Recyclability assessment methodology: how to assess your packaging waste
An overview of the recyclability assessment methodology (RAM). Under extended producer responsibility for packaging, large producers must report the recyclability of some packaging materials
From 1 January 2025, liable producers who supply household packaging, packaging that commonly ends up in public bins or household drinks containers made of glass must assess the recyclability of that packaging and report the results of the assessment to the environmental regulator.
Find out about EPR for packaging. This collection of guidance includes information on who is affected (鈥榣iable鈥), what data to collect and how to report
To do this, you will need to assess packaging you supply using the recyclability assessment methodology (RAM).
This Version 1.1 of RAM, published in April 2025. Find out more about versions of the RAM and how it is updated. The RAM is also available in Welsh (Cymraeg).
Different kinds of packaging receive different ratings - red, amber or green. This rating affects the disposal fee that will be charged for that packaging. This is sometimes called 鈥榝ee modulation鈥.
This is an overview of the RAM. There is separate technical guidance that explains:
- how to assess and rate individual materials - use this to find red, amber or green ratings for your packaging materials
- definitions and background - this explains the stages of recyclability and some technical terms
聽Recyclability assessment data: June 2025 regulatory position statement
The environmental regulators have issued a statement on聽collecting and聽reporting data under the RAM.
This only applies to Recyclability Assessment Methodology (RAM) data collection and reporting. It does not apply to any other data you must collect and report for EPR for packaging.
Read PackUK鈥檚 statement on recyclability assessment. This links to regulatory position statements from each of the four regulators. Check the statement from your regulator聽to understand how this affects your data submission.
Report flexible and rigid subtypes of plastics even if you are not submitting recyclability data.
Who has to do this
Only large producers (also known as 鈥榣arge organisations鈥) must collect and report their recyclability assessment data. Find out about small and large producers.
What packaging you must assess
You only need to collect and report recyclability assessment data if you supply household packaging, packaging that commonly ends up in public bins or household drinks containers made of glass.
Categories of material
There are 8 categories for materials. These are often called 鈥榮pecified materials鈥.
- paper and board
- fibre-based composite materials
- plastic - there is separate guidance for rigid plastics and flexible plastics
- steel
- aluminium
- glass
- wood
- other
Each unit of packaging or component should be assessed under one of these categories.
Separate guidance explains how to apply the RAM to each category of material. Use that guidance to assess whether your packaging unit or component is red, amber or green.
Outputs: the red, amber, green scale
In addition to the material category, packaging will fall into one of 3 categories:
- red packaging has specifications that make it difficult to recycle at scale
- amber packaging may experience challenges during collection and sortation, requires specialist infrastructure for reprocessing, the efficiency and output quality of reprocessing is affected, or there is some secondary material loss
- green packaging is widely recyclable in the current UK infrastructure
There are separate codes for medical packaging. Read the guidance below for more details.
Materials that are exempt
Some packaging is exempt from a recyclability assessment:
- reused packaging, unless it has been imported into the United Kingdom
- any packaging exported from the United Kingdom by the producer
- drinks containers made of polyethylene terephthalate (PET) plastic, steel or aluminium
- drinks containers for which a deposit is payable and is within scope of a DRS which is in operation
- non-household packaging
Automatic reds (鈥榩roblematic packaging鈥)
Some packaging and components of packaging always count as red on the scale.
Items of packaging or components must be classified as red if they contain any of the following above the limit of detection and they have been intentionally added:
- integrated electrical components or batteries that would be classed as Electrical and Electronic Equipment (EEE) - for example, boxes that include LED lights
- any of the substances of very high concern (SVHC) above the specified thresholds set out under
- inks that are not manufactured in compliance with the EuPIA
- any household packaging within scope of the RAM which has not been assessed or where the detail required to undertake an assessment isn鈥檛 available
If perfluoroalkyl and Polyfluoroalkyl Substances (PFAS) have been intentionally added to packaging, this is also an automatic red. However, this does not apply if the predominant material is aluminium, steel or glass.
Medical packaging
Medical packaging is immediate or outer packaging on:
- medicinal products
- veterinary medicinal products
- medical devices
Immediate packaging that is in immediate contact with the product.
Outer packaging is any packaging into which the immediate packaging is placed.
You can find out more about .
If you are uncertain whether a product counts as medical, check with the Medicines and Healthcare products Regulatory Agency (MHRA). They publish guidance that explains how to tell if your product is a medicine.
Medical packaging must be reported under different codes:
- red - medical
- amber - medical
- green - medical
If you assess your medical packaging as red - medical and that it must be red - medical because of a regulatory requirement, then it can be reported as amber - medical. You must have evidence for this.
If you assess your medical packaging as red - medical and this is not because of a regulatory requirement, it will be subject to modulation in the same way as other red-rated packaging materials.
How this will affect what you pay (鈥榤odulation鈥)
Find out about modulated disposal fees.
What you must report in 2025
You need to submit recyclability assessment data about all household packaging that you supply.
You must enter the results of your assessment on the packaging data file that you submit to the regulator through the report packaging data service. There are details on how to do this in the guidance that explains how to create your file for EPR for packaging.
The environmental regulators have issued a statement on聽collecting and聽reporting data under the RAM. This only applies to Recyclability Assessment Methodology (RAM) data collection and reporting. It does not apply to any other data you must collect and report for EPR for packaging. Read the PackUK position statement聽to understand how this affects your data submission.
If you need help assessing your packaging
If you do not know what the packaging you supply is made of or are missing other technical details that you need to complete the assessment, contact the packaging manufacturer.
You can also contact a third party provider for advice on your EPR packaging obligations including making and reporting the results of your recyclability assessments. Third party providers are likely to charge a fee for this.
RAM versions and updates
The RAM will be reviewed and updated annually. This is to allow for innovation, evolving market conditions and regulatory changes.
The update will happen in the autumn before the reporting year it applies to.
This version of the RAM: 1.1
This is RAM version 1.1 (April 2025). This simplifies the first version, which was published in December 2024. Major changes are noted in the appropriate section.
Who decides these ratings
There is a RAM Technical Advisory Committee (TAC) that advises PackUK on the annual review of the RAM. The TAC is an advisory body made up a broad cross section of the packaging value chain. It supports PackUK to assess any planned changes to the RAM.
Updates to this page
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The environmental regulators have issued a statement on聽collecting and聽reporting data under the recyclability assessment methodology. This update provides links to that statement. It also adds information on reporting medical packaging and modulated disposal fees.
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Adds a clause in the section on automatic reds ('problematic packaging'), clarifying that the substances listed must have been added intentionally
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This is version 1.1 of the recyclability assessment methodology. Updates from version 1 (December 2024) are noted in the text.
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This update removes some references to drink cans, which are not to be assessed, links to the register of compliance schemes and corrects a typo (a missing 'not' with regard to the Exclusion Policy for Printing Inks and Related products)
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First published.