The creative Guidance Document n°6 on the harmonized free allocation methodology for the EU-ETS post 2012 – does the word “predominantly” have legal significance?
- Category: Implementation
The Decision does not use the word “predominantly” in the context of the special allocation procedures for private households and does not contain explicit provisions that would enable the differentiation of factual circumstances with 25 apartments and 2 shops from 25 apartments and 3 shops.
Multiple heat producers, heat network and multiple consumers – how to collect data on carbon leakage exposures?
- Category: Implementation
Is the heat distributor legally entitled to deliver data on the heat consumer’s carbon leakage status to the heat producer assuming that the agreement between the heat distributor and heat consumer does not regulate the matter?
Investing in Californian emission allowances – formal requirements
- Category: Emissions trading
What does it mean CA GHG Allowance? If somebody wish to invest in such an assets for strictly speculative purposes should apply to ARB to become VAE. Beneath an approximation of what could be expected from an investor taking into account purely formal aspects of the potential application. The issue may gain quite practical importance in 2012 already.
Enigmatic cross-sectoral correction factor – worries about final allocation
- Category: Implementation
In the case of installations being non-electricity generators, the final allocation could be determined only once the need and the value of the cross-sectoral correction factor is stipulated.
Green CERS – designed to be more far-reaching, but do they really are?
- Category: Implementation
The thorough assessment of the whole situation must lead to the conclusion that the list of green CERs is actual only at the given moment in time and there are no guarantees that the list will not change in the near future depending on current political fluctuations. The CERs that are “green” now, unnecessarily must remain “green” at the beginning of the third trading period as well as in the course thereof.
Emissions market and EMIR – non-financial counterparties also covered
- Category: Emissions trading
The Proposal for a Regulation of the European Parliament and of the Council on OTC derivatives, central counterparties and trade repositories (commonly referred to as the European Market Infrastructure Regulation - EMIR) provides for some new obligations envisioned to be imposed on non-financial counterparties (among others commodity firms) acting also on the emission market. The impacts are far-reaching and may require mayor organisational changes among market participants. There are also ambiguities regarding the practical implementation of the new measure.
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