Environmental Procurement In New York City:
Making the Case for Enacting Comprehensive New
Legislation
Marjorie J. Clarke
Center for Applied Studies of the Environment
City University of New York
89th Annual Meeting & Exhibition
Air and Waste Management Association
Nashville, Tennessee
June 23-28, 1996
INTRODUCTION
Environmental procurement, or purchasing, is the
manner by which consumers of goods, be they large consumers, such as companies,
government agencies, or institutions, or smaller consumers, such as
individuals, buy products and packaging such that degradation to the
environment is minimized. All products
and packaging require materials in their manufacture, and these materials
consume renewable as well as scarce natural resources, such as trees, oil, and
metals. Environmental impacts to air,
water, and land occur when raw materials are refined, manufactured,
transported, and marketed. When products
and packaging have been deemed to be consumed, their disposal causes other
environmental problems and is quite costly to municipalities. Purchasing items with less packaging,
avoiding disposable products, selecting durable products with longer
warrantees, buying remanufactured or “pre-owned” goods, and buying products and
packaging which has recycled content and which, themselves are recyclable, are
just a few of the methods of environmental procurement, since they reduce the
environmental impacts of purchasing.
These procurement practices reduce natural resources consumption and
environmental degradation, with the added bonus of stimulating new industrial
activity in recyclables processing and remanufacture, and goods maintenance,
repair, and refurbishment, and source-reduced product and packaging design.
The enactment of Local Law 19 of 1989, New York City’s
mandatory recycling law, was responsible for establishing the beginnings of
environmental procurement, or purchasing, by New York City government. In practice thus far, environmental
procurement has been largely limited to price preferences for recycled content
paper products purchased. The broader
issues of environmental procurement, for example product durability,
extended/transferable warrantees, reuse, remanufacturing, and reduced
packaging, and advancing the extent of environmental procurement in practice,
have not been resolved in local legislation thus far in any meaningful
way. But the topic is under debate, as
proposals surfaced in 1993 and 1994 from the City Council and the
Administration. In 1995 a coalition of
environmental organizations worked with Council staff to introduce a bill to
expand the scope of environmental procurement in New York City.
This paper describes environmental procurement, its
history in New York City, the structure of the City's current recycled content
procurement program; the successes and
failures of this program, and subsequent efforts to expand the applicability
and effectiveness of environmental procurement by the City government. Most significant of these later efforts,
reported here by one of the primary authors, is Intro. 509, the legislation
drafted by members of the Manhattan Citizens' Solid Waste Advisory Board, the
Environmental Defense Fund (EDF), and the Natural Resources Defense
Council. (See acknowledgements for more
information.) This landmark legislation,
which could be used as a model for other jurisdictions, is described briefly,
section by section. The substance and
politics of the debate and the current status of the bill are also described.
THE EVOLUTION OF
ENVIRONMENTAL PROCUREMENT
Even though the concept was introduced in the
Resources Conservation and Recovery Act in 1977, environmental procurement took
years of education, legislation, and preparation for the time to be right for
the idea to proliferate widely. It was
during the 1970s that the first, basic laws were introduced to clean the air
and water, to protect coastlines and species, and to manage solid and hazardous
wastes. New environmental and energy
agencies were established at all levels of government in order to implement the
requirements of the new laws. Awareness
that environmental protection was something in which individuals, businesses
and government all have a part to play was just emerging.
By the 1980s the concept of the waste management
hierarchy was introduced, though to this day, little attention has been paid to
the uppermost priority, waste prevention.
But recycling has slowly caught on in a big way, and has become the
widely recognized symbol of individual commitment to preserving the environment. But for several years, while recycling
collection programs were introduced tentatively around the country, and
residents and businesses learned how to separate their recyclables, slower
progress was made in developing markets for the separated recyclables. Municipalities and counties have typically
not made it as high a priority to foster market development for the recyclables
which they have pushed hard to collect.
Manufacturing companies were not typically quick to change production
lines at existing factories, or build new ones, to take in the recyclables for
use as feedstock (though this did catch on in the last decade). This reticence was due, in part, to the risk
that the supply of recyclables might dry up due to factors outside their control
(e.g., lack of commitment by government to fund recycling programs, which has
been an issue in New York City and other municipalities, the risk that people
might lose interest in recycling, that the quality of the recyclables might not
be good enough, or that research and development was necessary to fashion new
products using the unusual feedstock.
