CRI appreciates the opportunity to comment on CalRecycle’s methodology in which a handling fee rate is defined, in alignment with SB 156.
CRI appreciates the opportunity to comment on CalRecycle’s methodology in which a handling fee rate is defined, in alignment with SB 156.
CRI supports Maryland HB 232 to establish Maryland’s beverage container recycling program.
CRI supports Maryland SB 346 to establish Maryland’s beverage container recycling program.
CRI supports Connecticut SB 1115, which would prevent cross-border redemption fraud in the state. We also included clarification questions for the committee in this letter.
CRI recently wrote two letters to the California Senate Budget Subcommittee No.2 and Assembly Budget Subcommittee No.4 regarding errors between the Governor’s Budget and CalRecycle’s Financial Reports, adding up to a total of over $178 million.
CRI appreciates the opportunity to provide comments on the proposed changes to the California SB 54 regulations. CRI continues to be an active participant in the stakeholder process for establishing an EPR for Packaging in California.
CRI supports California SB 674, which would reduce the deposit amount for wine/spirits in bladders, boxes, and pouches <24oz from 25 cents to 10 cents.
CRI supports California SB 633, which would require manufacturers to (1) report the amount of imported postconsumer recycled plastic they use by country of origin, and (2) provide proof that the PCR content they use has been validated by a third party.
SB 675 previously concerned putting a 10% reasonable financial return into statute for processing payments that are paid to recycling centers. Now, there is an amended version of the bill that does not include this. However, CRI still believed it was important to write to the California Senate about this matter.
CRI supports Texas SB 728 to establish Texas’ beverage container recycling program.
This letter is written testimony on Oregon HB 3950, which would use funds from the OR bottle bill for wildfire mitigation. Our position on the bill is neutral, but this testimony highlights the importance of unclaimed deposits in funding program operations.
CRI supports Rhode Island S997 to establish Rhode Island’s beverage container recycling program, with suggestions.
CRI supports Rhode Island H6206 to establish Rhode Island’s beverage container recycling program, with suggestions.
CRI appreciates the opportunity to provide comments on Circular CRV Association’s Dealer Cooperative Stewardship Plan. CRI continues to be an active participant in the stakeholder process for establishing a Dealer Cooperative in California.
CRI opposes CA AB 333, a bill that authorizes CalRecycle to allocate up to $5 million annually for market development payments for non-container glass end-users and also creates a new definition for MRF glass products that could allow these materials to bypass beneficiation facilities.

