Position Papers All Types Consultation Response (10) Factsheet (7) Joint Statement (58) Letter (20) Newsletter (0) Podcast (2) Policy Recommendations (99) Reaction (2) Report (5) Study (1) All Topics Affordability (13) Certification (8) Citizens Energy Package (1) Climate Delegated Act (1) Distribution (10) Energy Security & Diversification (39) ETS (1) EUMR (5) GHG Protocol (1) Grids Package (1) Heating & Buildings (6) Hydrogen (1) Hydrogen Infrastructure (1) Industrial Carbon Management (10) Maritime Transport (5) Market Design & Oversight (59) Methane Emissions (15) Post-2030 (1) Price Cap (1) Renewable & Low-Carbon Fuels (56) Road Transport (13) Sustainable Finance (5) Taxation (1) Taxonomy (1) Reset REMIT II Implementation should ensure Proportionality, a Tailor-Made Approach to Energy Markets and Stakeholder Consultation. FLEXIBILITY IN THE ENERGY TRANSITION A Toolbox for Gas DSOs FLEXIBILITY IN THE ENERGY TRANSITION A Toolbox for Electricity DSOs Gas: CUTTING EMISSIONS AND POLLUTION IN MARITIME TRANSPORT A Just Transition for the gas sector: inclusive, future proof, flexible Challenges and opportunities for employment in the gas sector in the context of the European energy transition: ensuring a just transition for workers Eurogas supports the Commission’s investigation into State Aid for Biomethane. Weights and Dimensions should incentivise both zero-emission and alternatively-fuelled vehicles. Eurogas & 45 other organisations call for urgent action allowing imports of biomethane and biomethane-based fuels under the UDB. National neutrality charges will fragment the EU market and are against the Union’s spirit of solidarity. The GHG Protocol Update should include Market-Based Accounting. Eurogas Statement: US LNG exports to Europe contribute to security of supply, the energy transition and both economies. EMIR 3 trialogues: Adopt changes to the clearing threshold calculation without delay. REMIT II should provide adequate implementation periods. Back-up disclosure channels would help enable energy firms manage risk effectively. Biomethane imports should be automatically included in the Union Database CCU/S technologies in NZIA are welcome, but we must also have a clear target for CO2 injection capacity. We need an integrated systems perspective to fully harness flexibility in the Electricity Market Design. We propose the Commission prolong the Energy Platform for one year while assessing its impact We need a binding biomethane target for 2030 What role should LNG play in Europe moving forward? NZIA should recognise CCU as a Strategic Net-Zero Technology NZIA should define Sustainable Alternative Fuels technologies as Strategic Net-Zero Technologies European Auto and Fuel industries announce new working group for monitoring methodologies for CO2-neutral fuels Zero-Emission Buildings: renewable energy delivered through grids is key JEAG Letter on REMIT II Trialogues Eurogas’ Position on the Extension of AggregateEU, the Demand Aggregation Platform Eurogas position on the European Hydrogen Bank Joint Industry Letter on the Urgent Need for an RFNBO Certification Framework Eurogas reaction to the open public consultation on the 2040 Climate Targets Eurogas reaction on ongoing revision of the Electricity Market Design PODCAST | “Time matters”. Why we need to get better at measuring methane emissions PODCAST | Joint gas purchasing in Europe: so far a success? An EU binding biomethane target in the Gas Regulation is critical to support strategic energy autonomy and climate objectives CO2 standards for heavy-duty vehicles and analysis of the Commission Impact Assessment Eurogas recommendations on the Net Zero Industry Act proposal GHG Protocol – Eurogas key statements Recognising carbon capture and utilisation as strategic net zero technologies Recommendations in view of the EU-US Energy Council Ministerial Meeting on 4 April 2023 Eurogas recommendations on the Union Certification Framework for carbon removals Joint letter to the Prime Minister of Japan, Fumio Kishida Zero-emission buildings: why renewable energy delivered through the grids is key Joint Industry Statement: An Electricity Market Design Fit For Net Zero Open joint letter to the European Commission concerning the Union Database Eurogas position on CO2 standards for heavy-duty vehicles GHGP Land Sector and Removals Guidance – Impact on Biogas Sector Joint Common Principles for Enhanced Consumer Protection this Winter Joint Statement on the REDII Delegated Act Art. 28 (5): the Importance of Industrial CCU for Reaching Climate Neutrality 1 2 3 4