Another barrier to building markets for recyclables has been government
policies, and in some cases tax structures and legislation which preferred or
required products purchased by government to be made from virgin materials, and
to be, in all respects a new product.
Consumers have not begun to realize, until recently,
that their responsibility for recycling does not end at the curb. This is true not only of individual
consumers, but also of larger purchasers, including businesses and
government. This point has been
reflected in the Ad Council’s public service announcements, which several years
ago cautioned that unless we are all recycling, we are “throwing it all
away”. Now these ads have started to
focus on the need for consumers to complete the recycling loop by buying
products made of recycled materials. As
recycling programs become stronger and a greater number and quantity of
materials are collected, the 1990s are becoming a decade where the potential of
recycling as a viable part of economic development, as well as environmental
protection, is being realized.
But again, this is proceeding at a cautious pace. Many bills and executive orders have focused
narrowly on structuring procurement preferences to encourage more government
purchases of recycled content paper.
There are some state guidelines for many categories of recycled goods,
and even remanufactured goods, but mandatory requirements are not as
common. Since paper constitutes 38% of
the waste stream, it is logical to have started such programs in this
manner. But since governments make up a
significant portion of the economy, and therefore the buying power, there is a
great deal of untapped potential for government to stimulate markets for many
other materials in addition to paper.
Recycled materials for which markets can be fostered by procurement
requirements include rubber, glass, metals, and plastic, among others.
But environmental procurement need not be limited to stimulating
purchases of products containing recycled materials. Environmental procurement, broadly defined,
can also include the purchase of products and packaging which incorporate solid
waste prevention objectives, as well as water and energy conservation measures.
This will accelerate the design of lower volume and toxicity, recyclable,
reusable, and higher durability products and packaging, reducing the cost and
environmental impacts of solid waste management in the long run. Procurement initiatives need not be limited
to addressing the increased purchase of environmentally beneficial products and
packaging, but can also be structured to eliminate any barriers to such
purchases still codified in government policy or statute. Add to this expanded view increased purchase
of used products which have been repaired, reconditioned, or remanufactured
(e.g., building materials such as windows, doors, bricks, toilets, and
furniture and electronics), and government’s potential to spur economic
development in the decaying repair industry and the nascent remanufacturing
industry becomes clear.
HISTORY OF ENVIRONMENTAL
PROCUREMENT IN NEW YORK CITY
Early Local and State Laws
In 1987 the first City statute addressing environmental
procurement (Local Law 20 of 1987) was
enacted, allowing that purchases need not always be given to the lowest
bidder. It was the first legal authority
for giving a price preference of 10% for recycled paper products. Local
Law 19 of 1989, the City’s mandatory recycling law also began to address City
government procurement of non-paper products with recycled content, stipulating
that a price preference of 5% may be given to vendors supplying products with
recycled content starting in 1991. More
than three years later the Department of General Services' (DGS) final rules
regarding eligibility for a price preference for goods made with recycled
content were finalized.
In 1991 New York State’s General Municipal Law (Sec.
104-a) was amended to enable municipalities and counties to offer a 10% price
preference for non-paper recycled products as well as for paper. An additional 5% price preference was allowed
for materials derived from the New York State waste stream.
Mayoral Directives
In 1991 in an effort to spur more purchases of recycled
paper, the Mayor of New York City issued Directive No. 91-5 requiring agencies
to use letterhead and business card stock with 50% recycled content. In order to facilitate implementation of this
Directive, DGS developed bid specifications specifying this minimum
content. Additionally, curbside plastic
(LDPE) containers were specified to have 25% recovered material, 10% of which
was post-consumer.
