EPR in Czech Republic: Registration, Fees & Rules 2026

Seznam osob, the EKO-KOM near-monopoly, and what a foreign seller has to file

By Daniel Vaknine8 min read

To sell packaged goods into the Czech Republic, you register in the Seznam osob list and, in practice, join EKO-KOM, the single authorised packaging scheme. A narrow national release once spared sellers below 300 kg of packaging and CZK 25,000,000 of turnover a year, but since 12 August 2026 that release no longer removes the EU-law obligation sitting above it.

The Gothic spires and flying buttresses of St. Vitus Cathedral within Prague Castle, seen from below against a pale sky

At a glance

Czech Republic flagEPR streams in Czech Republic

Each stream carries its own producer duty, register and deadline here.

Active now

· 5
  • PackagingIn force
  • WEEE / electronicsIn force since 4 July 2012
  • BatteriesIn force since 18 August 2025
  • Single-use plasticsIn force since 3 July 2021
  • TyresIn force

Partial duties

· 1
  • End-of-life vehiclesPartial since 21 October 2000

Upcoming

· 2
  • TextilesFrom 17 April 2028
  • Fishing gearAdopted, not yet operational
2 producer registers

Facts last reviewed 1 September 2026

Updated 19 August 2026: revised now that the PPWR (Regulation (EU) 2025/40) applies, since 12 August 2026, and the § 15a national release can no longer be read as an exemption from packaging EPR.

What makes Czechia distinctive is that near-monopoly. One scheme sets the material tariffs almost everyone pays, which makes your compliance straightforward to map, but leaves you with little room to shop around on price.

Understanding that structure is the shortcut to Extended Producer Responsibility here. Work out which of the two national registers your products belong in, affiliate with the right scheme, and report your volumes accurately to the Ministry of the Environment.

EKO-KOM: the only authorised packaging scheme (for now)

Packaging is where most online sellers meet Czech EPR, and here the market runs through one door. Under the Packaging Act (Act 477/2001), you can technically fulfil your recovery and recycling obligations individually, but the practical route almost everyone takes is to affiliate with EKO-KOM, the country's authorised producer responsibility organisation. You declare the packaging you place on the market by material and weight, and EKO-KOM invoices a contribution scaled to that footprint. There is no flat annual sticker price: a business shipping mostly lightweight cardboard pays very differently from one shipping heavy glass or mixed plastics.

EKO-KOM's single-scheme position is worth watching rather than assuming as permanent. A challenger, REMA AOS, has had an application pending with the ministry for some time and even runs a trial reporting portal, but no second scheme has been authorised to date. For now, treat EKO-KOM as the effective single counterparty for packaging while keeping an eye out for a competitor licence. If a second scheme is authorised, you would gain a genuine choice of provider for the first time.

Two registers, two laws: Seznam osob and Seznam vyrobcu

Czechia keeps producer responsibility on two lists under two laws, both overseen by the same regulator. The split decides which list holds your registration, not who you answer to.

  • Seznam osob is the packaging register under Act 477/2001. This is the entry point for anyone shipping packaged goods, and it pairs with the EKO-KOM affiliation described above.
  • Seznam vyrobcu is the register for "selected products" under the End-of-Life Products Act (Act 542/2020): electrical and electronic equipment, batteries, and tyres. Electronics duties have applied since 4 July 2012, tyres run under a national scheme, and battery obligations follow the EU Batteries Regulation (EU) 2023/1542, in force from 18 August 2025.

The two Czech lists are administered by the Ministry of the Environment (MZP) through the MZP's VISOH2 information system. One quirk is worth flagging for sellers of electronics and tyres: the recycling fee must be itemised separately on invoices for those products, but for batteries the law bars you from listing it separately. An amendment before the Czech Parliament would move battery reporting to the Regulation's five-category model, so the detail of what you report is likely to shift.

End-of-life vehicles are the deliberate gap. The Czech Republic runs only partial producer responsibility for vehicles under the ELV Directive 2000/53/EC, and vehicles are excluded from the end-of-life producer register, running a separate take-back arrangement instead. Single-use plastics carry their own duties under the EU Single-Use Plastics Directive, applicable since 3 July 2021, and plastic fishing gear adds a lighter record-keeping duty that is still being brought fully into scope.

The 300 kg release, and how the PPWR narrows it

The duty reaches producers, importers, and distance sellers who place goods on the Czech market. Because the § 15a release needs both of its legs, at or below 300 kg of packaging a year and at or below CZK 25,000,000 of turnover, an online store of any real size was always an obligated producer, and one that crosses either line has 60 days from the day the duty arises to lodge its application for entry in the Seznam osob (§ 14(4)).

Note also how narrow the release always was: it covers §§ 10-15 only, so the rest of the Packaging Act applies to you even below both figures. Producers file an annual report to the ministry unless a collective scheme, such as EKO-KOM for packaging, reports on their behalf.

Read the § 15a figures as a national administrative relief rather than an exemption from packaging EPR. Since 12 August 2026 the PPWR, Regulation (EU) 2025/40, applies directly in Czechia: Article 45(1) attaches extended producer responsibility to the producer that first makes packaging available in a member state and sets no turnover or volume de minimis for it, and Article 44(2) requires registration in that member state.

What the Regulation gives a small producer instead is Article 44(8) simplified reporting, the reduced data set of Annex IX Part B point 2 filed annually by 1 June, for anyone who first made available less than 10 tonnes in a calendar year. How the Czech ministry and EKO-KOM reconcile § 15a with that is a national question we cannot answer from the Regulation, so confirm your position with them rather than assuming the 300 kg and CZK 25m pair still shields you.

