Insights

Latest European developments on measures to support transition towards a net-zero economy

Latest European developments on measures to support transition towards a net-zero economy

Mar 21, 2023
Download PDFDownload PDF
Print
Share
English

Summary

On March 9, the European Commission adopted a series of measures to foster investment and financing the transition to climate neutrality and a net-zero industry in the EU.

To this end, the Commission has:

  • adopted a Temporary Crisis and Transition Framework to promote state support measures towards sectors which are key for the transition to a net-zero economy;
  • amended the General Block Exemption Regulation («GBER») – which allows Member States to grant public support to specific categories of activities without seeking prior approval from the Commission – to encourage state support towards green and digital transition.

WITH REGARD TO THE PROVISION OF THE NEW TEMPORARY CRISIS AND TRANSITION FRAMEWORK

In order to support sectors key to the energy transition, the new Temporary Crisis and Transition Framework provides, in essence to:

  • postpone until 31 December 2025 the possibility for Member States to support measures needed for the transition towards a net-zero industry, especially for the rollout of renewable energy, energy storage and schemes for the decarbonisation of industrial production processes; 
  • facilitate support schemes by (i) simplifying the conditions for the granting of aid to small projects and less mature technologies (e. renewable hydrogen) and by lifting the need for a competitive bidding process for these projects, (ii) expending the possibilities of support towards all types of renewable energy sources as well as decarbonisation of industrial processes switching to hydrogen-derived fuels and (iii) providing for higher aid ceilings and simplified aid calculation;
  • foster strategic equipment – such as batteries, solar panels, wind turbines, heat-pumps, electrolysers or carbon capture usage and storage by enabling Member States to:
    • provide support capped at a certain percentage of the investment costs and nominal amounts, depending on the location of the investment and the size of the beneficiary – with higher support to SMEs and companies located in disadvantaged regions;
    • provide higher support to individual companies, where there is a real risk of investments being diverted away from Europe, in order to incentivise the company to locate the investment in the EEA. This option is however subject to a number of safeguards.

It is now up to Member States to seize this new opportunity to develop specific projects within the framework of their national recovery plans.

WITH REGARD TO THE NEW PROVISION OF THE MODIFIED GENERAL BLOCK EXEMPTION REGULATION

With the same goal of supporting activities that contribute to a net-zero industry, the amendment of the GBER aims, in essence, to:

  • increase support renewable energy, decarbonisation projects, green mobility and biodiversity;
  • favour investments in renewable hydrogen and energy efficiency;
  • facilitate the implementation of certain projects involving beneficiaries in several Member States, such as Important Projects of Common European Interest (‘IPCEI'), in the R&D field;
  • extend the possibilities for training and reskilling across sectors by exempting from notification training aid below €3 million;
  • exempt aid measures set up by Member States to regulate prices for energy such as electricity, gas and heat produced from natural gas or electricity;
  • significantly increase notification thresholds for environmental aid as well as for Research, Development and Innovation (‘RDI') aid ;
  • streamline the possibilities for risk finance aid, for SMEs and start-ups, as well as for financial products supported by the InvestEU Fund;
  • prolong the GBER until the end of 2026.

Related Practice Areas

  • Antitrust

  • International Trade

  • Energy & Natural Resources

  • Environment

  • Infrastructure

Meet The Team

+33 (0) 1 44 17 77 95
+33 (0) 1 44 17 77 58

Meet The Team

+33 (0) 1 44 17 77 95
+33 (0) 1 44 17 77 58

Meet The Team

+33 (0) 1 44 17 77 95
+33 (0) 1 44 17 77 58
This material is not comprehensive, is for informational purposes only, and is not legal advice. Your use or receipt of this material does not create an attorney-client relationship between us. If you require legal advice, you should consult an attorney regarding your particular circumstances. The choice of a lawyer is an important decision and should not be based solely upon advertisements. This material may be “Attorney Advertising” under the ethics and professional rules of certain jurisdictions. For advertising purposes, St. Louis, Missouri, is designated BCLP’s principal office and Kathrine Dixon (kathrine.dixon@bclplaw.com) as the responsible attorney.