{"id":271,"date":"2026-09-10T23:57:36","date_gmt":"2026-09-10T23:57:36","guid":{"rendered":"https:\/\/www.wellnessqualityinstitute.com\/articles\/verify-plastic-reduction-claims"},"modified":"2026-09-10T23:57:49","modified_gmt":"2026-09-10T23:57:49","slug":"verify-plastic-reduction-claims","status":"publish","type":"post","link":"https:\/\/www.wellnessqualityinstitute.com\/articles\/verify-plastic-reduction-claims","title":{"rendered":"How to Verify Plastic Reduction Claims: A 5-Step Audit"},"content":{"rendered":"<p><em>Written by: Scott Steveson, Specialist, Wellness Quality Institute<\/em><\/p>\n<h2 id=\"key-takeaways\">Key Takeaways for Brand and Sustainability Teams<\/h2>\n<ul>\n<li>Plastic reduction claims must be specific, clearly scoped, and backed by evidence that exists when you make the claim, or they create legal and reputational risk.<\/li>\n<li>The 5-Question Audit framework asks what was reduced, by how much, compared to what, over what scope, and what evidence supports it, so you can vet any plastic-related claim.<\/li>\n<li>Independent verification adds credibility and lowers greenwashing risk, because self-reported data alone rarely holds up as a defensible public claim.<\/li>\n<li>Common red flags include vague language, absolute promises such as \u201cplastic-free,\u201d and stretching one product\u2019s result into a brand-level statement.<\/li>\n<li>Get independent support for your plastic claims. Talk to <a href=\"https:\/\/www.wellnessqualityinstitute.com\" target=\"_blank\">The Wellness Quality Institute<\/a> about Plastic-Free Pathway Verification.<\/li>\n<\/ul>\n<h2>Who This Guide Helps and How We Use Key Terms<\/h2>\n<p>This guide serves brand owners, sustainability leads, marketing heads, and procurement teams who must check a plastic-related claim before it goes public. Use this framework when a retailer, legal team, or competitor asks for proof, or when you want to confirm that your data can support a new claim.<\/p>\n<p>Here are a few terms used throughout this article, explained in plain language:<\/p>\n<ul>\n<li><strong>Plastic reduction claim:<\/strong> Any marketing statement that a product or package uses less plastic than a baseline. This can happen through recycled content, using less plastic overall, or removing specific plastic parts.<\/li>\n<li><strong>Recycled content:<\/strong> Material that came from waste and was processed again. This includes pre-consumer waste such as factory offcuts, and post-consumer waste such as items people used and then discarded.<\/li>\n<li><strong>Source reduction:<\/strong> Using less material by weight or volume from the start. A lighter bottle or a thinner packaging wall are common examples.<\/li>\n<li><strong>Substantiation:<\/strong> The evidence that backs up a claim. Under the FTC Green Guides, this evidence must already exist when you make the claim.<\/li>\n<li><strong>Scope:<\/strong> The boundaries of what a claim covers, such as which product, which production period, and which test method.<\/li>\n<li><strong>Chain of custody:<\/strong> Documentation that tracks a material, such as recycled resin, from its source through to the finished product.<\/li>\n<li><strong>Detection limits:<\/strong> The lowest level a lab instrument can reliably measure. A \u201cnone detected\u201d result means nothing found above that floor, not a guarantee of total absence.<\/li>\n<li><strong>Verification:<\/strong> An independent review of data against a published standard that anyone can read. This differs from certification, which suggests a guaranteed condition.<\/li>\n<\/ul>\n<p>On the regulatory side, the <a href=\"https:\/\/lnh31.com\/blog\/us-ftc-green-marketing-environmental-claims-guide\" target=\"_blank\" rel=\"noindex nofollow\">FTC Green Guides<\/a> require \u201ccompetent and reliable scientific evidence\u201d for all environmental claims. That means tests, analyses, research, or studies carried out and evaluated objectively by qualified people using accepted methods. <a href=\"https:\/\/standards.iteh.ai\/catalog\/standards\/cen\/8b219892-f458-419f-93c5-00baab1dbe87\/en-iso-14021-2026\" target=\"_blank\" rel=\"noindex nofollow\">ISO 14021<\/a> sets principles for self-declared environmental claims and requires accuracy, verifiability, and substantiation before claims go live. No single US federal standard governs plastic reduction claims, so independent verification has become a practical way to show due diligence.