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Sustainable textile waste management 

Textile Waste - News

Strengthening EU Waste Legislation Through Local Collaboration and Producer Responsibility 


As the EU prepares to implement key provisions of the revised Waste Framework Directive, including mandatory separate collection of textiles by January 2025, the Council of European Municipalities and Regions (CEMR) calls for urgent improvements to ensure fairness, clarity, and efficiency in textile waste management. Drawing from on-the-ground experience and policy best practices, particularly France’s Extended Producer Responsibility (EPR) scheme, CEMR offers targeted recommendations to close critical legislative gaps and empower local governments in achieving sustainable waste solutions. 

1. Expand the Definition of Textile Waste 

The current directive focuses narrowly on ‘household textiles,’ excluding significant sources of textile waste from commercial and institutional settings such as hotels, hospitals, restaurants, offices, and schools. CEMR recommends a broader, more inclusive definition of ‘textile waste’ that reflects its diverse origins and aligns with the Polluter-Pays Principle. 

2. Clarify the Role of Social Enterprises 

Social enterprises play a vital role in collection, sorting, reuse, and resale of textiles. These actors must be fully recognised within the waste legislation and EPR frameworks, with fair access to funding and partnership opportunities. Their unique contributions can enhance the circular economy while delivering strong social outcomes. 

3. Strengthen Extended Producer Responsibility (EPR) for Textiles 

a) Align Implementation Deadlines 

There is currently a mismatch between the 2025 obligation for separate textile collection and the proposed EPR deadline, which may not come into effect until 2027 or 2028. CEMR calls for the EPR scheme to be implemented simultaneously with the collection obligation, and for producers to retroactively reimburse municipalities for collection-related costs from January 2025. 

b) Recognise Local Authorities as Key Partners 

Municipalities are central to waste collection and citizen engagement, yet their role is not clearly defined in the proposed EPR framework. CEMR urges mandatory collaboration between Producer Responsibility Organisations (PROs) and municipalities to ensure streamlined collection systems and cohesive public communication. 

c) Ensure Full Cost Coverage 

EPR funding must comprehensively cover not only infrastructure and operational costs, but also continuous public communication campaigns, which are critical to successful sorting and reuse. Additionally, producers should bear partial responsibility for textiles that remain in mixed waste streams, incentivising better product design and citizen behaviour. 

d) Include Unsold Textiles in EPR Obligations 

To align with the Ecodesign Regulation for Sustainable Products, which bans the destruction of unsold goods, CEMR advocates for including unsold textiles in the scope of EPR. A clear definition should be added to the directive to ensure these products are managed responsibly and transparently. 

4. Introduce Clear Measures to Prevent Textile Waste 

Overproduction and fast fashion are key drivers of Europe’s textile waste crisis. The revised directive must go beyond waste management and address prevention at the source. This includes incentives for sustainable design, extended use, reuse systems, and anti-overproduction regulations. 

Case Study: France’s “Refashion” EPR Scheme 

France’s pioneering EPR program, “Refashion,” offers a proven model. Since 2007, it has tripled the collection and recycling rates of post-consumer textiles. In 2020 alone, it engaged over 4,000 producers and allocated €36 million toward sorting, community projects, and innovation. Nearly 40% of textiles placed on the market were collected, up from 27% in 2013, with a 90% material recovery rate and 50% direct reuse. 

This success story demonstrates how producer accountability, coupled with strong public-private cooperation, can drive significant progress. However, challenges such as labour-intensive sorting and the difficulty of recycling blended fibres remain and must be addressed at the EU level. 

Conclusion 

With the right revisions, the updated Waste Framework Directive can become a powerful tool in reshaping Europe’s approach to textile waste. CEMR urges EU institutions to act decisively by aligning deadlines, empowering municipalities, and ensuring that both social and environmental responsibilities are shared equitably across the textile value chain. Only then can the EU truly advance toward a circular, fair, and sustainable future. 

Read the position paper here 

For more information, contact: 

Fixing Textile Waste

Textile Waste Management - News

CEMR calls for a stronger local role and producer responsibility in EU textile waste reforms


In response to the European Commission’s proposal to revise the Waste Framework Directive, the Council of European Municipalities and Regions (CEMR) has published key messages to ensure that local and regional authorities are central to a fair and effective textile waste management system.

The revision, which includes mandatory Extended Producer Responsibility (EPR) schemes for textiles, is welcomed by CEMR. However, urgent improvements are needed to ensure timely implementation, comprehensive cost coverage, and clearer roles for public authorities and social enterprises.