In 1992 another Mayoral Directive on Waste Prevention
(No. 92-5) was issued requiring Mayoral agencies to implement specific waste
prevention practices as well as report twice each year to the Mayor’s Office of
Operations on the progress of waste prevention initiatives. This directive specified a number of procurement practices for agencies to
adopt. Some of these included asking
vendors to backhaul packaging for reuse, distributing vendor surveys to spark
new ideas to reduce packaging, and revising bid specifications to require waste
prevention in purchasing. In addition,
this directive laid out a number of in-house waste prevention practices (e.g.,
by getting off unwanted mailing lists, using email, doublesided copying,
etc...) and directed agencies to salvage
reusable goods. To date, according to
the Department of Sanitation (DOS), the response to this has been spotty, with
some agencies following the directive to some extent, and others not at
all. No comprehensive, quantitative
assessment of the tonnage saved nor the dollar amounts involved has been done.
Current Procurement Practices and Achievements
This first step towards environmentally responsible
procurement has resulted in the purchase of large quantities of recycled paper,
but relatively little procurement of recycled content products other than
paper, or reflecting waste prevention has occurred. Since 1992 there have been contracts for 40
categories of paper products with varying levels of recycled content. According to DGS, “during fiscal year 1994,
25 contracts with an estimated value of $5.9 million were awarded for paper
products with recycled content. This
represents 50% of the estimated $11.9 million which will be spent on paper
having recycled content potential.” But by comparison, the total estimated
value of purchases of goods with recycled content in FY94, including paper and
printing, totaled a little over $18 million.[i] Further, the
percentage of post-consumer content has been disappointing, in most cases
around 10% for paper and envelopes, despite wide availability of 100%
post-consumer content papers for some years.
The City’s purchases of non-writing papers has had more post-consumer
content: 25-50%: boxes and paper towels,
70%: napkins, and 95%: toilet tissue.
The good news is that just within a year or two DGS’
efforts immediately spurred a jump in paper and print contracts, from $1.73
million in 1989 to $7.13 million in 1990, due mostly to paper contracts, and to
$8.06 million in 1991, with most of this marginal increase due to print
contracts. And by FY94 all twenty-five
of the paper contracts were awarded without the need to utilize the price
preference provision in bid solicitation.
About a third of the printing contracts were awarded without the use of
the price preference.
Non-Paper Products have been much slower to achieve
these results. The DGS report indicates
a rocky road in implementing environmental procurement in this area, with no
purchases of non-paper contracts with recycled content until 1990. Such purchases went from $4.1 million in that
year to $9.9 million in 1991, then down to $700 thousand in 1992, up to $2.1
million in 1993 and $11.3 million in 1994.
The total list of contracts for non-paper products with recycled content
during the first five year period includes:
asphalt mixtures, polyethylene bags, liners and sheets, ceiling tile,
hydraulic and lubricating oils, plastic lumber and pilings (for a special
demonstration pier project), barricades
and traffic cones, weatherproof fiberboard, antifreeze, bathroom partitions,
and plastic desk trays. Asphalt has
accounted for 75% of the dollar value of these contracts, and with much of the
asphalt having 10% secondary material.
The Tiffany Street pier project accounts for another 7% of the total
dollar value, but the recycled content ranges from 75-100%. Most of these purchases were made without the
use of the price preference. However,
since DGS purchased recycled content in such a small number of non-paper
products, the lack of the use of price preference may actually be indicative of
a narrowly targeted program rather than a broad-based policy of advertising to
all potential bidders regarding the City’s desire for recycled products in all
categories of procurement.
Remanufactured products is another area of
environmental procurement that the City has just begun to explore. In FY93 three contracts for a little over $1
million were awarded for purchasing remanufactured photocopiers over a
three-year period. In FY94 a $370,000
3-year contract was awarded for buying remanufactured toner cartridges, and
$150,000 for refrigerant recovery recycling systems.
To place these purchases in perspective, It is
important to note that total DGS procurement of all goods for FY94 was
on the order of $625 million, though cars, fuel, and food represent the vast
majority of the total.[ii] And other
agencies do additional purchasing. As
DGS did not provide information on the percent of total purchases in its annual
report, a more accurate evaluation is not possible. DGS is laboring under considerable
restrictions which impede its ability to implement and document environmental procurement. First, starting in the latter part of FY94,
with the advent of the most recent administration, the already small staff at DGS
dedicated to environmental procurement was decimated (down to one individual). In addition to a near lack of an operations
budget, DGS has stated in public hearing that its computer system is quite old
and is, therefore, in dire need of upgrading to track adequately its purchases
of recycled products and products which prevent waste.[iii] Such
inadequacy would make it difficult to advertise to and keep track of a broader
range of potential bidders with a wider selection of product types and
specifications.
