The Zero Emissions Platform (ZEP) and the European Energy Research Alliance (EERA) welcome the opportunity to provide input to the European Commission’s consultation on the ‘Past, present and future of the EU’s Horizon research and innovation programmes 2014-2027’.
The Zero Emissions Platform (ZEP) and the Carbon Capture and Storage Association (CCSA) welcome the opportunity to provide input to the Article 6.4 Supervisory Body call for input on carbon removals.
The Zero Emissions Platform (ZEP) welcomes the opportunity to provide input to the European Commission’s consultation on the first Union list of Projects of Common Interest (PCIs) / Projects of Mutual Interest (PMIs) in CO2 networks under the revised TEN-E. The ZEP response can be found here attached.
The Zero Emissions Platform (ZEP) welcomes the opportunity to provide input to the European Commission on the revision of the CCS Directive Guidance Documents. The ZEP response can be found here attached.
The Zero Emissions Platform (ZEP) welcomes the opportunity to provide input to the European Commission’s Directorate-General for Climate Action on the future operation of the Innovation Fund. The achievement of the European Union (EU) ‘s net-zero and net-negative targets will require a portfolio of technologies, including Carbon Capture and Storage (CCS), Carbon Capture and UtilisationContinue reading “Recommendations on the market needs in relation to the EU ETS Innovation Fund”
The Zero Emissions Platform (ZEP) welcomes the opportunity to provide input to DG CLIMA’s consultation on the design of competitive bidding schemes for hydrogen under the Innovation Fund.
On 27 September 2022, ZEP responded to the ICVCM Consultation: Core Carbon Principles (CCPs), Assessment Framework, and Assessment Procedure. ZEP’s response is publicly available here.
On 25 March 2022, ZEP responded to the European Commission’s call for evidence on the certification of carbon removals. ZEP’s response is publicly available here.
In light of the revision of the EU ETS Directive, ZEP would like to share some comments on the adopted act. The key points outlined in the response are: