SIST-TP CEN/TR 18160:2025
(Main)Plastics recycling - Classification of plastic recyclates as postconsumer recyclates (PCR) and postindustrial recyclates (PIR)
Plastics recycling - Classification of plastic recyclates as postconsumer recyclates (PCR) and postindustrial recyclates (PIR)
This document has been developed to ensure transparency regarding the input stream for
recycling and to assist all plastic industry stakeholders in the development of new and improved
standards for plastic recycling.
The aim of this report is to present the current state of the debate on how to distinguish waste
materials that are suitable for the production of plastic recyclates from those that cannot be used
for recycling
Recycling von Kunststoffen - Klassifizierung von Kunststoffrezyklaten als Post-Consumer-Rezyklate (PCR) und Post-Industrial-Rezyklate (PIR)
Recyclage des plastiques - Classification des recyclats de plastiques comme recyclats post-consommation (PCR) et recyclats pré-consommation/post-industriels (PIR)
Recikliranje plastike - Razvrstitev plastičnih reciklatov na reciklate po porabi (PCR) in postindustrijske reciklate (PIR)
General Information
Standards Content (Sample)
SLOVENSKI STANDARD
01-junij-2025
Recikliranje plastike - Razvrstitev plastičnih reciklatov na reciklate po porabi
(PCR) in postindustrijske reciklate (PIR)
Plastics recycling - Classification of plastic recyclates as postconsumer recyclates (PCR)
and postindustrial recyclates (PIR)
Recycling von Kunststoffen - Klassifizierung von Kunststoffrezyklaten als Post-
Consumer-Rezyklate (PCR) und Post-Industrial-Rezyklate (PIR)
Recyclage des plastiques - Classification des recyclats de plastiques comme recyclats
post-consommation (PCR) et recyclats pré-consommation/post-industriels (PIR)
Ta slovenski standard je istoveten z: CEN/TR 18160:2025
ICS:
13.030.50 Recikliranje Recycling
83.140.01 Izdelki iz gume in polimernih Rubber and plastics products
materialov na splošno in general
2003-01.Slovenski inštitut za standardizacijo. Razmnoževanje celote ali delov tega standarda ni dovoljeno.
CEN/TR 18160
TECHNICAL REPORT
RAPPORT TECHNIQUE
April 2025
TECHNISCHER REPORT
ICS 13.030.50; 83.140.01
English Version
Plastics recycling - Classification of plastic recyclates as
post-consumer recyclates (PCR) and post-industrial
recyclates (PIR)
Recyclage des plastiques - Classification des recyclats Recycling von Kunststoffen - Klassifizierung von
de plastiques comme recyclats post-consommation Kunststoffrezyklaten als Post-Consumer-Rezyklate
(PCR) et recyclats post-industriels (PIR) (PCR) und Post-Industrial-Rezyklate (PIR)
This Technical Report was approved by CEN on 28 March 2025. It has been drawn up by the Technical Committee CEN/TC 249.
CEN members are the national standards bodies of Austria, Belgium, Bulgaria, Croatia, Cyprus, Czech Republic, Denmark, Estonia,
Finland, France, Germany, Greece, Hungary, Iceland, Ireland, Italy, Latvia, Lithuania, Luxembourg, Malta, Netherlands, Norway,
Poland, Portugal, Republic of North Macedonia, Romania, Serbia, Slovakia, Slovenia, Spain, Sweden, Switzerland, Türkiye and
United Kingdom.
EUROPEAN COMMITTEE FOR STANDARDIZATION
COMITÉ EUROPÉEN DE NORMALISATION
EUROPÄISCHES KOMITEE FÜR NORMUNG
CEN-CENELEC Management Centre: Rue de la Science 23, B-1040 Brussels
© 2025 CEN All rights of exploitation in any form and by any means reserved Ref. No. CEN/TR 18160:2025 E
worldwide for CEN national Members.