Because of these reasons, the City has not developed a
comprehensive strategy to procure products and packaging which incorporate
waste prevention principles, such as durability, reusability, recyclability,
and reduced volume and toxicity.
Further, there are no plans to advance such a strategy, or to gather
information on the environmental attributes of products it purchases in a
thorough or systematic way, or to document it (other than recycled content, and
in some cases remanufactured product purchases, which DGS does now). Without an improved capacity for data
acquisition, processing, and reporting, implementation of waste prevention
measures in procurement is hindered.
The City has some warehouse space and limited
capability to foster the reuse of office furniture and other durable
products. However, this capability is
also not optimized in that current information about the warehouse inventory is
not readily available to those who could use it. A computerized, user-friendly, living
database, accessible by all City employees, is needed to encourage maximum
utility by the City agencies of durable products the City has purchased. Likewise, increasing the City's capability to
repair and maintain its durable products will lengthen their useful lifespan,
reduce collection and waste disposal costs, conserve space at the City’s only
landfill, and reduce environmental impacts associated with waste disposal.
Thus, it is clear that this first step towards
environmentally responsible procurement due to Local Law 19 resulted in the
purchase of recycled paper and a few other recycled products, but there are
many aspects of environmental procurement which remain unexplored by the
City. To this end, it is desirable to
amend Local Law 19 to increase the breadth and effectiveness of the City’s procurement of all kinds of
products and packaging, which has recycled content, reduced volume and
toxicity, and which are durable, reusable, remanufactured, and recyclable. By redirecting purchases towards such
products and packaging, the City saves money by reducing the purchase and
disposal of disposable products and excessive packaging, and by avoiding the
adverse environmental impacts caused by having to deal with products containing
toxic constituents. Such a move can also
foster markets for recovered materials and local economic development.
City Council
In early 1993 these realities were recognized by the
Council Committee on Environmental Protection, and it proposed Intro. 629, a
bill which would increase the price preferences for the City’s purchase of
products with recycled content, and which would establish the government as a
major market for the City’s own recycled paper.
Responsible bidders offering goods with at least 50% of recycled content
taken from New York State’s waste stream would be able to charge up to
15% more than those selling non-recycled products. Goods with at least 50% of recycled content taken
from the City’s waste stream would have a cost premium of 20%. The price preference for all other recycled
products would be increased from 5% to 10%, and the additional premiums for New
York State and City content would also apply.
Though this bill would have served to strengthen Local Law 19 provisions
on environmental procurement, it did not advance to the Council floor, but did
serve to get DGS and DOS to collaborate on a new environmental procurement
legislative package.
Intro. 816
During 1993 the DGS and DOS worked hard to prepare a
more comprehensive amendment to Local Law 19 of 1989 while incorporating some
of the provisions proposed in the earlier City Council-initiated bill. At the request of the Manhattan Citizens’
Solid Waste Advisory Board (MCSWAB), one of the borough Boards established by
Local Law 19, members of MCSWAB, the Citywide Recycling Advisory Board (CRAB),
and the EDF were invited to participate in discussions. As the Waste Prevention and Procurement
Committees of the MCSWAB had been developing their own recommendations for City
environmental procurement legislation for some months, these members provided
critiques and alternative proposed language for the legislation, some of which
was included in the Administration legislation.
In the end the bill would have added the following provisions to the
City’s procurement requirements:
1) consideration of recyclability and waste prevention
in DGS’ specification and practice review,
2) consideration of packaging as well as products in
DGS’ specification and practice review,
3) application of the results of this review process
to all City agencies
4) increase in the price preference to 10% (higher for
materials generated in New York City) for products that use waste from the
City’s waste stream,
5) multi-material products (which are difficult to
recycle) and nonessential packaging would not be eligible for a price
preference,
6) various agencies would have to develop plans on how
they would implement waste prevention procurement,
7) timelines by which each agency would be required to
implement its waste prevention plan, and
8) an annual report outlining activities and
achievements.
