Tips for efficient recycling: HDPE materials

HDPE, High Density Polyethylene, is a widely used material for different applications.

We are all familiar with the HDPE used to produce pipes, but HDPE is also used to produce detergent bottles or shampoo bottles, hence applications forming part of our everyday life. Few people know that in some cases, HDPE can also be used in film applications.

However, all these different types and origins of HDPE differ in terms of their recycling process.

And above all, depending on the stage of the recycling process, certain types of machines work better with HDPE while others are less suitable to recycling such material stream.
Let’s start for example with washing: in this case, the specific weight of HDPE regrinds is easier to wash compared to, for example, HDPE film, therefore different technologies need to be used.
For the extruder too, there are different opinions on what the best type or configuration is.While some Customers prefer to consider that for HDPE it is extremely important to use a twin screw extruder in order to improve the mixing and homogenization of the material, others prefer, instead, to go for a single screw extruder solution with agglomeration system and enhanced degassing.

And what about the melt filter? Should it be manual or automatic type?

It’s common knowledge when recycling especially post-consumer materials, that manual (slide plate type) melt filters have several limitations. Given that post-consumer materials undergo washing, the residual contaminations that need to be eliminated by the filter are very small in size, thus creating the need for an extremely fine mesh in order to ensure efficient filtration. A manual type melt filter implies only manual operations, essentially requiring an operator to stand by the extruder and change the screen each time it gets clogged by the contamination in the melt. Since HDPE regrinds are “easier” to wash, many Customers initially install manual screen changers to filter this plastic type, based on the initial theory that there’s only a small percentage of residual contamination, thus beginning their journey in the world of recycling with a manual screen changer.

So why, after a couple of years at most, do they change their mind and switch to an automatic type?

The contaminations may be lower than what can be found in other materials, but have you ever considered the percentage of waste and the operational costs?
If you can’t measure it – maybe because laboratories that specialise in this type of measurement can be not always around the corner – it can be efficiently calculated by measuring how often you need to change a mesh screen in your manual melt filter.
If the change interval is less than 20 minutes (on average, of course), in terms of operational costs it’s worth switching to an automatic filter; for several reasons. Financial reasons! First of all because your operator is naturally forced to spend most of their time at the filter rather than perhaps feeding the extruder with new material, mixing, monitoring degassing, verifying the hourly throughput rate, or doing general cleaning. Either way, the need for an operator represents a limitation in terms of the quality of the material, because human error is always a possibility and the return of non-compliant material represents a problem for all recyclers worldwide, in addition to damaging your company image.

The second point to be considered is the cost of the mesh screens.

In this case, we need to consider the tendency of certain countries to burn these meshes with the flame and then reuse them. This is considered standard practice, but in reality we need to take into account not only the environment and the damage caused by burning plastic in the open air, but also the fact that the mesh screens are made of woven metal wires. These metal wires allow filtration thanks to the barrier effect given by the woven structure. Heat causes these metal wires to loosen and open slightly. Which therefore entails an alteration of the final quality. In case the final application of the r-pellets is injection moulding this may not necessarily cause any evident alteration to the final product, but in the case of film or pipes extrusion, the difference is quite significant. This is why the calculation of spare parts required when using a manual screen changer needs to be realistic, without considering the possibility of reusing mesh screens, as this would mean not to achieve a high quality standard for the very near future, expectation expressed by all government and political authorities.
Therefore, looking at the best-case scenario, if we consider 1 Euro per mesh screen for a manual screen changer, we need to calculate (considering a changeover at best every 15 minutes), a cost of 4 Euros/hour for consumables alone. Across a 24-hour period of operation, this translates into 96 Euros per day for screen filters alone. Based on your monthly operating shifts, you can easily calculate the cost of the mesh screens per month, not to mention their disposal and the waste plastic created each time the screen needs to be changed, as well as the cost of the operator. And obviously you’re limited in the material you can buy… this is a necessary variable to consider when using a manual screen changer, to avoid the need for screen change in less than 20 minutes. When processing more contaminated materials, the screen might even need to be changed every 3 minutes, depending on the plastic you want to recycle and its contamination. A clear consequence of difficulties with your screen changer is the reduced throughput of the extruder. Bearing in mind, in fact, that the screen changer is a “bottleneck” which the melt must flow through. Here’s why FIMIC manufactures 4 different melt filter types and each in different sizes, because it’s important to be able to adapt the filtration surface of the melt filter based not only on the material being treated, but also the required level of filtration.

