volume of waste generated in the first place. The Resources and Waste Strategy (RWS) for England, published in December 2018, sets out the Government’s plans to reduce, reuse, and recycle more plastic than we do now. Our target is to eliminate all avoidable plastic waste throughout the life of the 25 Year Environment Plan, but for the most problematic plastics we are going faster - which is why we have committed to work towards all plastic packaging placed on the market being recyclable, reusable or compostable by 2025. We also committed to introducing electronic waste tracking to help us understand where waste is within the system. That will help to tackle illegal movements and misdescription of waste.

We have made significant progress, by introducing one of the world’s toughest bans on microbeads in rinse-off personal care products and have significantly reduced the use of single-use carrier bags by the main supermarket retailers by 95% with our 5p charge. The charge increased to 10p and was extended to all businesses on 21 May 2021. In October 2020, we introduced measures to restrict the supply of plastic straws, plastic drink stirrers, and plastic-stemmed cotton buds. We will continue to review the latest evidence on problematic products and/ or materials to take a systematic approach to reducing the use of unnecessary single-use plastic products, including problematic packaging materials. Furthermore, from April 2022, plastic packaging that does not contain at least 30% recycled content will be subject to a tax of £200/tonne. Further details on the development of this tax can be found at: https://www.gov.uk/government/publications/introduction-of-plastic-packaging-tax/plastic-packaging-tax#detailed-proposal.

Our Environment Bill will enable us to significantly change the way that we manage our waste and implement proposals from the Resources and Waste Strategy. The Bill includes powers to create extended producer responsibility (EPR) schemes; introduce deposit return schemes (DRS); establish greater consistency in the recycling system; better control the export of plastic waste; and to set new charges for other single-use plastic items. Our approach is focused on encouraging greater uptake of reusable alternatives and increasing supply and demand for secondary materials to be recycled in the UK. We have set new targets for plastic packaging to be recycled (to 2023) and we are currently consulting on a Deposit Return Scheme for drinks containers, an Extended Producer Responsibility Scheme for packaging, and our proposals for greater consistency in household and business recycling.

Statistics on Plastic Packaging Data (tonnes)

Total placed on the market (PoM)

Total recycling

UK recycling

Export

% Exported

2019

2,472,317

1,141,316

447,078

690,631

61%

2018

2,361,000

1,034,410

384,848

649,562

63%

2017

2,260,000

1,044,363

358,467

685,896

66%

2016

2,260,000

1,015,226

330,731

684,495

67%

2015

2,260,000

891,141

327,591

563,550

63%


Written Question
Plastics: Waste
Wednesday 2nd June 2021

Asked by: Gareth Thomas (Labour (Co-op) - Harrow West)

Question to the Department for Environment, Food and Rural Affairs:

To ask the Secretary of State for Environment, Food and Rural Affairs, what proportion of plastic packaging used in the UK has been exported in each of the last five years; and if he will make a statement.

Answered by Rebecca Pow

It is illegal under retained EU law to export UK waste for disposal to countries outside the European Union and the European Free Trade Area. Individuals and businesses found to be exporting waste in contravention of the requirements of the UK legislation can face a two-year jail term and an unlimited fine. In addition, the export of UK waste for disposal to EU/ EFTA countries is generally prohibited, save for the strictly limited exceptions which are laid out in the UK Plan for Shipments of Waste. Proposed updates to the Plan were consulted upon earlier this year and the revised UK Plan will be published next month. The UK Government is committed to banning the export of plastic waste for recycling to countries that are not members of the Organisation for Economic Cooperation and Development (OECD). The Government will consult on this measure and work is underway to make this happen.

The UK environmental regulators take a pro-active, intelligence led approach to checking compliance with the legislation on waste shipments, targeting exports which pose a high risk and intervening to stop illegal exports taking place. In 2019-20 the Environment Agency (EA) stopped 1,889 containers at ports and intervened at waste loading sites, preventing the illegal export of 463 containers comprising 22,688 tonnes of waste.

