Kerbside Dry Recycling Sample Clauses

Kerbside Dry Recycling. 2.1. The Waste Collection Authorities have historically carried the risks associated with recyclate market fluctuations resultant from their kerbside collection services. During the period 2014 – 2018 this has seen Materials Recovery Facility gate fee fluctuate by up to £20 per tonne. 2.2. The Suffolk Waste Partnership collectively recognise that emerging factors, including capital works on any new MRF contract, access to overseas markets and material price fluctuations, could result in increased financial pressures being placed on the Waste Collection Authorities in future years. 2.3. The Suffolk Waste Partnership also recognises that the Waste Disposal Authority could also face increasing financial pressures for dealing with recyclate through the operation of its 11 Household Waste Recycling Centres. 2.4. However, it is still in the best interest of the collective Suffolk taxpayer to support kerbside dry recycling until such time as it becomes more expensive than residual disposal via Suffolk’s Energy from Waste facility. 2.5. The mechanism set our below has therefore been agreed between the WCA’s and WDA to share any future cost burden and ensure District/Borough kerbside services remain financially viable: 2.5.1. Proposal based on variance in average ‘gate fee’ (i.e. MRF operating charge, including contamination disposal costs, minus material income) per tonne over a financial year. 2.5.2. Where the MRF gate fee is a cost, the WCAs will continue to take full risk on first £25/T in gate fee. 2.5.3. The WDA and WCAs to share the risk 50:50 on any additional gate fee cost in the range £25/T - £55.30/T. 2.5.4. The WDA will take 100% of the risk on any additional gate fee cost above £55.30/T. 2.5.5. £55.30/T is the point at which, factoring in the initial £25/T WCA risk, the impact of the 50/50 cost share, and the cost of haulage, the WCA net benefit from RPP is £0/T.
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