Contents Page
Introduction . 4
1 Scope . 5
2 Normative references . 5
3 Terms and definitions . 5
4 Classification of plastic recyclates as post-consumer recyclates (PCR) and pre-
consumer/post-industrial recyclates (PIR) . 7
4.1 Existing legal and standard definitions . 7
4.2 Classification matrix of PIR and PCR. 9
4.2.1 General. 9
4.2.2 Pre-consumer/post-industrial recyclates . 9
4.2.3 Post-consumer recyclates . 10
5 Outlook . 15
Bibliography . 16
European foreword
This document (CEN/TR 18160:2025) has been prepared by Technical Committee CEN/TC 249
“Plastics”, the secretariat of which is held by SIS.
Attention is drawn to the possibility that some of the elements of this document may be the subject of
patent rights. CEN shall not be held responsible for identifying any or all such patent rights.
Any feedback and questions on this document should be directed to the users’ national standards body.
A complete listing of these bodies can be found on the CEN website.
Introduction
In order to promote the uptake of plastic recycled material, the European Commission has already set
minimum recycled plastic content targets for example for beverage bottles made from plastics, especially
PET bottles. Similarly, recycled content targets are planned for further key products such as packaging,
vehicles and construction materials. [1-3]
Plastic recyclates are plastics materials resulting from the recycling of plastic waste. Both legal and
normative definitions of the term ‘waste’ leave room for interpretation. Taking into account the specifics
of individual industries and applications, as well as differences in regional waste management systems
and national legislations, this interpretation room has a major impact on the effective and transparent
implementation of the circular economy model. In this context, a more precise and generally applicable
classification of pre-consumer/post-industrial and post-consumer plastic waste as an input for the
manufacture of pre-consumer/post-industrial recyclates (PIR) and post-consumer recyclates (PCR) is
required. This classification is important in order to reflect the recycling effort required for the
production of PIR and PCR and to concretise the material flow in the recycling of processing waste.
The main aim of this document is to harmonise and concretise the currently existing legal and normative
definitions for PIR and PCR as far as possible. This document is intended to help to ensure that all
stakeholders in various industries have the same understanding of the PIR and PCR and use definitions
which are as universal as possible. The followed definitional approach is applicable to various plastic
industries and applications that are currently at different stages of implementing a circular economy
model. To enable this, the scope of the document has been narrowed to a very specific topic dealing with
the definitions of PIR and PCR. All further related topics dealing with, for example, definitions like ‘waste’,
‘product’, ‘by-product’, etc. refer to the relevant legal documents and/or standards, which are currently
being revised and adapted in the context of the circular economy model.
Furthermore, this document mentions some discussion points regarding PIR and PCR definitions where
there is currently no consensus across various industries and applications. The reason for this is that due
to the wide variety of plastic products and the corresponding waste streams, some of the plastic waste
streams can have certain material, logistical or other advantages or disadvantages with regard to
recycling. Thus, in certain cases, a universal definition can disadvantage or favour a particular industry
or a plastic waste stream.
1 Scope
This document has been developed to ensure transparency regarding the input stream for recycling and
to assist all plastic industry stakeholders in the development of new and improved standards for plastic
recycling.
The aim of this document is to present the current state of the debate on the distinction between plastic
waste that is suitable as an input for plastic recyclates and plastic waste that cannot be used as an input
for plastic recyclates, and on the distinction between pre-consumer/post-industrial (PIR) and post-
consumer plastic recyclates (PCR).
2 Normative references
There are no normative references in this document.
3 Terms and definitions
For the purposes of this document, the following terms and definitions apply.
ISO and IEC maintain terminological databases for use in standardization at the following addresses:
• IEC Electropedia: available at https://www.electropedia.org/
• ISO Online browsing platform: available at https://www.iso.org/obp
3.1
by-product
co-product from a process that is incidental or not intentionally produced and which cannot be avoided,
but which will certainly be further used without any further processing other than normal industrial
practice
Note 1 to entry: A by-product is not a waste.
Note 2 to entry: In-house scrap is a by-product.
Note 3 to entry: For legal definition refer to the European Waste Framework Directive 2008/98/EC article 5.
[SOURCE: EN 17615:2022, 3.209, modified, Note 1 paraphrased from “Waste is not a by-product.” to “A
by product is not a waste.”]