<\/p>\n<h2>The 5-Question Audit Framework for Plastic Claims<\/h2>\n<p>The five questions below apply to any plastic reduction claim, whether it comes from your brand or a supplier. A claim is only as strong as its weakest answer.<\/p>\n<h3>Question 1: What Was Reduced?<\/h3>\n<p>State exactly what changed. You might reduce plastic packaging weight, virgin plastic content, or microplastics in the product itself. Each type of reduction needs different evidence and supports a different claim.<\/p>\n<ul>\n<li><strong>Weak answer:<\/strong> \u201cWe reduced our plastic footprint.\u201d<\/li>\n<li><strong>Strong answer:<\/strong> \u201cWe reduced the virgin PET content in our bottle by switching to 30% post-consumer recycled resin.\u201d<\/li>\n<\/ul>\n<h3>Question 2: By How Much?<\/h3>\n<p>Quantify the change as a percentage, an absolute amount, or both. The <a href=\"https:\/\/lnh31.com\/blog\/us-ftc-green-marketing-environmental-claims-guide\" target=\"_blank\" rel=\"noindex nofollow\">FTC Green Guides<\/a> expect specific, verifiable numbers, not vague phrases. Under <a href=\"https:\/\/standards.iteh.ai\/catalog\/standards\/cen\/8b219892-f458-419f-93c5-00baab1dbe87\/en-iso-14021-2026\" target=\"_blank\" rel=\"noindex nofollow\">ISO 14021<\/a>, recycled content must appear as a documented percentage that you can prove.<\/p>\n<ul>\n<li><strong>Weak answer:<\/strong> \u201cSignificantly less plastic.\u201d<\/li>\n<li><strong>Strong answer:<\/strong> \u201cOur new bottle uses 25% less plastic by weight than our previous design.\u201d<\/li>\n<\/ul>\n<h3>Question 3: Compared to What?<\/h3>\n<p>Clarify the baseline. You may compare to a previous product, an industry average, or an alternative material. Under the <a href=\"https:\/\/ecfr.io\/Title-16\/Section-260.17\" target=\"_blank\" rel=\"noindex nofollow\">FTC Green Guides (16 CFR \u00a7 260.17)<\/a>, a source reduction claim such as \u201c10% less waste\u201d can be read as a comparison to your prior product or to competitors. You must either substantiate both readings or clearly state which comparison you mean and support that one.<\/p>\n<ul>\n<li><strong>Weak answer:<\/strong> \u201cWe use less plastic than most brands.\u201d<\/li>\n<li><strong>Strong answer:<\/strong> \u201cOur packaging uses 40% less plastic than our 2020 packaging.\u201d<\/li>\n<\/ul>\n<h3>Question 4: Over What Scope?<\/h3>\n<p>Define the scope of the claim. You may refer to a single product, a product line, the whole company, or a specific lifecycle stage. Scope lock matters because a result from one SKU cannot support a claim about an entire line.<\/p>\n<ul>\n<li><strong>Weak answer:<\/strong> \u201cOur company is reducing plastic.\u201d<\/li>\n<li><strong>Strong answer:<\/strong> \u201cThis specific SKU, produced between January and June 2026, contains 30% post-consumer recycled content.\u201d<\/li>\n<\/ul>\n<h3>Question 5: What Evidence Supports It?<\/h3>\n<p>List the evidence type. This can include lab data, a life cycle assessment, or third-party verification. Under <a href=\"https:\/\/lnh31.com\/blog\/us-ftc-green-marketing-environmental-claims-guide\" target=\"_blank\" rel=\"noindex nofollow\">FTC rules<\/a>, the evidence must already exist when you make the claim. A supplier\u2019s verbal assurance does not qualify as substantiation.<\/p>\n<figure style=\"text-align: center\"><img decoding=\"async\" src=\"https:\/\/cdn.aigrowthmarketer.co\/1784829434095-0fc8fbcf29fa.webp\" alt=\"Scientists in white coats working with samples and microscopes in a laboratory.