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EPR Registration in France: Citeo and Triman
France issues one unique identifier per waste stream via ADEME. How the IDU works, which eco-organisme applies, and what Triman obliges you to print.
France assigns each producer a unique identifier, the identifiant unique, issued by ADEME for every extended producer responsibility stream it operates in. The identifier proves membership of an eco-organisme such as Citeo or Refashion, and marketplaces are obliged to collect it before listing a seller.
What this gives you
How the French unique identifier works stream by stream, which eco-organisme takes your products, what the Triman and sorting marking require on-pack, and the order these steps have to happen in.
Key takeaways
- France issues one identifiant unique per producer per waste stream, not one per company.
- The identifier is issued by ADEME only after you have joined an eco-organisme or been approved to self-comply.
- Citeo covers household packaging and paper; Refashion covers textiles, linen and footwear; separate bodies cover electricals.
- The Triman logo and sorting instructions must appear on the product or its packaging under the AGEC law.
- A producer without a French establishment must appoint a mandataire, who takes on the obligations in its own name.
France organises producer responsibility differently from most member states. Rather than a register per product type, it issues a single identifier per producer per stream, and that identifier is what everyone downstream asks to see.
The consequence is that compliance is visible. A marketplace, a retailer or a customer can ask for the number, and not having it is immediately legible as non-compliance rather than something buried in a filing.
What the identifiant unique actually is
- Identifiant unique (IDU)
- A registration number issued by ADEME to a producer for a specific extended producer responsibility stream, confirming that the producer has joined an approved eco-organisme or been authorised to meet its obligations individually.
The order matters and catches people out. ADEME does not issue the identifier and then let you arrange compliance; you arrange compliance first, and the identifier is the evidence of it. Joining the eco-organisme is therefore the long-lead step.
A company selling a garment in a cardboard box with a printed care leaflet is operating in at least three streams, and will hold a separate identifier for each.
Which eco-organisme takes your products?
| Stream | Typical products | Eco-organisme |
|---|---|---|
| Household packaging | Boxes, films, bottles, sales packaging | Citeo |
| Graphic paper | Catalogues, printed leaflets, paper | Citeo |
| Textiles, linen, footwear | Clothing, home textiles, shoes | Refashion |
| Electrical equipment | Appliances, tools, IT equipment | ecosystem, Ecologic |
| Furniture | Domestic and office furnishing | Valdelia, Ecomaison |
| Batteries | Portable and industrial cells | Approved battery schemes |
The streams are defined by product category rather than by industry, so a single company frequently sits across several. Assess the catalogue product by product rather than assuming the business belongs to one filière.
The Triman marking and sorting information
The AGEC law requires products and packaging subject to an extended producer responsibility scheme to carry the Triman logo together with sorting instructions, so the consumer is told what to do with each component.
This is a design and artwork obligation rather than an administrative one, and it has the longer lead time of the two. Artwork changes run on print cycles, so a company that discovers the requirement late carries either non-compliant stock or an unplanned repack.
If you sell into France from outside it
A producer without a French establishment appoints a mandataire — an authorised representative — who registers and holds the obligations. As in Germany, the representative carries real legal exposure and will require accurate volume data and indemnities before acting.
Distance sellers deserve particular attention. Where goods are shipped directly to a French consumer from another country, the seller is generally the producer for these purposes, and the obligation does not transfer to the carrier or the marketplace.
What marketplaces are obliged to check
The AGEC law places obligations on online marketplaces to verify that sellers hold the relevant identifier, which makes the identifier the practical gate on French market access.
- A seller without an identifier for a stream its products fall into can be prevented from listing them.
- The identifier is checked per stream, so holding one for packaging does not satisfy a textiles check.
- Because the check is automated and up front, the failure mode is a blocked listing rather than a later penalty.
Eco-modulation: the fee is not flat
French eco-organismes apply eco-modulation to their fees — a bonus and penalty system that raises or lowers the contribution according to how the product is designed. The AGEC law made this a structural feature rather than a discretionary discount.
The criteria differ by stream but follow a pattern: recyclability of the material, incorporation of recycled content, presence of elements that disrupt sorting, and in some streams durability or reparability. A penalty applies where a design choice makes recovery harder.
