Letter calls upon the REGI Committee to exclude fossil fuels from the Just Transition Fund

Dear Member of the REGI Committee, 

We call on you to vote in favour of a better future for communities by voting for regions to leap forward, not backwards. In your vote on the 6 July, we ask the REGI Committee to exclude fossil fuels from the Just Transition Fund – including fossil gas – and support a just transition for all. 

Fossil gas is a fuel with substantial CO2 and methane emissions contributing to climate change and its catastrophic impacts on people and biodiversity. Methane is 86 times more potent than carbon dioxide (CO2) over a 20-year period, making it the second most important greenhouse gas, contributing to 25% of warming experienced today. 

Fossil gas infrastructure is also not compatible with most renewable gases, and almost certainly not for renewable gases at scale. The European Commission and the International Energy Agency (IEA) have successively scaled down gas demand projections for 2030. 

The EU’s Just Transition Fund is an integral part of the EU Green Deal. It has the potential to ensure that Europe’s transition to a climate neutral, resilient and healthy future leaves no region – or person – behind. But this requires a strong commitment to a climate-neutrality goal that would limit global temperature rise to 1.5°C. 

Communities have an opportunity to leap forward to a more sustainable, more resilient and healthier future away from carbon extractive industries. Investing in fossil gas comes with huge cost to the climate, Europe’s competitiveness and European societies. Meanwhile, renewable energy investments bring up to three times more jobs per euro invested than the same amount invested in fossil fuels – and renewable jobs are more likely to be local than those in fossil gas. 

It’s time to face the truth: fossil gas has no place in EU funds, including the Just Transition Fund. The Council realised this and so too must the Parliament.

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EU-ASE at the EU Sustainable Energy Week 2020

This year the EU Sustainable Energy Week (EUSEW) took place in an online and reduced format. As a proud partner of EUSEW 2020, EU-ASE contributed in different ways to the success of the event, as shown below.

Participation in the EUSEW 2020 main conference and side webinars:

  • Decisive action on energy poverty: solutions from across the EU – organised by DG ENER (European Commission) – Watch the recording here
  • Spurring Europe’s Renovation Wave – How #BetterBuildingsEU can contribute to #EUGreenRecovery – co-organised with smartEn, EuroAce, SolarPower Europe, EHPA, BPIE, EuropeOn and EBC – Watch the recording here
  • Decarbonising industry and the ICT sector: energy and CO2 saving potential in the short and longer term – co-organised with the European Industrial Insulation Foundation, the German Environment Agency (UBA) and the Fraunhofer Institute for Systems and Innovation Research ISI – Watch the recording here
  • Powering energy transition in rural communities through social and territorial innovationMore information here

Blog contributions:

  • Renovation Wave: the immediate and powerful recovery button at the fingertips of EU policymakersRead here
  • Smart and the city: energy efficiency and sector integration for a #carbonneutralEU Read here

 

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Water is everyone’s business

The European Alliance to Save Energy is one of the undersigned organisations and businesses​ that stand with the 375,000 European citizens who have urged the EU governments and the European Commission to preserve the European Union’s groundbreaking Water Framework Directive in its current form, as advocated by the #ProtectWater campaign.

The Water Framework Directive is the key law to ensuring that freshwater ecosystems in Europe are protected and restored and water is sustainably managed, fully supporting the achievement of the Sustainable Development Goals.

This law has provided a stable regulatory framework and has encouraged collective water stewardship action in river basins across the EU.

The joint statement is signed by:

AquaFed, Aqualia, Compagnie Intercommunale Liégeoise des Eaux, The Coca-Cola Company, Coca-Cola European Partners, Coca-Cola Hellenic Bottling Company, Dupont Water Solutions, Ecolab, European Alliance to Save Energy (EU-ASE), European Fishing Tackle Trade Association, European Outdoor Conservation Association, Greencore, Grundfos, H&M Group, Heineken, Knauf Insulation, Kyoto Club, NVP Energy Solutions, Suez, Veolia, WAKEcup Global, Water Europe, and Xylem.

