BEYOĞLU PROFESSIONALPPWR-EPR COMPLIANCE SERVICES

About Beyoğlu Professional

EU packaging EPR and PPWR compliance, made practical for cross-border business.

We help exporters, marketplace sellers and e-commerce businesses understand what they need to do in each EU country, organise the data, complete the right compliance steps and keep the evidence in one operating flow.

Who we are

The hard part is not reading the regulation. It is running the country processes.

A seller may trade across one EU market, but packaging EPR is still operated through national registers, systems, reports, payments and evidence. We organise that fragmented work into a business process.

The problem

One EU market can still mean many separate EPR relationships.

Your business may need a different Producer analysis, registration, EPR system, reporting rhythm, payment route or representative in each destination country. A generic “EU registration” does not solve that.

What we built

One operating layer above country-specific compliance.

Company, product, packaging, sales and evidence data can stay central while each national registration, declaration and payment remains attached to the correct country.

Our principle

Useful work should start before a sales call.

Our assessments, calculators, country guides, checklists, templates and official-source tools are designed to help you understand and prepare the work before deciding what you want us to operate.

What we do

From the first country check to recurring reporting.

We coordinate the practical steps between your sales, packaging data and the national EPR system. The exact route always depends on the Producer, destination country and sales model.

Producer status & registration

Identify the responsible Producer and prepare the country registration route where registration is required.

Packaging EPR system

Connect the correct PRO or other national EPR system and keep the relevant membership or system evidence.

EPR representation

Check whether an EPR Authorised Representative is required and coordinate the country-specific mandate where a legally qualifying structure is available.

Declarations & reporting

Turn packaging and sales data into the recurring country declarations that apply to the business.

Regulatory charges & funding

Keep authority, PRO, system, levy, tax and other regulatory amounts separate from Beyoğlu service fees and prepare funding before due dates.

Evidence & marketplace proof

Keep registration, system, declaration, payment and marketplace-facing evidence linked to the correct country account.

How we operate

Enter the core business data once. Apply the right rule in each country.

Your company and packaging facts are reusable. The legal relationship is not. We keep shared data central while national obligations remain separate.

01

Seller

Legal entity, establishment, sales model and customer route.

02

Product

SKU, brand and the commercial product being sold.

03

Packaging

Components, materials, weights, levels and units placed on the market.

04

Country rules

Producer status, registration, EPR system, reporting and representation requirements.

05

Compliance action

Registration, declaration, regulatory funding, payment and recurring tasks.

06

Evidence

Proof that the required country work was completed and can be shown when needed.

One Beyoğlu relationship can coordinate several countries, but it does not turn them into one legal registration or one EU-wide representative mandate. Each national relationship remains distinct.

European rollout

We activate markets only when the legal and operational route is ready.

A target date is a plan, not a claim that a service is already available. Country availability is confirmed only after the relevant legal structure, reporting route, payment process and operating controls are ready.

PHASE 01
30 Nov 2026

Vienna + first four markets

Planned European headquarters in Vienna and initial operating structures for Austria, Germany, France and Spain.

Planned
PHASE 02
30 Jan 2027

Green-list countries

Expansion into countries where the representation and EPR operating route is sufficiently clear for controlled activation.

Planned
PHASE 03
30 Apr 2027

Blue-list countries

Second-stage expansion after country-level legal, reporting, payment and operational verification.

Planned
PHASE 04
30 Jul 2027

Amber-list countries

More complex markets added after the required readiness, implementation and operating conditions are confirmed.

Planned

Regulatory methodology

We show where an answer comes from—and when it was last checked.

For a business decision, “someone wrote it online” is not enough. We separate binding law, authorities, registers, EPR systems and marketplace policies, and we keep verification status visible.

Country-specific firstWe do not copy one Member State’s registration or reporting process into another country.
Primary sources firstWe prioritise legislation, competent authorities, official registers and recognised operating systems before secondary explanation.
Freshness is visibleRules, tariffs, deadlines and operating instructions that can change should carry a clear review or verification date.
Uncertainty stays visibleIf implementation is pending or a point cannot yet be confirmed, we show the status instead of inventing certainty.

Regulatory Knowledge Layer

Country rulesProducer definition, registration, reporting and national implementation.
EPR & representationProducer-responsibility systems and EPR Authorised Representative requirements.
Fees & system dataAuthority fees, PRO/system tariffs, thresholds and reporting logic.
Authorities & official sourcesRegisters, competent authorities, official guidance and primary legal texts.
Deadlines & review datesReporting cycles, payment dates and freshness tracking.

Commercial model

Simple Beyoğlu fees. Regulatory money stays separate.

Our service fees are shown separately from authority fees, PRO or system contributions, taxes, levies, deposits and other country-specific regulatory charges.

Country activation
€25 + applicable VAT

One-time, non-refundable Beyoğlu service fee for each newly activated country compliance relationship.

Declared parcel
€1 + applicable VAT

Beyoğlu operating fee for each declared parcel entering the relevant compliance workflow.

Regulatory charges
Separate

Authority, register, PRO, system, tax, statutory levy, DRS, deposit and legally required third-party charges are not presented as Beyoğlu revenue.

Transparency

Clear about what we do—and what we do not claim.

Compliance is easier to manage when service scope, legal status and regulatory money are not blurred together.

One representative does not automatically cover the EU.

EPR representation is assessed country by country and depends on the applicable national requirements and a legally qualifying appointment.

A public tool is not an authority approval.

An assessment, calculator or generated document can prepare the work, but it does not itself create a registration, mandate or acceptance by an authority.

Planned operations are shown as planned.

Future entities, offices and country services are not presented as operational before the relevant structure is actually ready.

Regulatory money stays separate.

Customer-funded authority, PRO, system and other regulatory liabilities are not described as Beyoğlu service revenue.

Start by mapping your countries. Then decide what you want us to operate.

Use the free assessment and public tools to understand your position first. When you are ready, we can discuss the countries and operational work that need managed support.