A growing food brand in Mumbai had everything going right—distribution, online sales, retail onboarding. Then a large retailer asked for one document before onboarding nationwide: Plastic EPR Registration.
The founders assumed it was a formality they could handle later.
Three months, multiple portal rejections, and lost shelf space later, they realized Plastic EPR isn’t a side compliance—it’s a core business requirement.
If your business uses plastic packaging in any form, this guide will help you understand what Plastic EPR really means, how to register correctly, and how to avoid costly mistakes.

Plastic EPR Registration is a mandatory compliance requirement under India’s plastic waste regulations. It places the responsibility of managing plastic waste not on the government alone, but on the businesses that introduce plastic into the market.
In practical terms, this means:
Plastic EPR is not just about recycling—it is about accountability across the product lifecycle.
For businesses, this translates into structured reporting, annual targets, and ongoing compliance rather than a one-time approval.
Many businesses assume EPR applies only to large manufacturers. That assumption often leads to non-compliance.
You are required to obtain Plastic EPR registration if you are:
There is no minimum turnover exemption. Even startups and first-time sellers are covered if plastic packaging is involved.
If your product reaches an end consumer with plastic attached to it, EPR obligations apply.
Understanding packaging categories is critical because EPR targets are calculated based on them.
Plastic packaging is broadly classified into:
Many businesses misclassify flexible and multi-layered plastics, which later results in incorrect targets and portal objections.
Correct classification at the beginning saves years of inflated obligations.
This section explains the actual workflow businesses experience, not just the ideal version.
The process starts with creating an account using company credentials.
You will need:
Portal access is compliance-sensitive. Using personal emails often causes issues during employee exits or audits. A central compliance email is always advisable.
Before filling the form, businesses must internally align their data.
Key documents include:
Most rejections happen not because documents are missing, but because data across documents does not match.
Internal review before upload reduces portal objections significantly.
This is the foundation of your EPR obligation.
Businesses must declare:
This declaration directly determines:
Underreporting can lead to penalties. Overreporting increases costs unnecessarily. Accuracy here is a strategic decision, not just a data entry task.
The EPR action plan explains how your business intends to meet its waste management responsibilities.
This may include:
Authorities assess whether your plan is practical and achievable, not just whether it is uploaded.
Generic or copied plans often trigger clarification requests.
Government fees are linked to the quantity of plastic waste introduced into the market.
Once paid:
Businesses should validate all declarations before proceeding to payment.
After submission:
If approved, a Plastic EPR Registration Certificate is issued. If delayed beyond prescribed timelines, deemed approvals may apply—but relying on that is risky for active businesses.
Many businesses relax after receiving the registration certificate. This is where long-term problems begin.
EPR compliance is annual and continuous. Registered entities must:
Missing returns or targets can trigger:
EPR should be treated like GST or income tax—ongoing, not occasional.
Ignoring or delaying Plastic EPR compliance has direct business consequences.
Common outcomes include:
In several cases, businesses end up paying far more in corrective costs than they would have spent on timely compliance.
Some recurring mistakes include:
Most of these issues arise due to lack of clarity, not intent.
Businesses that register early gain:
Late registration often forces businesses into rushed decisions and higher certificate prices.
Green Permits works as a compliance partner, not just a filing agent.
Support includes:
The goal is to keep compliance predictable, manageable, and stress-free.
Plastic EPR is no longer optional or secondary.
Businesses that treat it as a strategic compliance function:
Those who delay often pay more—financially and operationally.
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