Across India in 2026, many Registered Vehicle Scrapping Facilities are running at full operational capacity—vehicles are being received, dismantled, and scrapped as per transport authority approvals. Yet, despite being operationally compliant, several RVSFs are facing stalled producer tie-ups, delayed payments, or outright rejection during negotiations.
The reason is simple but often overlooked: EPR registration is missing or incomplete.

Under the current ELV compliance framework, scrapping vehicles alone is not enough. If an RVSF is not registered on the CPCB EPR portal, it cannot issue EPR certificates. Without certificates, producers cannot meet their statutory obligations—and they will not engage with unregistered facilities.
This article breaks down what EPR registration for RVSFs really means in 2026, why it is mandatory, how it affects revenue, and how facilities can stay ahead of compliance issues instead of reacting to notices and audits.
Extended Producer Responsibility (EPR) under the ELV framework is not a paperwork-driven regulation. It is a performance-linked compliance mechanism designed to bring traceability, accountability, and transparency into vehicle scrapping.
From a regulator’s perspective, EPR ensures that steel and other recoverable materials from End-of-Life Vehicles are actually recycled through authorized channels. From a business perspective, it creates a structured demand for compliant RVSFs.
Under the 2026 framework:
In simple terms, RVSFs are no longer just service providers—they are compliance partners in the automotive ecosystem.
One of the most common misunderstandings among RVSF owners is the belief that MoRTH registration automatically covers all legal requirements. In reality, operational approval and EPR registration serve two very different purposes.
| Aspect | Operational RVSF Registration | EPR Registration |
|---|---|---|
| Governing authority | Transport authorities / MoRTH | CPCB |
| Objective | Permission to operate a scrapping facility | Permission to generate EPR certificates |
| Focus area | Infrastructure and scrapping processes | Environmental accountability and reporting |
| Impact on revenue | Indirect | Direct and recurring |
An RVSF without EPR registration may legally scrap vehicles, but it cannot participate in the EPR market. In 2026, this directly affects the facility’s ability to work with OEMs, fleet operators, and large producers.
The CPCB EPR ELV portal is not just a registration website. It is the central nervous system of ELV compliance in India.
In 2026, regulators and producers rely heavily on portal data to verify:
For an RVSF, the portal determines:
Even minor discrepancies—such as outdated capacity figures or missing documents—can result in certificate generation blocks or compliance queries.
Before applying, it is important to understand that EPR registration is granted only to facilities that demonstrate both operational readiness and environmental compliance.
At a minimum, an RVSF must be able to show that:
| Document | Why It Matters |
|---|---|
| RVSF registration certificate | Confirms legal status of the facility |
| CTE and CTO from SPCB | Demonstrates environmental clearance |
| Hazardous waste authorization | Covers oils, batteries, fluids |
| Facility layout and machinery details | Confirms declared capacity |
| Record-keeping system | Basis for EPR certificate calculation |
What we see on ground:
Most application delays happen not because facilities are non-compliant, but because documents are outdated, inconsistent, or poorly aligned with portal disclosures.
Although the application is submitted online, approval speed depends heavily on pre-application readiness.
The first step involves:
Errors at this stage often lead to repeated OTP failures, verification issues, or account rejections.
During application filing, RVSFs must declare:
When these details do not match SPCB approvals or on-ground reality, the application is typically returned for clarification—sometimes multiple times.
EPR certificates are not issued automatically after registration. They are generated only after verified scrapping and recovery activities.
Certificates are based on:
Once issued, certificates become tradable instruments that producers use to meet their annual obligations.
Incorrect reporting can lead to:
In 2026, regulators are increasingly using data analytics to flag inconsistencies.
EPR targets are designed to increase progressively, which directly impacts demand for certificates.
| Compliance Phase | Minimum Steel Recovery |
|---|---|
| Current phase | 8% of steel used |
| Mid-term phase | 13% of steel used |
| Long-term phase | 18% of steel used |
For RVSFs, this means one thing: demand for compliant facilities will only increase.
Facilities that register early and maintain clean compliance records are better positioned to negotiate pricing and long-term contracts.
In 2026, non-registration is no longer a minor oversight—it is a business risk.
Several operational RVSFs have faced:
Failure to comply can attract action under the Environment (Protection) Act, 1986.
Possible consequences include:
Most of these issues are preventable with timely and accurate registration.
Green Permits approaches EPR registration as a long-term compliance strategy, not a one-time filing.
We support RVSFs with:
This reduces approval delays and protects facilities from future regulatory surprises.
In 2026, EPR registration is not optional for RVSFs—it is a core requirement for sustainable operations and revenue generation.
Facilities that act early benefit from:
Delaying action only increases uncertainty and exposure.
📞 +91 78350 06182
📧 wecare@greenpermits.in
Yes. Any RVSF that wants to generate EPR certificates or work with vehicle producers must be registered on the CPCB EPR portal.
No. MoRTH registration allows vehicle scrapping, but EPR registration is required to issue EPR certificates and participate in producer compliance.
An RVSF may operate physically, but without EPR registration it cannot generate certificates, limiting producer tie-ups and revenue opportunities.
EPR certificates are generated based on verified steel recovery from End-of-Life Vehicles and uploaded operational data on the CPCB portal.
Delays usually occur due to mismatched SPCB consents, incorrect capacity details, incomplete documentation, or inconsistencies in portal disclosures.