In the case of HDPE, FIMIC has succeeded in reaching very high throughput rates (up to 3 tonnes) on a single screen, with stable (low) pressures and temperatures corresponding to that of the extruder.  But why are all these things so important in a melt filter?

Let’s consider temperature, for example. If the filtration surface of the screen changer is too small, the operator will need to increase the temperature of the extruder and/or filter to make the material more fluid and therefore reduce the operating pressure on the mesh screen.
This causes, however, the degradation of the plastic polymer. This can clearly be seen in the case of white or clear HDPE, which turns yellow at the end of the line!
It is therefore extremely important to use a melt filter with a large filtering surface in order to maintain a low operating pressure and temperature suited to the acceptable operational temperature of the melt. If you have using a twin-screw extruder, you’ve been (or you will be) forcedly using a gear pump to allow the extruder to work with pressures higher than 100 bar. Given that twin screw extruders are mainly intended for the mixing of compounds, often they are unable to manage pressures (generally) higher than 100 bar. This often means the return of the melt to the extruder degassing unit in the event this pressure limit is exceeded. And a melt filter, whether manual or automatic, works starting from 100 bar! Especially in the case of HDPE, where the stiffness of the material makes this a necessity. However, in order to protect the gear pump against contaminations, it is generally necessary to install a protection screen changer with 400/500-micron filtration. In this case, recyclers normally install a manual screen changer before the gear pump, which they change approximately every half hour, and then an automatic screen changer after the pump. In case of single-screw extruders, the pump isn’t needed instead, and the screen changer is therefore installed directly without a pre-filter. Many recyclers, whether using single- or twin-screw extruders to recycle HDPE, have adopted the FIMIC automatic technology, using laser filtration. This screen is not mesh but rather a laser-drilled steel disc, which guarantees distinctly superior filtration with respect to mesh thanks to a circular rather than a square or rectangular hole. The rectangular holes used in mesh weaving technology, due to the pressure itself of the material flowing through, in fact tend to widen slightly and may allow various contaminants to pass through, even bigger in size than the filtration in use. In case, instead, of circular holes drilled on a thick steel structure, such issue is not taking place. FIMIC, therefore, in addition to easing the operator’s workload and guaranteeing lower power consumptions thanks to low operational pressures with respect to a manual filter, also guarantees a superior quality of the final pellet, at a melt temperature that doesn’t degrade the material while naturally maintaining the maximum hourly production rate of the extruder.

Of course, a FIMIC melt filter can be installed on any extruder type and used for many different types of materials, not just in the case of HDPE.

Cookie Policy

Published on 18/04/2025

Dear user, this document describes the types, purposes and persistence times of cookies used and operating on the websites https://fimic.it, https://travel.fimic.it (hereinafter "Portal" or "Site"), as well as allow you to select your preferences regarding their use.

Definition, characteristics and regulatory application

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Some operations or functionality of the Portal could not be performed or guaranteed without the use of cookies, which in some cases are therefore technically necessary for the functioning of the Website itself.

Depending on their characteristics and functions, cookies can remain saved on the user's computer for different periods of time: we therefore have so-called session cookies, which are automatically deleted when the browser is closed, and so-called persistent cookies, which remain on the user's device until a predetermined expiration date, or until possible manual deletion.

Based on applicable regulations, express user consent is not always required to use cookies. In particular, so-called "technical cookies" usually do not require such consent, that is, those used solely to ensure the correct functioning of the Website, or to provide a service explicitly requested by the User.

Conversely, in order to be able to use cookies that are not strictly necessary for the correct functioning of the Portal, but are instead functional to the collection of statistical data, or aimed at creating profiles relating to the visitor, in order to send advertising messages in line with the preferences expressed by the same in the course of browsing the Internet, user consent is usually required, according to applicable regulations.

Types of cookies

Below are listed for completeness the main types of cookies that exist:

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Source of origin of cookies

Cookies can also be distinguished based on their source of origin. We will therefore have:

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In detail, the cookies sent through this Portal are listed below:

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Cookie settings

Selection and deselection: with the exception of cookies strictly necessary for the functioning of the Website and for the provision of requested services, the User will be able to prevent the installation of third-party cookies on the Website, blocking one or more suppliers operating on the Portal, through the cookie preference selection tool (accessible at the following link) Regarding third-party tracking tools operating as autonomous data controllers, users can manage preferences and revoke consent by visiting the related opt-out link (if available), using the tools described in the third party's privacy policy or contacting them directly. The choices made regarding the Portal's cookies will in turn be recorded in a specific cookie. This cookie could, however, in some circumstances not work correctly: in such cases, the Owner suggests deleting unwanted cookies and preventing their use through the functions of your browser.

