Are the measures foreseen by the EU socially balanced and ambitious enough? And what stumbling blocs sneak along the way?
New geopolitical and energy-market realities have highlighted the EU's overdependence on gas, oil and coal imports from Russia. Europe is currently facing a dilemma: how does it cut its heavy and costly dependency on Russian fossil fuels while keeping the lights on for citizens and industry across the continent? This dilemma pushed Europe to take some major steps, and on 18 May 2022, the Commission unveiled its plan to repower the EU. What are the measures that Europe must take to become independent of Russia’s energy supply? And more importantly, what are the challenges and bottlenecks that could halt the progress of these measures?
REPowerEU is an ambitious and far-reaching plan that aims to achieve full energy independence from Russia by 2030. The core aim of REPowerEU is twofold:
In this sense, the plan sets out a concrete series of measures based on four key pillars:
This series of measures can also be classified into short-term and medium-term categories:
Short-term measures
Medium-term measures to be completed before 2027
The Commission recognises that this ambitious plan has to alleviate the challenges and the bottlenecks that it is critical to solve if the EU wants to keep up with the speed of transformation foreseen in the REPowerEU plan. According to the Florence School of Regulation, there are three key structural challenges in terms of REPowerEU implementation – namely permitting, critical raw materials, and the workforce.
Regarding the first challenge, permitting for solar projects can take up to two years and wind farms can take up to nine – far too long under current conditions. To tackle this, there are three key measures proposed in the REPowerEU. Firstly, the introduction of the ‘European Solar Rooftop Initiative’ aims to make rooftop solar infrastructure mandatory for all existing commercial and public buildings by 2027, and all new residential buildings by 2029. This overcomes much of the permitting and planning issues associated with solar farms, as well as alleviating pressure on the transmission and distribution grids by localising production. Secondly, identifying and promoting ‘go-to areas’ for renewable-energy infrastructure, whereby fast-tracked permitting and planning time is reduced to less than 1 year without foregoing environmental due diligence. This is made possible by recognising renewable energy as being in the ‘overriding public interest’. Thirdly, the Commission is proposing a formal Recommendation on permitting procedures to support effective and timely administrative procedures by sharing best practices, and regional cooperation.
In terms of raw materials, the world is currently facing shortages of certain critical raw materials, many of which are necessary for the energy transition. REPowerEU takes both a short-term and long-term view on this. Firstly, in the short-term, the EU is working to diversify its supply sources through strategic partnerships, as well as pooling the influence of certain commercial EU stakeholders to reclaim more of the supply chain and be in a better position to compete at an international level. Secondly, moving forward the Commission proposes to prepare legislation on critical raw materials, as well as ensuring circular economies are prioritised in building new infrastructure, so materials can be recovered and reused multiple times.
As for the workforce, there are certain cost-effective and attractive technology swap solutions available to consumers that would help support key aims of the REPowerEU framework, such as heat pumps as an alternative to gas boilers. However, there are limitations on speed of uptake, due to the unavailability of appropriately trained staff to install, manage and maintain the infrastructure. The same problems are also evident at larger scales, such as for switching from natural gas to hydrogen. Measures in REPowerEU look to target these bottlenecks by channelling resources into three training initiatives: the ‘Pact for Skills’, ‘ERASMUS+’ and ‘Joint Undertaking on Clean Hydrogen’. However, at this point, more details in this area have not been revealed.
The majority of stakeholders welcomed the ambition to speed up the deployment of renewables. At the same time, they also emphasised the key points on which the Commission failed to deliver. For example, European Trade Unions represented by ETUC welcome REPowerEU, but ask for more measures to shield workers and citizens from rising energy prices. Even though the Communication insists on the fairness and solidarity principles of the plan, the ambition of REPowerEU remains quite limited. ETUC believes that rising energy prices and the risk of shortages will not only have an impact on consumers. European workers are also likely to be very much affected, as companies will see their production costs drastically increase. In this respect, trade unions call on the European Commission to develop policy measures and recommendations to prevent and properly address any negative consequences that rising energy prices and potential shortages would have on workers and employment. One such measure, according to ETUC, could be the active involvement of trade unions in order to anticipate those negative consequences and prevent any restructuring process that would result from this situation.
Environmental organisations such as Greenpeace have criticised REPowerEU for being overly focused on importing fossil fuels from other partners, rather than ending dependence entirely. Friends of the Earth also argued that the proposals risked “locking-in climate-wrecking fossil fuels and offer inadequate comfort to people who already cannot afford rising energy bills.” The European Consumer Organisation (BEUC) welcomed the emphasis on energy-efficiency measures and renewables, but also said that “this shift to renewables and energy efficiency won’t happen overnight, so it’s important now to ensure that households are not left in the cold if Russia cuts Europe off gas next winter. National energy regulators must ensure that gas supply to households is prioritised, as a lack of energy may bring serious harm to people’s health. The Commission should ensure that energy regulators adequately protect consumers.” CAN Europe also highlighted that, although electrification of industries and targeted use of renewable hydrogen for ‘hard-to-abate’ sectors is very important and a good means of taking industries towards fuel switches, the REPowerEU plan lacks promoting sufficiency measures as the first step to decrease demand for precious energy in industries. Moreover, according to CAN Europe, the EU should have learned by now that it should not completely depend on energy resourcesfrom third countries that are possibly geopolitically unstable and potentially linked with social and environmental damage. The efficiency and sustainability of producing large quantities of renewable hydrogen in Africa for Europe, compared to using the electricity directly in Africa, is overlooked in the plan. The same position has been expressed by the European federation of renewable energy cooperatives (REScoop.eu). In its statement, REScoop underlined the fact that, unfortunately, the plan does not do enough to effectively move the EU towards ending its reliance on imported fossil energy, which has been causing turmoil for markets and energy prices. It also fails to fully elaborate on how vulnerable and energy-poor households will be protected and moved away from gas.
