Important information about EU ETS Maritime
Newsletter EU ETS Maritime
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Deadline 6 June and consequences |
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Friday 6th of June was the deadline for Administering Authorities to approve monitoring plans. Unfortunately, many monitoring plans do not meet the requirements set by the MRV Maritime Regulation (EU 2015/757), and therefore have not yet been approved. Therefore, shipping companies have received feedback on their monitoring plans via THETIS-MRV.
We request shipping companies to submit their revised monitoring plans as soon as possible but at least before the communicated deadline. Not submitting a revised monitoring plan for approval on time may lead to enforcement actions. Please consult our FAQ-page for frequently asked questions about monitoring plans. |
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No MOHA? Apply for one as soon as possible |
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To comply with the 30 September deadline to surrender the number of allowances that is equal to its total and verified emissions for 2024, you must have a Maritime Operator Holding Account (MOHA) in the EU ETS registry. If you do not yet have a MOHA, or have not yet started the application process, we strongly recommend to take action as soon as possible.
Important: please be aware that for any new applications we cannot guarantee that your account will be in place before the 30 September 2025 deadline. Nevertheless, we urge you to apply for the MOHA a.s.a.p. as this is mandatory. And please note: this requirement only applies to operators with an obligation for the 2024 emissions year. |
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Update enforcement ETS Maritime
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We are pleased to see that many companies have successfully achieved compliance with the CER. At the same time, we would like to kindly remind you of the important obligation to remain fully compliant, including the timely surrendering of allowances.
While no fines have been issued to date, the Dutch Emissions Authority (NEa) strongly encourages all companies to promptly submit the required CER and MPs through THETIS MRV to the administering authority. Please note that enforcement actions will begin shortly for those who have not complied.
If you are still in the process of becoming compliant, we urge you to complete the necessary steps as soon as possible. We appreciate your cooperation and commitment to meeting these important requirements. |
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Where to find more information?
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