\" style=\"max-height: 500px\" loading=\"lazy\"><figcaption><em>Only a small number of laboratories can genuinely test for microplastics, and capability varies by instrument and method. WQI reviews a company&#039;s existing third-party laboratory data against a defined standard \u2014 it does not run the tests itself.<\/em><\/figcaption><\/figure>\n<ul>\n<li><strong>Weak answer:<\/strong> \u201cOur supplier told us it\u2019s recycled.\u201d<\/li>\n<li><strong>Strong answer:<\/strong> \u201cWe hold a third-party lab report documenting 30% post-consumer recycled content, verified by mass balance documentation.\u201d<\/li>\n<\/ul>\n<h2>How to Check Whether a Verification Program Is Independent<\/h2>\n<p>Independent verification strengthens your claim and reduces greenwashing risk. Markets often discount self-reported results because internal testing looks like grading your own homework, even when the science is solid.<\/p>\n<p>When you assess a verification program, look for three features:<\/p>\n<ul>\n<li>A third-party body that reviews data against a <em>published<\/em> standard that anyone can read.<\/li>\n<li>A scope-locked claim that spells out exactly what was verified, including product, date range, and test method.<\/li>\n<li>A public registry where anyone can look up the claim without relying on the brand\u2019s word.<\/li>\n<\/ul>\n<p>The reviewer should have no financial stake in the result and no role in the testing. Independence from both the outcome and the testing separates a credible verification from a marketing tool.<\/p>\n<p>The Wellness Quality Institute (WQI) offers Plastic-Free Pathway Verification as an independent review of a company\u2019s existing laboratory data against a standard aligned with the California State Water Board\u2019s drinking-water microplastics reference framework. WQI reviews submitted data, compares it to the published standard, and issues a scope-locked verification with approved claim language and a public registry listing.<\/p>\n<p><em>WQI Plastic-Free Pathway Verification does not certify that a product contains zero plastic, microplastics, or nanoplastics. It shows that the company follows a verified pathway toward plastic-free standards. Verification applies only to the reviewed products, submitted datasets, tested ranges, polymer panels, production or sampling periods, and supporting controls. WQI verification operates independently from any California approval, government certification, or health or safety certification.<\/em><\/p>\n<figure style=\"text-align: center\"><img decoding=\"async\" src=\"https:\/\/cdn.aigrowthmarketer.co\/1784829410323-fb401fc7b1e4.webp\" alt=\"Colorful plastic fragments in water inside a laboratory petri dish.\" style=\"max-height: 500px\" loading=\"lazy\"><figcaption><em>Microplastics are particles smaller than five millimeters. Current methods can count and identify them at the upper end of that range, but reliable measurement falls away as particles get smaller \u2014 a limit that shapes every honest claim.<\/em><\/figcaption><\/figure>\n<h2>How to Read Common Plastic Labels and Claims<\/h2>\n<p>Label literacy forms the base for claim literacy. The terms below are often misunderstood on plastic packaging.<\/p>\n<p><strong>Recycled content vs. recyclable:<\/strong> Recycled content means the product contains material that came from waste and was processed again. Recyclable means the product can be collected and processed for recycling in your area. These claims rely on different types of proof. Under the <a href=\"https:\/\/lnh31.com\/blog\/us-ftc-green-marketing-environmental-claims-guide\" target=\"_blank\" rel=\"noindex nofollow\">FTC Green Guides<\/a>, if recycling is available to fewer than 60% of consumers, a recyclable claim needs a qualifier such as \u201crecyclable in limited communities.\u201d<\/p>\n<p>Once you understand that difference, the next common confusion involves resin codes. These are the chasing-arrows symbols with numbers 1\u20137 that identify plastic type.