Towards the end of 1993 the Council introduced the
Administration bill as Intro. 816.
However, since the Council session expired at the end of 1993 with new
elections, the bill died at the end of 1993.
Citizens’ Advisory Board contributions -- The birth of
the current bill
Discussions on the subject of environmental
procurement legislation, particularly focused on waste prevention measures, was
begun in 1992 by the MCSWAB Waste Prevention committee. When Intro. 816 expired, this committee’s
drafts, along with those focused on recycled content procurement begun by the
Procurement committee, were merged with some of the provisions from Intro. 816
during many discussions involving a task force from these two committees, the
EDF and NRDC. The philosophy behind this
coalition’s efforts has been to broaden the implementation of environmental
procurement in New York City to include more categories of recycled content
products and waste prevention, which it does by strengthening provisions in
Intro. 816 and adding new requirements.
Another important intent of the task force was to ensure that a minimum
amount of environmental purchasing actually takes place. Modest price preferences may encourage more
purchasing of certain products, but then again, they may not. Thus, one of the cornerstones of the proposal
is a timetable of dates by which specific numeric goals, or set-asides, would
be achieved. It was felt that this
mechanism would make more certain the speedier implementation of environmental
procurement, and spur faster progress in development, by industry, of new
innovative products, using more recycled feedstocks and incorporating waste
prevention objectives. The prototype
bill from this effort was submitted to the City Council in March of 1994, and
was further modified by the City Council staff prior to introduction.
INTRO. 509
In furtherance of these objectives, 17 members of the
City Council (one-third of the entire body) introduced Intro. No. 509 on
January 19, 1995 as a Local Law “To amend the administrative code of the City
of New York, (Local Law 19 of 1989) in relation to the purchase by the City of
products, materials and equipment made with post-consumer material and the
incorporation of waste prevention measures into the City’s procurement
practices”. Features of the bill, still
under consideration, include the following provisions:[iv]
Definitions
Some definitions have been added and modified to the
language in Local Law 19. Some of these
follow:
·Recycled Product is newly defined to be a product, material or equipment which contains
at least the minimum amount of post-consumer material as designated by USEPA,
New York State, or DGS, whichever is highest.
Previously the term “secondary material” was used instead of recycled
product.
·Secondary Material is modified to include post-consumer and/or preconsumer material.
·Post-Consumer Material now is expanded to apply to packages and
materials in addition to products.
·Waste Prevention is newly defined to include practices including but not limited
to: reuse of products or packaging,
expansion of repair and maintenance programs for products, use of City surplus
and warehoused items, use of remanufactured products, purchase of durable
products, including products that offer extended warranties, and reduction in
the use of products or packaging through the purchase of products in bulk or
concentrate.
·Remanufactured
is newly defined to mean a used product or part which has been repaired or
otherwise restored to serviceable condition, meeting applicable performance
specifications.
·Reusable is
newly defined to be a product or package designed to be able to be used a
minimum of five times for its original intended purpose.
·Practicable
is defined as capable of being implemented without violating the following
criteria: reasonable performance
standards, availability at a reasonable price (i.e. at a cost no greater than
10% above a comparable product that does not meet post-consumer content),
availability within a reasonable period of time, and maintenance of a
satisfactory level of competition.
In addition, definitions for recyclable material,
chlorine-free recycled paper, durable products, pre-consumer material, and
toxic materials are included.
Review of DGS Procurement Specifications
This provision requires DGS to review its procurement
specifications and practices to increase the purchase of products and packaging
which are made from post-consumer materials, such that they don’t discriminate
against products or packaging
(1) made from post-consumer materials,
(2) made from materials that are recyclable,
(3) that facilitate waste prevention; or
(4) that have been remanufactured.
Reviews and changes to procurement specifications are
to be performed annually.
Changes to DGS Procurement Specifications
The 10% price preference required for purchase of
paper products and the 5% price preference for non-paper products have been
replaced with a requirement for DGS to change its procurement specifications to
ensure that:
(1) they do not discriminate against products,
materials, and equipment as delineated above,
(2) performance standards, specifications and a
product’s intended use are related and clearly identified,
(3) recycled product specifications require use of
post-consumer materials to the maximum extent practicable,
(4) waste prevention measures are incorporated into
specifications and practices, and
(5) products and packaging made from recyclable
materials are used and that excess packaging is eliminated to the maximum
extent feasible.