In addition, the regulators undertake rigorous checks to ensure businesses accredited as exporters of packaging waste under the Packaging Waste Regulations comply with their conditions of accreditation, this includes verifying evidence that exported waste is recycled. Conditions of accreditation have been tightened to require an exporter to provide the EA with full details of the final overseas reprocessing sites receiving packaging waste it exports and to provide access to export documentation to prove that the material reached or was accepted by these overseas reprocessing sites. In 2020 the EA cancelled the accreditation of 4 exporters and suspended 7 accreditations Government is consulting currently on reforms to the packaging producer responsibility system which includes proposals for new requirements on those exporting packaging waste for recycling.

We are also taking action to reduce the volume of waste generated in the first place. The Resources and Waste Strategy (RWS) for England, published in December 2018, sets out the Government’s plans to reduce, reuse, and recycle more plastic than we do now. Our target is to eliminate all avoidable plastic waste throughout the life of the 25 Year Environment Plan, but for the most problematic plastics we are going faster - which is why we have committed to work towards all plastic packaging placed on the market being recyclable, reusable or compostable by 2025. We also committed to introducing electronic waste tracking to help us understand where waste is within the system. That will help to tackle illegal movements and misdescription of waste.

We have made significant progress, by introducing one of the world’s toughest bans on microbeads in rinse-off personal care products and have significantly reduced the use of single-use carrier bags by the main supermarket retailers by 95% with our 5p charge. The charge increased to 10p and was extended to all businesses on 21 May 2021. In October 2020, we introduced measures to restrict the supply of plastic straws, plastic drink stirrers, and plastic-stemmed cotton buds. We will continue to review the latest evidence on problematic products and/ or materials to take a systematic approach to reducing the use of unnecessary single-use plastic products, including problematic packaging materials. Furthermore, from April 2022, plastic packaging that does not contain at least 30% recycled content will be subject to a tax of £200/tonne. Further details on the development of this tax can be found at: https://www.gov.uk/government/publications/introduction-of-plastic-packaging-tax/plastic-packaging-tax#detailed-proposal.

Our Environment Bill will enable us to significantly change the way that we manage our waste and implement proposals from the Resources and Waste Strategy. The Bill includes powers to create extended producer responsibility (EPR) schemes; introduce deposit return schemes (DRS); establish greater consistency in the recycling system; better control the export of plastic waste; and to set new charges for other single-use plastic items. Our approach is focused on encouraging greater uptake of reusable alternatives and increasing supply and demand for secondary materials to be recycled in the UK. We have set new targets for plastic packaging to be recycled (to 2023) and we are currently consulting on a Deposit Return Scheme for drinks containers, an Extended Producer Responsibility Scheme for packaging, and our proposals for greater consistency in household and business recycling.

Statistics on Plastic Packaging Data (tonnes)

Total placed on the market (PoM)

Total recycling

UK recycling

Export

% Exported

2019

2,472,317

1,141,316

447,078

690,631

61%

2018

2,361,000

1,034,410

384,848

649,562

63%

2017

2,260,000

1,044,363

358,467

685,896

66%

2016

2,260,000

1,015,226

330,731

684,495

67%

2015

2,260,000

891,141

327,591

563,550

63%


Written Question
Export Health Certificates
Wednesday 2nd June 2021

Asked by: Gareth Thomas (Labour (Co-op) - Harrow West)

Question to the Department for Environment, Food and Rural Affairs:

To ask the Secretary of State for Environment, Food and Rural Affairs, what estimate he has made of the number of Export Health Certificates to be used in total for 2021; and if he will make a statement.

Answered by Baroness Prentis of Banbury

Estimates of the total number of Export Health Certificates (EHC) required following the end of the Transition Period, indicated that up to 300k additional EHCs would be needed for GB-EU trade, and up to 480k per annum when GB-NI and GB-Rest of World Trade were included.

From 01 Jan 2021 to 25 May, the Animal and Plant Health Agency has issued in the region of 71k EHCs for GB-EU trade and in the region of 88k in total. For the same period there were c.11k certificates issued for GB-NI.