- Eco-modulation
- Adjustment of an extended producer responsibility fee according to environmental criteria applied to the product itself, so that a design which is harder to collect, sort or recycle costs its producer more per tonne.
This turns the fee into a design signal rather than a tax, and it is the reason the French scheme is worth reading before a packaging redesign rather than after one. A carbon-black tray that defeats optical sorting is cheaper to buy and more expensive to place on the market.
It also means the fee cannot be estimated from tonnage alone. Two companies placing identical weights of packaging can pay materially different amounts, and the difference is decided in the design studio rather than in the compliance function.
Annual declaration and the data behind it
Membership of an eco-organisme carries a periodic declaration of what you placed on the market, broken down in the way that stream requires. For packaging that means material and weight; for textiles it means units by category.
The units differ by stream, which is the practical difficulty for a company operating in several. A single sales record has to be resolvable into weights for one filière and counts for another, and most product data systems hold neither in a form that can be aggregated directly.
Sequencing the work
- Map products to streams
Product by product, not by business line.
- Join each eco-organisme
The long-lead step; the identifier depends on it.
- Obtain the identifier from ADEME
One per stream, issued on the strength of membership.
- Update artwork for Triman and sorting
Runs on print cycles, so start it alongside step 2.
- Supply identifiers to marketplaces
Without this the listings are blocked whatever else is done.
Leaving a stream, and keeping the record straight
Obligations end when you stop placing products on the market, but they do not end retrospectively. A producer that exits a stream mid-year still owes the declaration and the contribution for what it placed before exiting.
Leaving therefore has an administrative sequence of its own: notify the eco-organisme, complete the final declaration, and confirm the status of the identifier. An identifier left dormant rather than closed continues to appear in checks, which creates its own confusion with marketplaces.
The same applies to corporate changes. A merger, a renamed legal entity or a transferred brand does not carry the identifier with it automatically, and the gap between the change and the update is a period during which the listing checks can fail.
One check worth building into the process: eco-organismes hold time-limited approvals from the state, renewed periodically against a cahier des charges. Confirm that the body you are joining holds a current approval for your stream, because an expired one leaves the members without a compliance route.
Frequently asked questions
Do we need one identifier or several?
Several, in most cases. The identifiant unique is issued per extended producer responsibility stream, so a company selling packaged textiles with a printed insert will hold separate identifiers for packaging, textiles and graphic paper. Holding one for a stream says nothing about the others.
Can we get the identifier before joining an eco-organisme?
No. ADEME issues the identifier on the strength of your compliance arrangement, so membership of an approved eco-organisme, or authorisation to self-comply, has to come first. That makes joining the long-lead step, and the one worth starting before anything else in the sequence.
Does the Triman logo apply to business-to-business products?
The marking requirement attaches to products covered by an extended producer responsibility scheme aimed at consumers. Purely professional streams are treated differently, so check the scheme your products fall into rather than assuming the marking is universal across your catalogue.
We ship directly to French consumers from another EU country. Are we the producer?
Generally yes. Distance selling into France makes the seller the party first placing the goods on the French market, so the obligations follow the seller rather than the carrier or the platform. A mandataire is required where the seller has no French establishment.
What happens if we list on a marketplace without the identifier?
The listing is likely to be blocked or removed. Marketplaces carry their own obligation to verify seller registration, so the enforcement point arrives before any authority is involved. In practice French non-compliance shows up as lost sales rather than as a penalty notice.
Sources
- Loi n° 2020-105 relative à la lutte contre le gaspillage et à l’économie circulaire (AGEC) — Légifrance, République française, 2020-02
- Filières à responsabilité élargie des producteurs — registration and the identifiant unique — ADEME, 2025
- Directive 2008/98/EC on waste, as amended, establishing extended producer responsibility — EUR-Lex, European Union, 2008-11
Continue reading
- EPR registration in GermanyThe same obligations split across three registers instead of one identifier.
- Textile EPR explainedThe stream France established first, and the model others are copying.
- PPWR packaging rulesThe EU regulation that will reshape every national packaging scheme.
- The EU regulations that ask for product dataWhere national producer responsibility sits among the wider instruments.