Core
Tier 1 — Core: Battery EPR Reserve
Discharges the producer’s Regulation (EU) 2023/1542 obligations end-to-end — for every producer or asset owner of an industrial battery or BESS above 2 kWh.
Access is for professional counterparties. Identify your company and email, and state what you require. Required once per browser.
Battery EPR · waste · member states
LOOBA helps producers, recyclers and owners get compliant through the EU and member-state battery and waste labyrinth.
Two tiers
Core
Discharges the producer’s Regulation (EU) 2023/1542 obligations end-to-end — for every producer or asset owner of an industrial battery or BESS above 2 kWh.
Optional
Covers what sits outside the Battery Regulation entirely: ground-lease structures, landowners, senior lenders.
Markets
Cell manufacturers, pack assemblers, and anyone caught by the Article 44 inherited-manufacturer rule.
ProducersApproved-network operators: treatment capacity without custody of the producer’s EPR reserve.
RecyclersAsset owners of industrial batteries and BESS above 2 kWh — including ground-lease projects that also need site restoration.
OwnersThe regulatory clock
Regulation (EU) 2023/1542 requires producers to guarantee waste-management costs. Most producers and owners still have no recycler-independent answer to Article 58(7).
Digital Battery Passport
—days remaining
Mandatory from 18 February 2027 for LMT batteries, industrial batteries above 2 kWh and EV batteries (Article 77).
Reach out
Register with your company name and email, indicate who you are, and tell us what you want. Producers are asked for battery types as part of the information request.
Paul Aalberts · Zug, Switzerland · paa@looba.eu