<\/p>\n<p><strong>Resin codes:<\/strong> Resin codes show the plastic type and do not guarantee recyclability. <a href=\"https:\/\/lnh31.com\/blog\/us-ftc-green-marketing-environmental-claims-guide\" target=\"_blank\" rel=\"noindex nofollow\">PET and HDPE (codes 1 and 2) are widely recyclable in over 80% of US communities.<\/a> Polystyrene, PVC, and multi-layer films are recyclable in far fewer communities and usually need qualified claims.<\/p>\n<p>Another frequent point of confusion involves BPA language on packaging.<\/p>\n<p><strong>BPA-free vs. BPA not intentionally added:<\/strong> \u201cBPA-free\u201d does not guarantee the absence of all bisphenols or plasticizers. \u201cNot intentionally added\u201d means the manufacturer did not deliberately use BPA, yet trace amounts may still appear in testing. These labels often fail to answer the health questions consumers think they address.<\/p>\n<h2>Documents That Help Substantiate Plastic Claims<\/h2>\n<p>The document types below can support a plastic reduction claim. Each one has specific requirements, so simply having a document does not guarantee that it is adequate.<\/p>\n<ul>\n<li><strong>Laboratory test reports:<\/strong> Check the method, detection limits, scope, and whether an independent party reviewed the report. A result of \u201cno microplastics detected\u201d means none found above that instrument\u2019s detection floor, for the polymers it screened, in the lot it tested.<\/li>\n<li><strong>Life cycle assessments (LCAs):<\/strong> These follow <a href=\"https:\/\/standards.iteh.ai\/catalog\/standards\/cen\/8b219892-f458-419f-93c5-00baab1dbe87\/en-iso-14021-2026\" target=\"_blank\" rel=\"noindex nofollow\">ISO 14040\/14044 standards<\/a> and measure environmental impact across a product\u2019s full lifecycle. Many source reduction claims rely on LCA data.<\/li>\n<li><strong>Environmental product declarations (EPDs):<\/strong> These are third-party verified documents based on LCA data. <a href=\"https:\/\/nexioprojects.com\/how-to-use-your-epd-to-communicate-your-environmental-impact\" target=\"_blank\" rel=\"noindex nofollow\">Product-level environmental claims should link directly to EPD data and reference the correct lifecycle stage and functional unit.<\/a><\/li>\n<li><strong>Technical data sheets:<\/strong> These describe material composition and sourcing from suppliers. They show what a product is made of, yet they do not count as independent verification on their own.<\/li>\n<li><strong>Chain-of-custody documentation:<\/strong> These records track recycled material from its source through to the finished product. <a href=\"https:\/\/standards.iteh.ai\/catalog\/standards\/cen\/8b219892-f458-419f-93c5-00baab1dbe87\/en-iso-14021-2026\" target=\"_blank\" rel=\"noindex nofollow\">ISO 14021<\/a> explains how chain-of-custody systems support recycled content claims.<\/li>\n<\/ul>\n<p>A raw lab report still needs expert interpretation by a qualified, independent party. The method, detection limits, scope, and controls determine what the result truly supports.<\/p>\n<h2>Red Flags and Common Greenwashing Patterns<\/h2>\n<p>The patterns below often signal that a plastic claim may fail under scrutiny.<\/p>\n<ul>\n<li><strong>Vague terms such as \u201ceco-friendly,\u201d \u201cgreen,\u201d or \u201csustainable\u201d:<\/strong> The <a href=\"https:\/\/lnh31.com\/blog\/us-ftc-green-marketing-environmental-claims-guide\" target=\"_blank\" rel=\"noindex nofollow\">FTC treats broad, unqualified environmental benefit claims as deceptive<\/a> because they suggest sweeping benefits that are almost impossible to prove.<\/li>\n<li><strong>Absolute claims such as \u201cplastic-free\u201d:<\/strong> Current science cannot confirm the total absence of plastic across all particle sizes and polymer types. The California State Water Board\u2019s definition reaches down to 1 nanometer, while the best validated methods begin at 20 or 50 micrometers, which are thousands of times larger.