Managing cookies through the browser: it is also possible to remove existing cookies and block the installation of new cookies through browser settings. If users wish to decide from time to time whether or not to accept cookies, they can also configure their browser to generate a warning every time a cookie is saved. The most widespread browsers offer the ability to block exclusively third-party cookies, accepting only those of the Site. For more information on how to set cookie preferences through your browser, you can consult the relevant instructions:

Finally, it should be remembered that by disabling or deleting technical and/or functional cookies the Portal may become inaccessible or some services or certain Portal functions may become unavailable or not work correctly and it may be necessary to modify or manually enter some information or preferences at each visit.

Data Controller Contact Details

For further details on the Data Controller, the user can consult our <a href="https://api.avacy.eu/ocalab/v3/privacypolicy/18/en">Privacy Policy</a>.

Company websites might collect data as described in the following document.

PREMISE

FIMIC SRL, with registered office in 54 Via Ospitale – 35010 Carmignano di Brenta – (PD) ITALY – CF and P.Iva 04785520281, in the person of the legal representative, in the capacity of data controller (hereafter, “Holder”), informs you under art. 13 D.Lgs 30.6.2003 n.196 (hereafter, “Privacy Code”) and art. 13 Regolamento UE n. 2016/679 (hereafter, “GDPR”) that your data will be processed in the following ways and for the following ends.

1) Data collected

The Holder will process non-sensitive identification data (name, surname, fiscal code, VAT number, email, phone number – hereafter, “data”) you provide as you sign up to the Holder’s website and/or as you sign up to the newsletter service provided by the Holder.

2) Categories of personal data and purposes of the processing

Your data is processed:

  1. A) Without your explicit consent, according to legal and contractual obligations (art.24 lett. a, b, c Privacy Code and art 6 lett. b, and GDPR) for the following ends:

– Allowing to register on the website;

– Managing and maintaining the website;

– Fulfil existing pre-contractual, contractual, and fiscal obligations arising from dealings with you;

– Fulfil any obligation stemming from law, regulations, Community regulations and Authority orders;

– Prevent or discover fraudulent activity and abuse harmful to the website;

– For necessities tied to maintenance and operation, possible third party services might collect system logs, which may contain data such as user IP address;

– Exercise the Holder’s rights.

  1. B) Just under your explicit consent (art. 23 and 130 Privacy Code and art. 7 GDPR), for the following marketing purposes:

– Sending you newsletter, commercial communications and advertising material concerning products or services provided by the Holder. In case you’re already a customer, we might send commercial communications about products or services akin to ones you already purchased of otherwise benefited of, unless you disagree (art. 130 Privacy Code).

3) Processing methods and data retention period

The processing of your data is done according to the operations specified under art. 4 Privacy Code and art. 4 n. 2 GDPR, more precisely: data collection, registration, organization, conservation, consultation, elaboration, editing, selection, extraction, comparison, use, interconnection, block, communication, erasing and destruction. Your data will be processed on paper, electronically and via automated processing.

The Holder will retain your data for the time necessary to fulfil the purposes above and in any case not beyond ten years from the termination of relationship for Service Purposes

4) Access and communication of data

You can access your data at any time, by requesting them to the addresses mentioned later in this document.

4.1) Cookies

The website uses cookies, for further information check the dedicated document.

5) Data sharing

Your data could be made accessible and/or communicated for the purposes mentioned in 2.A and 2.B.

Without prejudice to communications done in fulfilment of legal obligations, the Holder might share your data both in Italy and abroad (as specified in the following points) to:

– The Holder’s employees and collaborators, in the capacity of data controllers and sysadmins;

– Technicians and managers of administration and accountancy and/or to fulfil specific law obligations inherent to third parties;

– The Holder’s agent network; factoring companies; credit institutions; debt collection companies; credit insurance companies; commercial information companies; professionals and experts; transport companies; supervisory bodies and judicial authorities to which such communications are mandatory by law for the stated purposes.

