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ACER Code - a universal pass to the EU energy market?

Category: REMIT
Published: 04 April 2016

 

 

Is it formally correct to conclude a contract in the wholesale energy market with the counterparty that has not registered in the European Registry of Energy Market Participants and, consequently, does not have the ACER Registration Code?

 

Read more …

Final customers' REMIT reporting - D-Day 7 April 2016

Category: REMIT
Published: 07 March 2016

 

The scope for final customers reporting under the REMIT Regulation occurs much more extensive than anyone could so far expect.

 

Read more …

How do you report trades based on index under REMIT?

Category: REMIT
Published: 01 March 2016

 

Under the REMIT reporting scheme trades based on index may, theoretically, be reported in two alternative ways.

 

Read more...

 

EFET master agreements' reporting under REMIT - everything clear?

Category: REMIT
Published: 18 February 2016

 

Are EFET master agreements reportable under REMIT? ACER's recent interpretations create confusion in the market.

 

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Inside information on the carbon market - time to build expertise

Category: MAD/MAR
Published: 15 February 2016

 

I'm sure your company has in place documented systems and procedures to conduct - with due diligence -  assessments, which of your emissions data will have the potential to influence on the market price of carbon (or that the said impact is, for example, negligible).

 

No? But, obviously, you have already verified whether your company exceeded, at the group level, the threshold of 6 million tonnes of carbon dioxide equivalent a year or a rated thermal input of 2,430 MW. Not true? I don't believe it! 

 

If, neglecting the above issues, you're counting on the fact that your company is already publishing inside information under the REMIT Regulation, this misunderstanding may have severe consequences.

 

Read more …

Second chance to exclude small installations from the EU ETS

Category: Emissions trading
Published: 08 February 2016

 

8 countries only (DE, ES, FR, HR, IS, IT, SI, UK) use the possibility to exclude small installations and hospitals from the EU ETS in in third trading period (2013-2020).

 

This may appear surprising, given heavy criticism sometimes targeted on multiple EU ETS  bureaucratic requirements. 

 

The draft Directive, however, gives those absent the second chance to revise their carbon politics and, consequently, to update lists of excluded installations or, even - for Member States currently not making use of this option - to do so at the beginning of each trading period.

 

Hence, the implementation of new politics in this regard can start as from 2021.

 

Read more...

 

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