Disposal of waste alcoholic beverages from licensed premises regulatory guidance

Guidance for operators of licensed premises who have unused casked/kegged beer, and other similar beverages, arising due to the COVID-19 pandemic. The guidance applies only in Scotland.

SEPA expects people to have business continuity arrangements in place to ensure compliance with their SEPA permit or other environmental regulatory requirements during EU Exit and COVID-19.  We are clear we expect everyone we regulate to continue to comply with Scotland’s environmental laws. 

Where compliance with a SEPA Permit or other regulatory requirement is not possible for an individual site(s), a type of activity or for a sector, we may temporarily take a regulatory position that any failure to comply with those requirements will not be treated as a non-compliance for compliance assessment or enforcement purposes. This will be where that non-compliance is unavoidable and solely as a direct result of the impact of EU Exit or COVID-19 and will not lead to significant environmental harm.

We are only likely to consider taking a temporary regulatory position if the person contacts us at an early stage to advise us of a non-compliance or potential non-compliance, and we are satisfied that:

  • they have taken all reasonable steps to try and maintain compliance;
  • they will adequately manage any risks of harm to the environment or human health arising from the non- compliance.

If we take a temporary regulatory position we expect the person to:

  1. Tell us as soon as possible when they have, or will, become non-compliant;
  2. Comply with conditions attached to a temporary regulatory position
  3. Continue to meet all other Permit conditions or other environmental regulatory requirements not covered by a temporary regulatory position
  4. Return to compliance as quickly as possible. Any temporary regulatory position we take is likely to be time limited (normally to three months) but if the person can return to compliance quicker we will expect them to do so;
  5. Prevent and mitigate harm to the environment or human health;
  6. Follow the waste hierarchy in making waste management decisions and when waste is sent for re-use, recycling or disposal send it to a suitably authorised site.

SEPA expects people to have business continuity arrangements in place to ensure compliance with their SEPA permit or other environmental regulatory requirements during EU Exit and COVID-19.  We are clear we expect everyone we regulate to continue to comply with Scotland’s environmental laws. 

Where compliance with a SEPA Permit or other regulatory requirement is not possible for an individual site(s), a type of activity or for a sector, we may temporarily take a regulatory position that any failure to comply with those requirements will not be treated as a non-compliance for compliance assessment or enforcement purposes. This will be where that non-compliance is unavoidable and solely as a direct result of the impact of EU Exit or COVID-19 and will not lead to significant environmental harm.

This guidance is aimed at operators of licensed premises who have unused casked/kegged beer and other similar beverages arising due to the COVID-19 pandemic. It sets out a hierarchy of options available and the considerations to take into account when deciding how to deal with this waste.

 


 

Disposal of waste alcoholic beverages from licensed premises regulatory guidance

Contact information

For more information on disposal and recovering duty, businesses should contact the British Beer and Pub association.

Further advice on options within the waste hierarchy is available from a number of organisations such as:

Location of your nearest AD site: