BAN THE BAG IN NSW, VIC AND WA NOW!

The pressure is on the three remaining states without a plastic bag ban to take action before the next Environment Ministers meeting end of June 2017. The next few weeks are critical for increasing the pressure on the NSW (Liberal), Victorian (Labor) and West Australian (Labor) Governments to implement a ban on single-use lightweight plastic bags.

Give the oceans a voice by sending them a personal email asking for a ban on bags, and explaining why you care. It doesn't have to be a long email, but please try to make it sound personal as it would have more weight. We need to show them that we really want to protect our oceans and precious marine life.

Tell them the community is ready to #banthebag. We have waited too long. No more excuses!

 


00 PLASTIC BAGS HAVE BEEN LITTERED IN AUSTRALIA

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    NSW Shadow Minister for the Environment, Penny Sharpe is already on board! Please email your state representatives to take action:

    In my view the immediate and effective policy response from State jurisdictions on plastic bags should be:

    To ban all single use HDPE bags up to 70 microns. This ban should apply to all wholesalers, importers and retailers who provide these products to their customers both in shop and online, including all small business.

    The ban should include all identified 'biodegradable and degradable' bags up to 70 microns (standards used in current laws for biodegradability/compostability do not prevent microplastic pollution – see below).

    Specific purpose bags less than 70 microns such as barrier bags could be exempted, but only where there is a demonstrated health, food safety or fit-for-purpose reason and where no viable alternative exists. Any such exempted bags should be uncoloured and unbranded to avoid increased ingestion by marine life.

    Ensure targeting of bait bags and ice cube bags which are usually used outdoors and represent a particular problem in the litter stream.

    A transition period of 6 months should be established between an announcement and introduction of any bans, to allow for alternative arrangements and a public/retailer education program.

    An effective penalty and resourced compliance regime.

    A levy not be supported due to administrative complexity and the lack of long term impact.

    An Intermediate Policy Response (a continuous improvement strategy) should be:

    The establishment of an expert taskforce to review and report back to government within one year on recommended actions to restrict other forms of single use plastic packaging not included in the immediate policy. This review should include the identification of alternative products and practices to single use plastic packaging.