<\/li>\n<li><strong>Lack of specifics:<\/strong> Claims that skip the percentage, baseline, or scope usually cannot answer the five audit questions and remain unsubstantiated.<\/li>\n<li><strong>Heavy reliance on self-reported data:<\/strong> Even strong internal testing looks like marketing when no independent reviewer stands behind the interpretation.<\/li>\n<li><strong>Claims that seem too good to be true:<\/strong> If a result claims a reduction larger than the test method can reliably detect, the claim is likely overstated. For example, a \u201czero microplastics\u201d claim conflicts with a method that only detects particles down to 20 micrometers.<\/li>\n<\/ul>\n<p>Regulators now act more often. <a href=\"https:\/\/twobirds.com\/en\/insights\/2026\/france\/greenwashing--condamnation-pour-les-allgations-environnementales--neutre-en-carbone--et--100--recycl\" target=\"_blank\" rel=\"noindex nofollow\">In June 2026, a Paris court ruled that \u201c100% recycled\u201d and \u201c100% recyclable\u201d claims on mineral water bottles were misleading<\/a> because caps, labels, and adhesives were not recycled. The company had to pay damages and publish the judgment on its website for six months. <a href=\"https:\/\/ashurstperkinscoie.com\/en\/insights\/australias-greenwashing-regulatory-landscape-asic-and-the-accc-stay-focused\" target=\"_blank\" rel=\"noindex nofollow\">In Australia, Clorox paid AU$8.25 million<\/a> after its \u201cocean plastic\u201d claim misrepresented the true source of the recycled material.<\/p>\n<h2>How Brands Can Apply This Framework to Their Own Claims<\/h2>\n<p>Brands can use the 5-Question Audit to draft precise claims and then seek independent verification before publishing them.<\/p>\n<p>As described earlier, The Wellness Quality Institute (WQI) provides Plastic-Free Pathway Verification by reviewing your existing lab data against a published standard. WQI evaluates the submitted data, confirms the scope, and, when the data meets the standard, issues a scope-locked verification with approved claim language and a public registry listing. Each verified product receives a registry ID that customers, retailers, and journalists can use to see exactly what was reviewed.<\/p>\n<p>The assessment fee functions as a single payment that covers the review, verification decision, and registry listing. There are no separate mark-license or registry fees. Independent laboratory testing is arranged and billed by a qualified lab, and paying the assessment fee does not guarantee a positive verification decision.<\/p>\n<p>If a product does not meet the standard, WQI keeps the outcome private. The result may reflect limited data, an unsupported method, or an incomplete scope rather than a problem with the product. Companies can update their information and resubmit without public downside.<\/p>\n<p><em>WQI Plastic-Free Pathway Verification does not certify that a product contains zero plastic, microplastics, or nanoplastics. It shows that the company follows a verified pathway toward plastic-free standards. Verification applies only to the reviewed products, submitted datasets, tested ranges, polymer panels, production or sampling periods, and supporting controls. WQI verification operates independently from any California approval, government certification, or health or safety certification.<\/em><\/p>\n<p><a href=\"https:\/\/www.wellnessqualityinstitute.com\" target=\"_blank\"><strong>Submit your lab data for WQI Plastic-Free Pathway Verification.<\/strong><\/a><\/p>\n<h2>Frequently Asked Questions<\/h2>\n<p>These answers address common questions about plastic reduction claims and how to verify them.<\/p>\n<h3>What is the difference between a recycled content claim and a recyclable claim?