Minimum Recycled Content Standards
The previous requirement, that DGS purchase products
utilizing the minimum content standards for recycled materials content
established by USEPA, is replaced with the requirement that DGS purchase
recycled products that contain the highest of the minimum content
standards established by USEPA, New York State Department of Environmental
Conservation, or DGS.
Minimum Purchasing of Recycled Products
This provision requires DGS to purchase recycled
products specifically including products, materials, and equipment made from
plastic, rubber, glass, tires, non-fuel oil, paper, and paperboard. The purpose of restricting the application to
these materials is that markets need to be stimulated to become mature. The demand for these is to be stimulated by
establishing a purchasing requirement known as a “set-aside”. Specifically,
·at least 20% of the total annual dollar amount that DGS spends on all
products, materials and equipment made from these seven materials must be used
to purchase products that conform to the new minimum content standards, by the
end of fiscal year 1996,
·at least 30% of the total dollar amount must conform by the end of
fiscal year 1998,
·at least 40% of the total dollar amount must conform by the end of
fiscal year 2000, and each year thereafter.
However, in meeting these purchasing requirements, a
price preference of up to 10% is established, ensuring that the recycled
products are purchased at a reasonable price.
City Purchase of Printing and Writing Paper with
Recycled Content.
This provision codifies into law Mayoral Directive
93-2, modeled after the Federal Executive Order, No. 12873, signed by President
Clinton on October 20, 1993, to increase procurement of recycled paper. This provision requires that all purchases of
printing and writing paper made by City mayoral and non-mayoral agencies and
the Council must, beginning July 1995, meet or exceed a minimum content
standard of 20% post-consumer material for
·high speed copier paper, offset paper, forms bond,
computer printout, carbonless paper, file folders, and white wove envelopes,
and
·other uncoated printing and writing paper, such as
office, book, and cotton fiber papers and cover stock.
This minimum content standard increases to 30%
beginning fiscal year 1999.
In addition, all printing and writing papers must
consist of chlorine-free recycled paper when the price of such paper is equal
to or less than the price offered by the lowest responsible bidder for paper
otherwise meeting the standards of this provision. This provision goes into effect beginning in
fiscal year 1997. Again, to ensure the
price is reasonable, a 10% price preference applies to purchases made under
this provision. However, an agency or
the Council may decide not to comply if purchase of printing and writing papers
with the required recycled content is not deemed “practicable”.
All contractors that provide recycled and
chlorine-free recycled paper and paper products must maintain records for three
years documenting the source of post-consumer material used in these products,
and attest to the use of non-chlorine bleaching technologies.
Requirements for Contractors
This provision states that all requests for proposals
or invitations to bid issued by agencies or the Council requires bidders to
agree that
(1) all reports and studies must use recycled paper
and, wherever feasible, both sides of the page, and
(2) products, materials, and equipment used in the
fulfillment of contracts must be remanufactured, durable, reusable, and/or made
from recyclable products, and that packaging be made from recyclable materials,
where practicable.
(3) the use of packaging in the performance of
contracts is required to be eliminated to the extent feasible.
Those contractors who supply or use remanufactured,
reusable, and recyclable products and packaging in fulfillment of contracts
must report the source, type, quantity and total dollar amount expended on such
items, and certify that the recycled products being supplied or used contain
the required minimum percentages of post-consumer content. The purpose of this
provision is to assist in the evaluation and optimization of environmental
procurement.