– Companies or other legal entities qualified and appointed, under art. 28 of Regolamento 679/16, to support activities like: managing and development of communication and advertising means, company processes and projects, and data storage. Access could be granted to third parties and related companies which deliver services deemed necessary and/or useful by the Holder for company management and related services you may request. Among such companies are system maintenance companies, credit institutes, professional offices, companies which deliver services deemed necessary or useful by the Holder, and companies which carry out outsourcing activities for the Holder, in the capacity of external data controllers.

6) Data transfer

The managing and storing of data is carried out on servers located in the EU belonging to the Holder and/or third parties appointed as data controllers. Our servers are currently located in Italy. Data won’t be transferred outside of the EU. The Holder reserves the right to relocate the servers in Italy, in the EU or in extra-EU countries, if deemed necessary. In the latter case, the Holder assures that the transfer would happen in full observation of applicable laws and reaching, if necessary, agreements aimed to guarantee a data protection level comparable to the one provided by EU guidelines.

7) Mandatory or optional nature of data provision and consequences of any refusal

Data provision for the purposes in 2.A is mandatory. In its absence, website sign up and the rest of 2.A services would be unavailable.

Data provision for 2.B is optional.

You may therefore decide not to provide data or to deny processing of provided data: in doing so you forfeit any service described in 2.B, while retaining right of those mentioned in 2.A.

8) Rights of Data Subjects

In capacity of subject, you hold the rights mentioned in art. 7 Privacy Code and art. 15-22 GDPR, more precisely:

  1. A) Demand and obtain confirmation of the existence of data pertaining yourself, stored or not, and the communication of the such;
  2. B) Obtain indication of data origin, methods and purposes of processing, logic applied in case of electronic processing, the Holder’s and every appointee’s (under art. 5, comma 2 Privacy Code and art 3, comma 1 GDPR) identification details, entities which may receive data in capacity of data controllers or appointed representative in local territories;
  3. C) Obtain: the correction, rectification or integration of data; the deletion, anonymisation or blockage of data processed in violation of the law, including those the retaining of which is not necessary to the purpose they were collected of processed; the acknowledgement that any operation mentioned in 8.A and 8.B has been brought to the knowledge of all subjects involved to the extent of common sense;
  4. D) Oppose, completely or partially, to: the processing of your data for the intended purpose, in the presence of legitimate reasons; to the processing of your data for the purpose of advertising, direct selling, market analysis or commercial communication, through automated systems via email, phone call, or mail. The extent of the former right is fully customizable by the subject, who has the possibility of choosing which of the communication methods, if any, he prefers.

If applicable, the subject possesses also the rights mentioned under art. 16-21 GDPR (right of rectification, right to oblivion, right to restriction of processing, right to data portability, right of opposition), and also the right to complain to Competition Authority.

9) Arrangement for the exercise of the rights

You may exercise your rights any time, via:

– Registered mail w/proof of delivery to FIMIC SRL, with registered office in 54 Via Ospitale – 35010 Carmignano di Brenta – (PD) ITALY –;

– Email to info@fimic.it

– PEC to fimic@pecit.it

10) Minors

This website and the services provided by the Holder are not meant for minors, and their data is not to be intentionally collected. In case such data is inadvertently collected, the Holder will provide to its deletion upon user request.

11) Holder, people in charge and appointees

The Holder, as we referred the data controller as, is FIMIC SRL, in capacity of legal representative pro tempore, with registered office in 54 Via Ospitale – 35010 Carmignano di Brenta – (PD) ITALY –. The updated list of people in charge and appointed data controllers is kept by the Holder’s registered office.

12) Data Protection Officer

Not applicable to our company.

13) Alterations of this Policy

The present Policy is subject to alterations and changes. It is therefore advisable to regularly check this Policy and refer to the most recently updated instance available on the above mentioned website.

Conclusions

All these principles are shared with all personnel who, beside putting effort in the correct management of the System, continuously provides the Managership with inputs and informations on how to improve it.

Our attention towards risks stemming from personal data management is an engagement spread on every level of our Company, both internally and externally and towards our Partners and third party collaborators.

Our Company defines and analyses its own processes through risk management techniques. We detected threats and opportunities that our Company faces through appropriate actions, through which we aim to define suitable management systems, updated on the basis normative changes and subjects.

Our S.G.P. is therefore developed and updated to guarantee the necessary and appropriate protection for the subjects data as explained in the Company privacy policy