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REMIT II should provide adequate implementation periods.

REMIT II introduces substantial changes to numerous REMIT provisions, for which adequate transitional periods should be foreseen. This would ensure proper implementation and compliance in the wake of significant modifications to IT systems, reporting streams, organisational setups, legal arrangements, and more.

Eurogas and its cosignatories call for the adoption of a 12-month general implementation period with a few notable exceptions for more complex modifications. This should extend to any delegated or implementing act that is required as well.

Read our joint statement here for more: [PDF]