No direct registration for non-residents, unlike Germany

The point that trips up cross-border sellers is representation, and here the PPWR strengthens rather than softens the advice. For single-use plastics, a foreign producer of the listed items must appoint a Czech authorised representative, and that route is used across the registered streams. Unlike EPR in Germany, where a foreign seller can register directly from abroad, a non-resident distance seller in Czechia works through a locally established representative who holds the registration and manages ongoing reporting.

On top of that, Article 45(3) of the PPWR now requires a producer that first makes packaging available in a member state without being established there to appoint, by written mandate, an authorised representative for extended producer responsibility in that member state, so for packaging the appointment is an EU-law requirement too.

If you sell only furniture, toys, graphic paper, DIY and garden goods, sports and leisure equipment, construction materials, waste oils, or recreational boats, note that the Czech Republic operates no EPR scheme for those categories today. In that case, your only live duty is likely to be for the packaging around them, plus any batteries or electronics built into the product. When in doubt, check which EPR duties apply to you before you ship.

The EKO-KOM contribution, and the registers the Ministry polices

Packaging costs are driven almost entirely by your EKO-KOM contribution, calculated on the exact material mix and weight you place on the market, so the honest answer to "what will it cost" is "it depends on what you ship". Electronics, batteries, and tyres carry their own recovery contributions on top, reflecting the cost of collecting and treating each product at end of life. Foreign sellers should also budget for the professional fees of the authorised representative who fronts their registration.

The Ministry of the Environment maintains the national registers and oversees compliance. Selling into the market without a valid registration puts your listings and market access at risk, since a missing registration number is the first thing a compliance check looks for. Getting the registration and the reporting right is far cheaper than unwinding a suspension after the fact.

Deposit-return: not live in Czechia, but PPWR is pushing for it

The Czech Republic has no operational national deposit-return system at the time of writing. The pressure is coming from the EU rather than a domestic scheme already in place: the Packaging and Packaging Waste Regulation requires member states to reach a 90% separate-collection rate for single-use plastic beverage bottles and metal cans by 2029, and a deposit-return system is the usual way to hit that target. If you sell beverages in those formats, check the current status before you ship, and treat any future deposit scheme as separate from your EKO-KOM packaging obligations rather than a replacement for them.

The compliance calendar for Czech sellers

DateWhat applies
21 October 2000End-of-life vehicles fall under the ELV Directive 2000/53/EC (partial EPR; vehicles sit outside the producer register)
4 July 2012WEEE obligations apply; electronics producers register in Seznam vyrobcu
3 July 2021Single-use plastics duties apply under the EU directive
1 January 2025Separate municipal textile collection becomes mandatory
18 August 2025EU Batteries Regulation (EU) 2023/1542 EPR obligations apply
12 August 2026The Packaging and Packaging Waste Regulation (PPWR) applies across the EU; the EPR obligation stops depending on national volume or turnover releases, and under 10 tonnes a year becomes simplified reporting
17 April 2028A textile and footwear EPR scheme must be in place under the 2025 EU textiles directive
2029PPWR's 90% separate-collection target for single-use plastic bottles and cans takes effect

Sources:

Frequently asked questions

Do I need to register with EKO-KOM to sell in the Czech Republic?
In practice, yes. EKO-KOM is the only authorised packaging scheme in the Czech Republic, so packaging producers either take the individual-compliance route or affiliate with EKO-KOM to meet their recovery obligations. You report your packaging volumes by material and weight and pay a contribution based on that footprint.
Is there a minimum sales threshold for EPR in the Czech Republic?
There is a narrow national release, and since 12 August 2026 it can no longer be read as an exemption from the EU obligation. Section 15a(1) of the Czech Packaging Act (477/2001 Sb.) releases you from the duties in sections 10 to 15 - the take-back and recovery obligations, entry in the Seznam osob and the annual report - only if the total packaging you place on the market in a calendar year does not exceed 300 kg AND your annual turnover does not exceed CZK 25,000,000. Both conditions must hold, exceeding either brings the full duties, and the proof burden is yours. Above that sits Regulation (EU) 2025/40, which applies directly since 12 August 2026: Article 45(1) attaches extended producer responsibility with no turnover or volume de minimis and Article 44(2) requires registration in the member state. Below 10 tonnes a year the Regulation's own relief is Article 44(8) simplified reporting, not silence. Do not rely on the Czech figures without confirming their current status with the ministry or EKO-KOM.
Do foreign online sellers need a Czech authorised representative?
For single-use plastics, a foreign producer of the listed items must appoint a Czech authorised representative, and the same route is used across the registered streams. A non-resident distance seller cannot register in the same self-service way Germany allows, so budget for a local representative to hold your registration and file your reports.
What is the difference between Seznam osob and Seznam vyrobcu?
Seznam osob is the packaging producer list under Act 477/2001. Seznam vyrobcu is the list for producers of electronics, batteries, and tyres under Act 542/2020. Both are held by the Ministry of the Environment (MZP) through the VISOH2 information system, so the split is about which list holds your entry, not who oversees it.
Does the Czech Republic have a deposit-return system?
Not an operational national one at the time of writing. The EU's Packaging and Packaging Waste Regulation requires member states to reach a 90% separate-collection rate for single-use plastic bottles and metal cans by 2029, which pushes countries toward a deposit-return system. Any such scheme would run separately from EKO-KOM packaging EPR.

Reviewed by Anton Kröger