 

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EU-ASE response to the Inception Impact Assessment on the Industrial Emissions Directive

European Alliance to Save Energy (EU-ASE) welcomes the opportunity to provide feedback to the European Commission’s publication of an inception impact assessment on the revision of the Industrial Emissions Directive (IED). 

While we believe the Directive has been responsible for solid progress against identified air and water pollutants, and the BREF process has contributed to identifying Best Available Techniques, in its current form the Directive is not able to contribute toward EU ambitions for climate neutrality. 

Based on this, EU-ASE would like to highlight the following recommendations to support the Commission in its ongoing work on the IED’s revision.

1. Broadening of the scope 

A change in scope is needed so that the IED becomes part of the EU’s arsenal for climate neutrality. The IED should not only look at industrial emissions from a qualitative perspective, instead it should go further and focus on use of resources in industrial manufacturing processes, circular economy and the reuse of resources in to order to have a real impact. 

2. Making the Energy Efficiency BREF mandatory for all sectors 

There is a general consensus that the Energy Efficiency BREF has not been made a priority focus in the past and needs strengthening of the requirements to reduce energy losses. Its implementation needs to be made mandatory for all sectors, taking into account the Energy Efficiency First principle. 

3. Tackling water scarcity and efficiency needs by reducing water consumption 

The issue of water scarcity and efficiency needs to be tackled before it becomes a larger, more critical issue for industry. In Europe, more than 50% of fresh water abstraction is for industrial purposes. While we welcome the inclusion of water reuse in the existing BREFs, the reduction of water consumption has clearly not been a key environmental issue addressed by the BREF technical committees as only 20 BAT conclusions (out of 850 in total) have included water usage reductions or increasing water reuse. 

4. Focusing on the energy-water nexus 

We believe that the IED should give greater priority to water consumption with a focus on reuse under circular economy principles. This should include a focus on water and heat in industrial processes (the “energy-water nexus”) where water efficiency leads to energy savings and emissions reductions.

5. New policy objectives 

We would like to see water efficiency and water reuse in industrial processes, waste water minimisation, and the digitisation of water management in industry become policy objectives of the IED. 

6. Horizontal BREF on water efficiency and reuse 

The Commission could consider developing a horizontal BREF on water efficiency and reuse to mainstream these practices across European industries. 

7. Fit for innovation and new technologies 

The slow incremental nature of the “available techniques” needs to be addressed to better promote innovation, and BREFs require a mechanism to adapt more quickly to rapidly advancing technologies (there is no backwards compatibility). 

8. Encourage behavioral change and incentive mechanism 

The Commission should seize this opportunity to encourage behavioural change amongst industry leaders and provide incentive mechanisms to help them realise the different benefits of water and energy efficiency measures (water, energy, emissions and industrial competitiveness).

 

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EU-ASE response to the Inception Impact Assessment on the 2030 Climate Target Plan

As European businesses and investors having energy efficiency and energy demand reduction at the heart of our activities, we strongly support President Ursula von der Leyen’s commitment to set the EU on a path to becoming the world’s first climate neutral continent by 2050 at the latest.

In view of this goal, we believe that the 2030 greenhouse gas emissions reduction target must be increased from the current 40% to at least 55% because a more ambitious target will put the EU on a more gradual and sustainable pathway to climate neutrality by 2050. An increased 2030 target is also critical because it reflects the absolute urgency, underlined by the IPCC latest Special Report on the impacts of global warming, to address climate change and reduce to minimum GHG emissions in the next ten years.

A growing number of Member States are already committed to increasing their climate ambition. A target of at least 55% by 2030 at the EU level is also feasible from both technical and economic point of view and, according to the European Commission’s own analysis, it is likely to lead to a net increase in GDP of 2%, a surge in employment and a reduction in costs linked to fossil fuel imports and health damages.

We believe that increasing the 2030 GHG target to at least 55% requires a comprehensive assessment which will consider the impact of such policy decision both in terms of direct benefits (e.g. employment, reduced energy costs and import dependency, competitiveness) as well as avoided costs (e.g. environmental damages, health costs, fossil fuel subsidies). We are also convinced that such assessment should be based on the analysis of the European energy infrastructure needs and must fully apply the energy efficiency first principle to prevent lock-in into carbon-intensive future pathways.

 

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