The perspective of European cities has also been highlighted by Eurocities, the network that represents the largest cities in Europe. In its reaction, Eurocities made it clear that cutting Europe’s dependence on fossil fuels will not succeed without cities on board, which are responsible for around 75% of global CO2 emissions. Specifically, while no new money is associated with REPowerEU, the core amount assigned to it will come from the existing National Recovery and Resilience Plans, with an extra chapter added to each one. However, this will not necessarily lead to an even distribution across the EU. Mayor of Budapest, Gergely Karácsony, said, “Security of supply as well as energy independence from Russia are particularly important issues in the Central and Eastern European region, and cities, as major energy consumers, can do the most for it. Hence, no effective REPowerEU proposal is possible without specific attention to cities and setting up direct financing channels to cities to reduce their energy demands.” Without direct funding, it can be difficult to see how cities such as Budapest, which have not been party to their National Recovery Plans, will receive any funding.
European governments have to implement the Commission’s proposed measures in the REPowerEU plan. Following the Special meeting of the European Council on 30-31 May 2022, Member States have also emphasised the urgency to rapidly examine the Commission proposals to deliver on the REPowerEU objectives.
It is critical to ensure the proposed measures are implemented rapidly. While the REPowerEU plan is quite ambitious, on the individual level, the governments should also scale up the direction set by the EU and effectively address the bottlenecks that still remain unsolved. At the same time, the principle of solidarity has been highlighted once again. At the latest special meeting of the European Council mentioned above, EU governments agreed that, in a spirit of European solidarity, preparedness for possible major supply disruptions and the resilience of the EU gas market should be improved, in particular by swiftly agreeing on bilateral solidarity agreements and a coordinated European contingency plan, which should ensure that major supply disruptions are mitigated. In this context, the EU once again proves that solidarity matters and that a fragmented response will not solve the energy crisis.
Reghina Dimitrisina is Policy Advisor at the FES Competence Centre Climate and Social Justice. She possesses expertise in climate and energy policies and European affairs. Prior to joining the FES Team, she worked as Policy Officer for the European Geothermal Energy Council (EGEC) and advised MEPs from the S&D and EPP political groups in the European Parliament. She studied international relations and political communications.
Cours Saint Michel 30e 1040 Brussels, Belgium+32 23 29 30 33justclimate(at)fes.de
Pepe, Jacopo Maria
Download publication
Detsch, Claudia
This site uses third-party website tracking technologies to provide and continually improve our services, and to display advertisements according to users' interests. I agree and may revoke or change my consent at any time with effect for the future.
These technologies are required to activate the core functionality of the website.
This is an self hosted web analytics platform.
Data Purposes
This list represents the purposes of the data collection and processing.
Technologies Used
Data Collected
This list represents all (personal) data that is collected by or through the use of this service.
Legal Basis
In the following the required legal basis for the processing of data is listed.
Retention Period
The retention period is the time span the collected data is saved for the processing purposes. The data needs to be deleted as soon as it is no longer needed for the stated processing purposes.
The data will be deleted as soon as they are no longer needed for the processing purposes.
These technologies enable us to analyse the use of the website in order to measure and improve performance.
This is a video player service.
Processing Company
Google Ireland Limited
Google Building Gordon House, 4 Barrow St, Dublin, D04 E5W5, Ireland
Location of Processing
European Union
Data Recipients
Data Protection Officer of Processing Company
Below you can find the email address of the data protection officer of the processing company.
https://support.google.com/policies/contact/general_privacy_form
Transfer to Third Countries
This service may forward the collected data to a different country. Please note that this service might transfer the data to a country without the required data protection standards. If the data is transferred to the USA, there is a risk that your data can be processed by US authorities, for control and surveillance measures, possibly without legal remedies. Below you can find a list of countries to which the data is being transferred. For more information regarding safeguards please refer to the website provider’s privacy policy or contact the website provider directly.
Worldwide
Click here to read the privacy policy of the data processor
https://policies.google.com/privacy?hl=en
Click here to opt out from this processor across all domains
https://safety.google/privacy/privacy-controls/
Click here to read the cookie policy of the data processor
https://policies.google.com/technologies/cookies?hl=en
Storage Information
Below you can see the longest potential duration for storage on a device, as set when using the cookie method of storage and if there are any other methods used.
This service uses different means of storing information on a user’s device as listed below.
This cookie stores your preferences and other information, in particular preferred language, how many search results you wish to be shown on your page, and whether or not you wish to have Google’s SafeSearch filter turned on.
This cookie measures your bandwidth to determine whether you get the new player interface or the old.
This cookie increments the views counter on the YouTube video.
This is set on pages with embedded YouTube video.
This is a service for displaying video content.
Vimeo LLC
555 West 18th Street, New York, New York 10011, United States of America
United States of America
Privacy(at)vimeo.com
https://vimeo.com/privacy
https://vimeo.com/cookie_policy
This cookie is used in conjunction with a video player. If the visitor is interrupted while viewing video content, the cookie remembers where to start the video when the visitor reloads the video.
An indicator of if the visitor has ever logged in.
Registers a unique ID that is used by Vimeo.
Saves the user's preferences when playing embedded videos from Vimeo.
Set after a user's first upload.
This is an integrated map service.
Gordon House, 4 Barrow St, Dublin 4, Ireland
https://support.google.com/policies/troubleshooter/7575787?hl=en
United States of America,Singapore,Taiwan,Chile
http://www.google.com/intl/de/policies/privacy/