EUROFER Comments on Draft EU Taxonomy Article 8 Delegated Act
EU TaxonomyRamboll

EUROFER Comments on Draft EU Taxonomy Article 8 Delegated Act

The European steel industry association EUROFER is submitting its comments and suggestions to European Commission on the proposed provisions of Article

The European steel industry association EUROFER is submitting its comments and suggestions to European Commission on the proposed provisions of Article 8 Delegated Act. EUROFER said “The European steel industry is progressively transitioning towards greener solutions and plays a crucial role in moving towards a carbon neutral economy. The sector is considered a transitional activity for the objective of Taxonomy climate change mitigation. Transitional activities are those economic activities for which there are currently no technologically and economically feasible low carbon alternative, but that are taking actions for transitioning towards a climate neutral economy. In order to reach the EU’s ambitious reduction target for 2030 and climate neutrality in 2050, novel technologies need to be demonstrated and scaled-up, which will require large and significant CAPEX investments, as well as increased OPEX for production in Europe. Given the magnitude of such investments, the EU taxonomy system must be developed to meet the scientifically based targets under 2030 and 2050, while at the same time allowing financing for activities contributing and transitioning to the EU climate and environmental goals, such as steel manufacturing.”

It added “Furthermore, taxonomy, its delegated acts and the relating reporting obligations should take into account the complexity of the steel sector: as a matter of fact, this is the only industrial sector for which the Delegated Act on climate mitigation and adaptation includes several technical screening criteria to comply with, covering different sub-activities and phases of the steel making process. This implies that the steel “activity” will need to be assessed against each and one of these criteria. It is therefore crucial that the reporting obligations set in accordance with Art. 8 of the Taxonomy Regulation are clear, legally certain, and that additional economic and administrative burdens for undertakings are prevented or limited.”

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