<\/h3>\n<p>A recycled content claim states that the product or packaging contains material that came from waste and was processed again. This includes pre-consumer waste such as factory offcuts and post-consumer waste such as items people used and discarded. A recyclable claim states that the product can be collected and processed for recycling in the consumer\u2019s area. These are different statements that rely on different evidence. A product can contain recycled content without being recyclable, and the reverse also occurs. Under the FTC Green Guides, the 60% availability threshold described earlier still applies, and resin codes identify plastic type without guaranteeing recyclability.<\/p>\n<h3>What documents do I need to substantiate a plastic reduction claim?<\/h3>\n<p>The documents you need depend on the type of claim. Recycled content claims usually require chain-of-custody documentation that tracks recycled material from source to finished product, supplier declarations, and mass balance or direct blending calculations that show the percentage of pre-consumer or post-consumer content. Source reduction claims require a defined baseline, measurement data that shows the reduction by weight or volume, and clear scope documentation. Microplastic-related claims require laboratory test reports, and those reports must include method, detection limits, polymer panel, blank controls, and scope. Life cycle assessments, environmental product declarations, and technical data sheets can add further support. Under the FTC Green Guides, all supporting evidence must exist before you make the claim.<\/p>\n<h3>What makes a plastic claim defensible instead of risky?<\/h3>\n<p>A defensible claim is specific, clearly scoped, and backed by evidence that already exists. It answers the five audit questions about what was reduced, by how much, compared to what, over what scope, and what evidence supports it. A risky claim stays vague, uses absolute language that science cannot support, leans on self-reported data without independent review, or stretches one product\u2019s result to cover a whole line or company. Enforcement actions in the US, France, Australia, and Italy have focused on claims that failed these basic tests. The FTC Green Guides require competent and reliable scientific evidence, produced by qualified people using accepted methods, and that evidence must be strong enough before the claim appears in public.<\/p>\n<h3>Can a product ever legitimately claim to be \u201cplastic-free\u201d?<\/h3>\n<p>Current laboratory technology cannot confirm the complete absence of plastic across every particle size and polymer type. As noted earlier, the detection gap between definitions and test methods makes absolute claims impossible to prove. A \u201cnone detected\u201d result means none found above the instrument\u2019s detection floor, for the polymers it screened, in the lot it tested. Absolute claims such as \u201cplastic-free\u201d or \u201cmicroplastic-free\u201d now face frequent legal challenges. A more honest and defensible approach describes verified progress toward plastic-free standards, scoped to the specific evidence reviewed.<\/p>\n<figure style=\"text-align: center\"><img decoding=\"async\" src=\"https:\/\/cdn.aigrowthmarketer.co\/1784829388732-c6255482b477.webp\" alt=\"Fragments of plastic suspended in blue water below the surface.\" style=\"max-height: 500px\" loading=\"lazy\"><figcaption><em>Plastic doesn&#039;t disappear \u2014 it fragments. These secondary microplastics are the breakdown products of everyday objects, and independent research now detects them across the water supply. Detection, though, establishes presence, not absence.<\/em><\/figcaption><\/figure>\n<h3>What is ISO 14021, and does it apply to US brands?<\/h3>\n<p>ISO 14021 is the international standard for self-declared environmental claims, meaning claims a brand makes on its own without a third-party certification program. The 2026 edition requires that claims be accurate, verifiable, and substantiated before they appear in marketing. It sets rules for claim types such as recycled content, source reduction, and recyclability, and it restricts vague terms such as \u201ceco-friendly,\u201d \u201cgreen,\u201d and \u201csustainable\u201d when they lack proof. ISO 14021 does not function as a certification scheme, so no product is \u201cISO 14021 certified.