3.2
converter
specialized company or a company unit capable of shaping plastics raw material to make a usable semi-
finished or finished product
Note 1 to entry: Typically used processes are for example, extrusion, injection moulding, film or filament
manufacturing, vacuum forming, blow molding, etc.
[SOURCE: EN 17615:2022, 3.69, modified, “operator” was exchanged with “company or a company unit”,
added “Typically used processes are for example, injection molding, film or filament manufacturing,
vacuum forming, blow molding, etc.”]
3.3
fabricator
specialized company or a company unit capable of final processing and assembling a product made of or
containing plastic, if required
Note 1 to entry: Typical processes include cutting, punching, folding, threading with perforation, etc. For example,
cutting and assembling films for a specific packaging application or pipes for a specific building or assembling
various semi-finished plastic products into a final product, etc.
3.4
in-house scrap
materials recovered by industry within the original manufacturing process
Note 1 to entry: Recovery of in-house scrap is not considered as recycling.
Note 2 to entry: In-house scrap is a by-product.
[SOURCE: EN 17615:2022, 3.133]
3.5
plastic
material which contains as an essential ingredient a polymer and which at some stage in its processing
into finished products can be shaped by flow
Note 1 to entry: Elastomeric materials, which also are shaped by flow, are not considered as plastics.
Note 2 to entry: Additives or other substances may have been added, and which can function as a main structural
component of final products.
[SOURCE: EN 17615:2022, 3.184]
3.6
plastic producer
specialized company or a company unit capable of manufacture (synthesis) of plastic
3.7
plastic processor
specialized company or a company unit capable of modifying plastic raw material to improve its
processing, storage and/or product properties for its use phase or thereafter.
Note 1 to entry: Typically, compounders transforming plastic raw material into an application-specific semi-
finished product by using various compounding processes like melt blending or mixing of polymers and additives.
3.8
product
resins, material or objects/articles resulting from a production process
Note 1 to entry: The product can be a material, semi-finished or final product, for example polyethylene resin
derived from petroleum or biomass, PE film from biomass, PET resins, PET bottles, monomers, plasticizers.
[SOURCE: EN 17615:2022, 3.199, modified, “bioPE film” replaced with “PE film from biomass”]
3.9
recyclate
recycled plastic
secondary raw material
plastics material resulting from recycling of plastic waste, that ceased to be waste and can be used for the
manufacturing of new articles or products
Note 1 to entry: Recyclates may be reformulated using additives.
[SOURCE: EN 17615:2022, 3.209]
3.10
waste
any material or object which the holder discards, or intends to discard, or is required to discard
Note 1 to entry: The term waste is also defined in Directive 2008/98/EC, article 3 (1).
[SOURCE: EN 17615:2022, 3.257]
4 Classification of plastic recyclates as post-consumer recyclates (PCR) and pre-
consumer/post-industrial recyclates (PIR)
4.1 Existing legal and standard definitions
According to the legal definition, plastic waste generated from plastic products that have been placed on
the market is defined as post-consumer plastic waste, which is a suitable input for the manufacture of
PCR. [1, 4, 5, 6] The concept of ‘placing on the market (and/or putting into service)’ is defined in the ‘Blue
Guide on the implementation of EU product rules’ and refers to the moment when the plastic products
“are first supplied for distribution, consumption or use on the market”. [7] At the same time, the plastic
product is not placed on the market, if it is in the stocks of the manufacturer or the importer and is not
yet made available for distribution, consumption or use, unless otherwise provided for in the applicable
harmonisation legislation. For a more detailed legal information on the product regulations and specific
cases, see the ‘Blue Guide’. [7]
Based on this definition it can be deduced that PIR can be manufactured from a plastic waste generated
from the plastic products that have not yet been placed on the market.
The legal definition of ‘waste’ and ‘by-product’ is provided by European Waste Framework Directive
2008/98/EC, article 5 as follows: the ‘by-product’ is defined as a substance or object, resulting from a
production process, the primary aim of which is not the production of that item, is considered not to be
waste, but to be a by-product if the following conditions are met:
a) further use of the substance or object is certain;
b) the substance or object can be us
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