Electricity Market Design: An Integrated System Perspective is Needed to Fully Harness Flexibility
The undersigned organisations, representing multiple energy carriers and integrated energy solutions, welcome the focus put on flexibility in the review of the electricity market design. Indeed, a clear definition of flexibility and measures such as the flexibility needs assessments will be essential to harness both the flexibility potential of existing assets and the roll-out of new low-carbon flexible assets. Still, while demand response and electricity storage can contribute to a certain extent to address short-term flexibility needs, we need a range of non-fossil and low-carbon flexibility services to ensure the lowest cost and most optimal balancing of supply and demand over all timeframes.
COGEN Europe’s input to the revision of the Energy Performance of Buildings Directive
The Energy Performance of Buildings Directive Revision: Accelerate the decarbonisation of Europe’s diverse building stock
COGEN Europe recommendations: Lot1 Ecodesign/Energy Labelling revision
COGEN Europe welcomes the work carried out for the revision of the Commission Regulations EU 811/2013 and EU 813/2013 with regard to energy labelling and ecodesign requirements of space heaters and combination heaters. While fully supportive of an ambitious approach to energy efficiency of space heaters, COGEN Europe considers that the proposals made for micro-cogeneration systems are inconsistent with the “energy efficiency first” principle and the broader EU Green Deal objectives.
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