EPA Releases National Strategy to Prevent Plastic Pollution


On November 21, 2024, the U.S. Environmental Protection Agency (EPA) announced the release of the National Strategy to Prevent Plastic Pollution: Part Three of a Series on Building a Circular Economy for All. According to EPA, together with EPA’s “National Recycling Strategy” and the “National Strategy for Reducing Food Loss and Waste and Recycling Organics,” the “National Strategy to Prevent Plastic Pollution” presents opportunities for voluntary and regulatory actions by businesses, academia, industry, non-governmental organizations (NGO), federal, Tribal, state, local, and territorial governments, and consumers. EPA states that “[t]ogether, these U.S. entities could eliminate the release of plastic waste from land and sea-based sources into the environment by 2040.”

EPA conducted public outreach and engagement activities to inform the development of the “National Strategy to Prevent Plastic Pollution,” including issuing a draft for public comment in April 2023, as reported in our May 2, 2023 memorandum. EPA states that it received almost 92,000 comments on the draft strategy. With this input, EPA identified six objectives that aim to prevent plastic pollution throughout the entire plastics lifecycle. Each objective is followed by opportunities for action that support the United States’ shift to a circular approach to materials management, which is restorative or regenerative by design, enables resources to maintain their highest value for as long as possible, and aims to eliminate waste in the management of plastic products:

Next Steps

According to EPA, “[i]mplementation of this strategy is expected to be an iterative process as resources, entities leading efforts, and needs change over time.” EPA states that it will continue to enable and implement this strategy and EPA-specific opportunities for action in the White House’s Mobilizing Federal Action on Plastic Pollution: Progress, Principles, and Priorities, using both voluntary efforts and regulatory approaches, where appropriate. This includes, for example, utilizing the Solid Waste Infrastructure for Recycling (SWIFR) grant program to support implementation of this strategy, as required by the Save Our Seas 2.0 Act. EPA will also provide periodic updates on the implementation of this strategy.

Commentary

This third installment in EPA’s series on building a circular economy is as ambitious as the earlier components. Readers are urged at the least to review the executive summary. Many of the recommendations are laudable, but aspirational. For example, Objective B (innovate material and product design) is what innovators are trying desperately to do and have been for years. The B1 goal of identifying “alternative materials, products or systems that can minimize impacts on human health and the environment” pretty much summarizes every business enterprise’s fondest wish. The tricky part is how best to achieve these goals. If we were to offer a comment in the “room for improvement” department it would be in the Strategy’s failure to connect the dots between the new chemical review process under the Toxic Substances Control Act (TSCA) and the Strategy’s goal of identifying “alternative materials.” New chemical innovation is the key to new product innovation, and the extraordinary challenges new chemical innovators face under TSCA will continue to prevent new chemicals from entering the market, undermining the success of achieving the Strategy’s goals.

We note also the recommendation for a “national producer responsibility (EPR) framework.” Any “national framework” would benefit from a hard look at the success and failure of state (and international) initiatives applicable to targeted products that have been in play for years. For a “national framework” to add value, it must consider lessons learned and the role of the federal government in a space that has been and continues to be filled by the states.


©2025 Bergeson & Campbell, P.C.
National Law Review, Volume XIV, Number 327