City Waste Prevention Procurement Plans
Within 18 months of Intro. 509’s passage, DGS, in
consultation with DOS, is to prepare a 10-year plan for City agencies to
incorporate waste prevention measures into their procurement practices. (At present a 1992 Mayoral Directive
encourages City agencies voluntarily to adopt and implement office paper waste
prevention and reuse measures, and report on these activities to DOS annually.) The new waste prevention plan must be updated
biennially. The plan must contain at
least the following:
·development of a method and schedule for increasing the purchase of
products, materials, and equipment that promote waste prevention,
·development of a waste audit procedure to determine the actual useful
life, repair records and reuse histories of those products, materials and
equipment most frequently or repeatedly purchased or most costly in the
aggregate,
·development of a product list to be consulted when purchasing products,
materials and equipment that are durable, remanufactured, reusable and/or
recyclable,
·development and expansion of repair and maintenance programs for products,
materials and equipment,
·reduction in the use of packaging through the purchase of products in
bulk or concentrated form and the creation of packaging requirements to reduce
volume or weight,
·the establishment of agency paper reduction guidelines,
·increased use of City surplus and warehoused items,
·increased use of products with extended warranties and remanufactured
products, and
·decrease in the purchase of products that are not reusable, durable, or
recyclable.
Intro. 509 requires that within two years of
enactment, all mayoral and non-mayoral agencies implement the methods,
procedures, and systems developed in the waste prevention procurement plan.
City Purchase of Products, Materials, the Equipment
Designed to Prevent Waste
On an annual basis, beginning in fiscal year 1998, DGS
must prepare and circulate to all agencies and the Council, lists of products,
materials and equipment procured in the previous year that
(1) were durable, reusable, or remanufactured,
(2) complied with the minimum content standards,
(3) were formulated to reduce or eliminate packaging,
and
(4) were formulated to reduce toxic materials
substantially.
If any person believes that particular products,
materials, or equipment have been erroneously excluded from these lists, s/he
may petition DGS, including supporting documentation, to include them.
Reporting Requirements
The requirement from Local Law 19 that DGS submit an
annual report on its procurement activities to the Mayor, Council, Board of Estimate
(which no longer exists), the Borough SWABs and the CRAB is replaced with a
comprehensive annual reporting requirement.
This report, prepared in consultation the with DOS, the agency
responsible for designing and implementing waste prevention and recycling in
New York City, is to be entitled, “Report on Procurement of Recycled Products
and Procurement Measures to Facilitate Waste Prevention”. The report must include at least the
following components:
1) a summary of activities undertaken by both mayoral
and non-mayoral agencies to increase their procurement of recycled products and
products and packaging that facilitate waste prevention, including a list of
products reviewed in DGS’ review of product specifications,
2) the results of annual waste audits as required in
the Waste Prevention Plans,
3) quantities purchased, sources of recycled products
being purchased, dollar amount spent and recycled content percentages for each
recycled product procured pursuant to the provisions dealing with Minimum
Purchasing of Recycled Products and City Purchase of Printing and Writing Paper
with Recycled Content.
4) the dollar amount spent and percentage of any price
preference used for any recycled product procured,
5) the dollar amount of savings if the recycled
product offered in response to a bid or proposal is less expensive than a
product made from virgin materials offered in response to a bid or proposal,
6) a summary of any revisions of minimum content
standards,
7) an explanation of any changes in agency procurement
practices to encourage the purchase of products, materials, and equipment that
are reusable, remanufactured, durable or recyclable,
8) quantities purchased, sources of purchases and
dollar amount spent on durable, reusable, remanufactured, or recyclable
products and packaging,
9) lists of products, materials and equipment that are
designed to prevent waste,
10) waste prevention initiatives to be undertaken and
schedules of implementation,
11) the costs avoided, including but not limited to
the areas of storage, replacement and procurement, by the implementation of
waste prevention procurement measures, and
12) the net costs associated with the implementation
of waste prevention procurement measures.
Agency Responsibility for Compliance
This section requires that each mayoral and
non-mayoral agency designate an agency environmental executive from his or her
senior staff who will be responsible for:
·coordinating all environmental programs in the areas of procurement and
acquisition, standards and specification review, facilities management, waste
prevention and recycling,
·participating in the development and implementation of the procurement
plans for the agency,
·coordinating timely submission of agency reports to DGS on the annual
progress of these plans,
·providing incentives, guidance and educational programs for agency
employees, and
·reviewing agency programs to ensure compliance with the bill.
ECONOMIC AND ENVIRONMENTAL
BENEFITS OF INTRO. 509
There are a number of arguments supporting the
adoption of Intro. 509; these are enumerated below:
Increase the Purchase Of Durable, Reusable Products