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Vietnam’s Environmental Protection Law and Decree 110/2026/NĐ-CP establish an active operating layer for extended producer responsibility. The work can include applicability assessment, product and packaging classification, recycling execution, delegated-provider oversight, annual declarations, and contribution evidence.
This is an optional manufacturing and importer process overlay. Direct installation is appropriate only after confirming producer, importer, recycler, or authorized recycling-organization scope. Reference-only installation supports research without activating operational obligations.
ComplianceOne helps teams reconcile the evidence behind EPR decisions and annual activity. It does not provide legal advice or guarantee that a filing is complete.
Relevant producers, importers, recycling units, authorized recycling organizations, and EPR owners.
Products, packaging, materials, categories, quantities, weight, market placement, and ownership.
Route selection, plans, provider contracts, accepted quantities, results, and reporting evidence.
Category mapping, contribution calculation, declaration, and payment proof.
April 1 plan/report or contribution declarations and April 20 contribution payment where applicable.
Decree 110 reference lists and the verified support-request forms, with their different audiences retained.

Teams can connect product and packaging inventories to the applicable EPR category and responsibility route. Provider records support licensing, authorization, contract, volume, and non-duplication reviews for delegated recycling.
Calculation, declaration, payment, and result records can be reconciled into a period dossier. Deadlines, ownership, supporting evidence, authority correspondence, and approval history remain connected.
Organizes working records and verified authority-facing artifacts.
Explore Compliance FormsAssigns annual declarations, payments, evidence, and reviews.
Explore Task Management


An EPR filer's recycling-support application under Decree 110 Appendix III sits in the same workspace as the provider contract, volume, and payment records that back it, so the filing and its evidence are prepared together rather than assembled at the last minute.

Recycling-plan registration, contribution declaration, and the Environmental Protection Fund payment all fall due each April, and the platform carries those dates as accountable, assigned tasks rather than dates a spreadsheet has to remind someone about.

Recycler and producer-responsibility-organization contracts, licensing, and accepted-volume results stay attached to the responsibility route a product followed, so a reviewer can confirm a delegated recycling claim without chasing a separate provider file.
See how ComplianceOne connects EPR inventory, execution, calculations, submissions, and evidence.

No. Direct use depends on producer/importer activities, covered products or packaging, exclusions, and the responsibility route. Reference-only mode is available where direct scope is not confirmed.
The overlay connects the Environmental Protection Law 2020 with active Decree 110/2026/NĐ-CP.
Yes. The implemented overlay includes the verified April 1 declaration/reporting date and April 20 payment date, with activation limited to direct installations.
No. The verified forms have different audiences. The provincial waste-treatment support request is presented reference-only and is not marketed as a producer/importer filing.
No. It helps teams prepare inputs, calculations, evidence, reviews, and audit history; accountable staff and advisers approve applicability and legal conclusions.

Test EPR inventory, provider, contribution, and reporting workflows for one reporting period.

Review product scope, responsibility routes, evidence sources, and annual operating ownership.