The Biobased and Renewable Products Advocacy Group (BRAG) helps members develop and bring to market their innovative biobased and renewable chemical products through insightful policy and regulatory advocacy. BRAG is managed by B&C® Consortia Management, L.L.C., an affiliate of Bergeson & Campbell, P.C.


 

 

 

 

 

 

 

By Lynn L. Bergeson

On March 20, 2018, BioLogiQ, Inc. announced that its NuPlastiQ® GP biopolymer received certification under the USDA BioPreferred program.  NuPlastiQ is a 100 percent renewably-resourced, plant-based resin that is blended with traditional plastics to reduce fossil-based plastic use and greenhouse gas emissions.  The thermoplastic resin is produced using BioLogiQ’s proprietary process for converting high crystalline starch into a low crystalline (mostly amorphous) plastic.  The starch is derived from potato waste following processing to produce potato chips and French fries. 
 
The BioPreferred program is a USDA initiative to increase the purchase and use of biobased products through mandatory purchasing requirements for federal agencies and contractors, and voluntary product certification and labeling.  The USDA Certified Biobased Product label is designed to help consumers identify biobased products containing a verified amount of renewable biological ingredients.


 

 

By Lynn L. Bergeson

On February 23, 2018, European Union (EU) ambassadors reached provisional agreements on the waste legislative package published by the European Commission in 2015.  The four legislative proposals include amendments to the:

  • Waste Framework Directive;
  • Packaging and Packaging Waste Directive;
  • Landfill Directive; and
  • End-of-Life Vehicles (ELV)/Batteries/Waste Electrical and Electronic Equipment (WEEE) Directives. ‚Äč

The Waste Framework Directive and the Packaging and Packaging Waste Directive both acknowledge that biobased and compostable plastics contribute to more efficient waste management and help reduce the impacts of plastic packaging on the environment.  Amendments to the Waste Framework would permit biodegradable and compostable packaging to be collected with biowaste and recycled in industrial composting and anaerobic digestion.  Additionally, the legislation differentiates biodegradable compostable plastics from oxo-degradable plastics, which would not be considered biodegradable.


 
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