\u201d It operates as a rulebook for how companies structure their own claims. US brands do not face a legal requirement to follow ISO 14021, yet it aligns closely with the FTC Green Guides and offers a recognized framework that reduces greenwashing risk.<\/p>\n<h2>The Value of a Defensible Plastic Claim<\/h2>\n<p>Clear, well-supported plastic reduction claims protect brands in a tightening regulatory environment. The 5-Question Audit offers a practical, repeatable way to test whether a claim will hold up before it reaches consumers.<\/p>\n<p>A claim that cannot answer all five questions is not ready for publication. A claim that answers all five, backed by independently reviewed evidence, gives a brand something it can stand behind when retailers, legal teams, or journalists ask for proof.<\/p>\n<p><a href=\"https:\/\/www.wellnessqualityinstitute.com\" target=\"_blank\"><strong>Start building a defensible plastic claim with WQI Plastic-Free Pathway Verification.<\/strong><\/a><\/p>\n<section data-read-next=\"true\">\n<h2>Read Next<\/h2>\n<ul>\n<li><a href=\"https:\/\/www.wellnessqualityinstitute.com\/articles\/third-party-verification-plastic-reduction\" target=\"_blank\">Third-Party Verification for Plastic Reduction Claims<\/a><\/li>\n<li><a href=\"https:\/\/www.wellnessqualityinstitute.com\/articles\/retail-sustainability-claim-verification-programs\" target=\"_blank\">Retail Sustainability Claim Verification Programs Explained<\/a><\/li>\n<li><a href=\"https:\/\/www.wellnessqualityinstitute.com\/articles\/plastic-claim-verification-program\" target=\"_blank\">Plastic Claim Verification Programs: A Brand Guide<\/a><\/li>\n<li><a href=\"https:\/\/www.wellnessqualityinstitute.com\/articles\/avoid-greenwashing-plastic-reduction\" target=\"_blank\">Turn Lab Data Into Verified Plastic-Free Claims: 6 Steps<\/a><\/li>\n<li><a href=\"https:\/\/www.wellnessqualityinstitute.com\/articles\/avoiding-unsubstantiated-clean-label-claims\" target=\"_blank\">How to Avoid Unsubstantiated Clean Label Plastic Claims<\/a><\/li>\n<\/ul>\n<\/section>\n","protected":false},"excerpt":{"rendered":"<p>The Wellness Quality Institute helps brands verify plastic reduction claims, spot greenwashing, and build defensible sustainability messaging.<\/p>\n","protected":false},"author":118,"featured_media":270,"comment_status":"open","ping_status":"open","sticky":false,"template":"","format":"standard","meta":{"inline_featured_image":false,"footnotes":""},"categories":[3],"tags":[],"class_list":["post-271","post","type-post","status-publish","format-standard","has-post-thumbnail","hentry","category-certification"],"_links":{"self":[{"href":"https:\/\/www.wellnessqualityinstitute.com\/articles\/wp-json\/wp\/v2\/posts\/271","targetHints":{"allow":["GET"]}}],"collection":[{"href":"https:\/\/www.wellnessqualityinstitute.com\/articles\/wp-json\/wp\/v2\/posts"}],"about":[{"href":"https:\/\/www.wellnessqualityinstitute.com\/articles\/wp-json\/wp\/v2\/types\/post"}],"replies":[{"embeddable":true,"href":"https:\/\/www.wellnessqualityinstitute.com\/articles\/wp-json\/wp\/v2\/comments?post=271"}],"version-history":[{"count":1,"href":"https:\/\/www.wellnessqualityinstitute.com\/articles\/wp-json\/wp\/v2\/posts\/271\/revisions"}],"predecessor-version":[{"id":276,"href":"https:\/\/www.wellnessqualityinstitute.com\/articles\/wp-json\/wp\/v2\/posts\/271\/revisions\/276"}],"wp:featuredmedia":[{"embeddable":true,"href":"https:\/\/www.wellnessqualityinstitute.com\/articles\/wp-json\/wp\/v2\/media\/270"}],"wp:attachment":[{"href":"https:\/\/www.wellnessqualityinstitute.com\/articles\/wp-json\/wp\/v2\/media?parent=271"}],"wp:term":[{"taxonomy":"category","embeddable":true,"href":"https:\/\/www.wellnessqualityinstitute.com\/articles\/wp-json\/wp\/v2\/categories?post=271"},{"taxonomy":"post_tag","embeddable":true,"href":"https:\/\/www.wellnessqualityinstitute.com\/articles\/wp-json\/wp\/v2\/tags?post=271"}],"curies":[{"name":"wp","href":"https:\/\/api.w.org\/{rel}","templated":true}]}}