CEMR’s recommendations highlight several critical areas:

  • Broaden the definition of textile waste to include non-household sources such as hotels, hospitals, and offices.
  • Clarify the role of social enterprises and ensure they are fully integrated into EPR schemes.
  • Align deadlines for separate collection (due by 2025) with the establishment of EPR schemes to avoid unfunded obligations for municipalities.
  • Guarantee full cost coverage for collection, sorting, treatment, and public awareness campaigns.
  • Include unsold textiles under EPR rules, in line with the upcoming Ecodesign Regulation.
  • Promote prevention, especially by tackling overproduction and fast fashion.

Drawing on best practices from France’s “Refashion” scheme, CEMR shows how EPR can drive higher collection and reuse rates, stimulate innovation, and improve cooperation across the value chain, but only when properly implemented.

CEMR urges EU institutions to embed these recommendations into the revised directive to ensure that local governments can continue to lead on circular economy goals without being burdened by unfunded mandates.

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Local waste water policy 

Water Management - News

CEMR urges a proportionate, flexible and locally tailored approach to EU waste water reforms 


As the European Commission advances its revision of the Urban Waste Water Treatment Directive (UWWTD), the Council of European Municipalities and Regions (CEMR) welcomes the opportunity to modernise the framework in line with the Green Deal and today’s environmental challenges. 

However, CEMR stresses that a one-size-fits-all approach will not work. Instead, the revised directive must reflect the diversity of local conditions, be rooted in risk-based assessments, and align with the subsidiarity principle, allowing national and local authorities to tailor implementation to their context. 

Key concerns raised by CEMR include: 

  • Proportionality and impact: Efforts should focus where they matter most, on larger treatment plants and high-risk areas, rather than extending rigid requirements to small agglomerations or individual systems, which often pose far lower environmental risk. 
  • Stormwater overflows and urban runoff: These should be managed through a coordinated, risk-based approach under existing national plans and the Water Framework Directive, avoiding duplication and overregulation. 
  • Nutrient removal: CEMR supports stricter phosphorus thresholds in sensitive areas and encourages phosphorus recovery but calls for flexibility on nitrogen removal in colder climates where existing targets are technically or economically unfeasible. 
  • Circular economy: The revision should promote pollution prevention at source, enforce the polluter pays principle, and support raw material recovery and energy efficiency across the waste water chain. 

CEMR also calls for coherence across EU legislation, including alignment with the Water Framework Directive, and clear, proportionate reporting obligations for local and regional governments. 

Local best practice: inspiration from the Netherlands 

CEMR highlights Dutch municipalities as a model of innovation in tackling stormwater overflows and integrating water management into urban design. The “water square” in Rotterdam, for example, combines stormwater buffering with vibrant public space, showing how smart spatial planning can enhance both environmental outcomes and quality of life. 

In short, the revision of the UWWTD is a vital opportunity, but success will depend on flexibility, local knowledge, and a commitment to cost-effective, risk-based solutions

Read the full position paper 

For more information, contact: 

Circular economy starts locally

Waste - News Section

CEMR’s Priorities for Revising EU Waste Rules and Advancing the Circular Economy 


With the EU revising its Waste Framework Directive as part of the broader Circular Economy Package, the Council of European Municipalities and Regions (CEMR) is calling for an approach that respects local realities and builds true governance partnerships

Local and regional governments are central to delivering Europe’s circular economy goals. From waste collection and recycling to raising citizen awareness, they are closest to the daily operations that make sustainability a reality. 

In its 2016 position, CEMR welcomes the Commission’s shift toward a more balanced approach. It supports clearer definitions for municipal waste, realistic recycling targets, and the inclusion of Extended Producer Responsibility (EPR) rules. However, CEMR also warns against overregulation through delegated acts and stresses the importance of flexibility in areas like separate collection and biowaste. 

Key recommendations include: 

  • Respecting subsidiarity: Leave room for national and local adaptation. 
  • Ensuring fair cost-sharing: Producers should fully cover the costs of waste linked to their products. 
  • Supporting public investment: EU funds must clearly back local waste infrastructure. 
  • Promoting green public procurement: Encourage but avoid overlap with procurement rules. 
  • Looking beyond municipal waste: Industrial and commercial sectors must also be addressed. 

Ultimately, CEMR sees municipalities as essential partners, not just implementers, in shaping a sustainable and job-creating circular economy. Without their full involvement and adequate resources, Europe risks missing the mark on both ambition and delivery. 

Read the position paper here 

For more information, contact: