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Waste Management & EPR Compliance · Delhi NCR

Liability that does not disappear with a penalty.

EPR and waste compliance are no longer portal paperwork. They are continuing environmental-law obligations where target errors, false certificates and missed BWG duties can remain live after compensation is paid.

Environmental-law advisory, not form filing

We read the rule before we touch the portal.

Continuing liability

EPR shortfalls are not ordinary filing defects. The obligation must still be addressed, and certificate quality matters even when procurement was outsourced.

Defensible interpretation

We map your products, waste streams, invoices and portal declarations against the rule text before a filing position is taken.

NCR-current advice

SWM 2026, ELV 2025, used-oil EPR and packaging-EPR expansion create immediate questions for manufacturers, buildings, institutions and societies across Delhi NCR.

Tier 1 · Entry assessments

Fast answers before expensive assumptions.

These assessments are designed to establish whether the rules apply, where exposure sits, and what must be measured before you commit to a larger compliance programme.

Primary CTA · 48-hour assessment

EPR & Waste Liability Health-Check

For SMEs unsure whether they qualify as a Producer, Importer, Brand Owner or Bulk Waste Generator. We test status against quantities and thresholds, not business labels, and identify immediate exposure.

Solid Waste Management Rules, 2026

SWM Rules 2026 BWG Readiness Audit

For commercial buildings, factories, institutions, PSUs and large residential societies that may cross the 20,000 sq m, 40,000 litre/day or 100 kg/day thresholds. We assess readiness before the April 2026 regime bites.

Tier 2 · Recurring compliance

The operating engine for quarterly and annual obligations.

Registration is only the visible layer. The value is in defensible targets, measured data, vendor discipline and portal reporting that can withstand scrutiny.

Plastic, E-Waste, Battery, Used Oil and Tyre Waste

EPR Registration & Return Filing

CPCB portal registration, quarterly collection and recycling reporting, and annual recycling returns across the five major EPR streams. We treat this as table-stakes credibility, not the whole service.

Product mapping · HS-code classification · sales-volume analysis

EPR Target Calculation & Target Engineering

A single miscategorisation can cascade into a serious shortfall. We reconcile product categories, import adjustments and target percentages before they harden into portal declarations.

Extended Bulk Waste Generator Responsibility

SWM 2026 / EBWGR Ongoing Compliance Management

Four-stream segregation, wet-waste processing feasibility, composting or bio-methanation guidance, vendor verification and quarterly digital reporting where EBWGR certificates are needed.

Tier 3 · Specialist advisory

Where paperwork shops stop and legal risk work begins.

These mandates are built for businesses with complex streams, notices, historic filings or certificate exposure.

Forensic reconciliation

Pre-Audit & EPR Certificate Due-Diligence

We reconcile CPCB portal filings against GST, customs and recycler invoices before the regulator does, and test the legitimacy of EPR certificates because producers remain exposed to false credits.

Environmental Compensation response

Penalty Defence & Remedial Compliance

For shortfalls, notices and compensation demands. We design remedial compliance systems and help frame a credible response while recognising that compensation does not itself complete the physical recycling obligation.

Plastic · Batteries · E-Waste · Tyres · Used Oil · ODS

Multi-Stream EPR Architecture for Manufacturers

For auto, electronics and industrial manufacturers facing stacked regimes. We build one defensible architecture across overlapping obligations instead of separate, inconsistent filings.

ELV Rules 2025 · Used Oil EPR

ELV & Used Oil EPR First-Mover Advisory

New frameworks create early interpretive advantage. We advise on producer obligations, data architecture and implementation pathways before the market settles into routine templates.

Recently notified · Are you ready?

Fresh rules are creating fresh exposure.

The opportunity is local and immediate: many NCR entities are now within waste and EPR regimes they have not yet measured.

SWM 2026

Bulk Waste Generator responsibility expands

Floor area, water use or daily waste generation can bring buildings, factories and institutions into the new regime.

ELV 2025

Vehicle end-of-life obligations begin

Automotive producers and linked supply chains need an EPR view of scrapping, data and downstream accountability.

Packaging EPR

Material streams are widening

Paper, glass, metal and sanitary-product packaging expansions make product mapping and target design more important.

Start with the exposure map

Find out whether the obligation applies before the portal makes it permanent.

The Health-Check gives you a measured starting point: status, thresholds, waste streams, immediate exposure and the next defensible step.