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The Reform of State Aid Rules on Services of General Interest Collège d‘Europe , Bruges , 30 September 2011

The Reform of State Aid Rules on Services of General Interest Collège d‘Europe , Bruges , 30 September 2011 The Impact of the Almunia - Reform on the Energy Sector. Prof. Dr. Joh.-Christian Pielow Institute for Mining & Energy Law Ruhr University Bochum.

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The Reform of State Aid Rules on Services of General Interest Collège d‘Europe , Bruges , 30 September 2011

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  1. The Reform of State Aid Rules on Services of General Interest Collèged‘Europe, Bruges, 30 September 2011 The Impact oftheAlmunia-Reform on theEnergySector Prof. Dr. Joh.-Christian Pielow Institute for Mining & Energy Law Ruhr University Bochum
  2. In general: State Aids in theEnergysector “Important part of the Commission’s practice and the case law of the ECJ”;(L. Hancher, 2001) Case groups: Promotion of primary fossil carriers (coal  ECSC until 2002 & Regulation 1407/2002 until 2010; nuclear  EAEC (e.g. Insuring nuclear risks) State aids forenergy undertakings and for energy infrastructures State aids through (public) energy undertakings, e.g. early ECJ –Gasunieand, in general, to energy consumers State aid & energy taxes – and exemption clauses in other (environmental) funding schemes, conc. in particular the promotion of “renewables” (see also ECJ – Preussenelektra) , of energy efficiency and within the Emission Trading Scheme (ETS)  Community Guidelines on State Aid for Environmental Protection (under art. 107 III TFEU), O.J. C 82 of 1.4.2008 (serves to an integrated European energy and climate protection policy within the Energy Action Plan) Pielow | Collèged‘EuropeBruges | 30 September 2011
  3. In particular: State Aids toenergyrelated SGEI Impacts of sectoral regulation Current Internal Market-Directives 2009/72 & 73 for Energy & Gas: Transmission and distribution activities = natural monopolies  subject to specific (network/access) regulation (Electricity) production, wholsesale trading and retail opened to competition Electricity and gas markets still remain mostly national in scope; Council’s commitment 2011 to complete the IM by 2014 Article 3.2 Electr./Gas Directive: MS may impose, in the general economic interest, public service obligations which may relate to security (incl. security of supply), regularity, quality and price of supplies an environmental protection (including energy efficiency, energy from renewable soruces and climate protection) 3d legislative package 2009: MS ensure universal services to household consumers (voluntarily also to SME), i.e. supply with electricity of a specified quality at reasonable, comparable, transparent and non-discriminatory prices; “supplier of last resort” (Article3.3 Dir. 2009/72) 3d legislative package 2009: MS take appropriate measures in particular to vulnerable customers and final customers in remote areas (Articles 3.23 resp. 3.3. Dir. 2009/72 and 2009/73/CE) Pielow | Collèged‘EuropeBruges | 30 September 2011
  4. In particular: State aidstoenergyrelated SGEI Despite of manifold hints in energy-Directives and efficiency of large scale commercial Services entrusted with SGEI is a specific focus of the draft package ... : “The Commission has limited experiences concerning State aid granted as compensation for the fulfilment of public service obligations in the electricity or gas sector” (Working paper SEC[2011] 397) Few SGEI case law because of few market failure? Previous decision practice (by applying of specific evaluation schemes on clear definition of PSO, transparency, non-discrimination and verifiability): Reference prices for gas retail supply, ECJ C-265/08 (2010) –Federutilitya.o. Commission’s (few) decisions: Costs of transition to competition, electricity generation out of peaks, stranded costs compensations, electricity tariffs, preferential dispatch mechanisms for indigenous coal power plants (long-term power purchase agreements: see EUECJ, T-179/09 – Hungary, pending) Little relevance in particular in terms of supply of last resortbecause this is regularly imposed on incumbents with strong positions on their home markets – and without any separate financial compensation ! insofar, also the resort to tendering procedures is rare Pielow | Collèged‘EuropeBruges | 30 September 2011
  5. In particular: State aidstoenergyrelated SGEI Consequently: Practical relevance of the Alumni draft package in the energy sector is low (for the time being) - irrespective of decreased thresholds within the “Decision” (up to 15 Mio. €) “Framework” – mainly concerning service compensation Net avoided costs vs. cost allocation; reasonable profit; efficiency incentives Interpretation & application in view of experiences (and conflicts!!) within incentive network regulation regimes (“quality regulation”) and/or under the guidelines for environmental protection ? “Efficient” costs comparison may result extremely difficult in view of manifold and diverse types and scales of energy undertakings (e.g.: more than 1.200 in Germany) De minimisaids (“Regulation”): Draft regulation only applies to grants by local authorities up to 10 000 inhabi-tants; application concerning (local) “energy services” in upcoming “Smart Cities” ? again: SGEI regime regularly not applies to “minimum services” in the framework of energy supply of last resort Pielow | Collèged‘EuropeBruges | 30 September 2011
  6. Conclusion & outlook Even if energy “as such” is a public service par excellence – the sector is not in the main focus of (genuine) SGEI rules: Look ahead: coal fired or nuclear power plants as a backup for intermittent renewables (E, H, Pl, D) foreseeable extension of innovative financing regimes, in particular in the context of energy efficiency (climate protection) policy & new technologies (Smart Energy, smart grids)  Matching of environmental guidelines and Alumni rules? on the other side: Energy efficiency oriented “enrichment” of EU public procurement rules!  Roadmap to a resource efficient Europe from 20.9.2011 – COM[2011] 571 Simplification & debureaucratisation (e.g. in municipalities)? Pielow | Collèged‘EuropeBruges | 30 September 2011
  7. Manythanksforyourattention ! Anyquestions? Prof. Dr. Joh.-Christian PielowRuhr-Universität BochumInstitut für Berg- und EnergierechtTel.: +49 - 234 – 32-27333 E-Mail: ibe@rub.deWeb: www.rub.de/ibe Pielow | Collèged‘EuropeBruges | 30 September 2011
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