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REScoop.eu

REScoop.eu represents European energy cooperatives and communities, advocating for citizen participation in the energy transition and cooperative ownership models.

Lobbying Activity

Meeting with Yannis Maniatis (Member of the European Parliament) and European Solar Manufacturing Council

14 Jan 2026 · Introductory Meeting

Meeting with Anna Stürgkh (Member of the European Parliament, Rapporteur)

13 Jan 2026 · Energy Communities and next MFF

Meeting with Aleksandra Baranska (Cabinet of Executive Vice-President Teresa Ribera Rodríguez) and Climate Action Network Europe and

12 Jan 2026 · Social Climate Fund, ETS 1 revision and ETS2

Meeting with Maria Gafo Gomez-Zamalloa (Head of Unit Agriculture and Rural Development)

9 Dec 2025 · Exchange of views on matters related to support for renewable energy communities in EU policies

Meeting with Nicolás González Casares (Member of the European Parliament)

20 Nov 2025 · Energy communities

REScoop.eu calls for dedicated funding for energy communities

29 Oct 2025
Message — The organization demands that earmarked funding for energy communities remains in the next budget. They advocate for ringfencing resources in national plans and faster, simplified access through one-stop-shops.123
Why — Dedicated funding and simplified rules would reduce the administrative burden and financial risk for communities.45
Impact — Private renewable energy projects could lose investment priority as funds are diverted to local communities.6

Response to EU’s next long-term budget (MFF) – EU funding for competitiveness

29 Oct 2025

The EU is currently facing an annual shortfall of 400 billion euro in climate investments. We cannot afford to sideline local communities from contributing to the climate effort. In fact, prosumers (individually or as communities) could provide up to 60% of the EU's electricity demand by 2050, based on a 2022 report by the European Environment Agency. We are worried about the increased focus on defence and industrial competitiveness (e.g., reprogramming funds from schools, hospitals, environment, social cohesion to arms manufacturing). We believe that the European Competitiveness Fund (ECF) should earmark funding for social economy actors, such as energy communities. As the LIFE CET program (including the ENERCOM strand) will be subsumed under the ECF, its crucial that earmarked funding for energy communities remains. Amend Articles 29 and 33 (1b) to include specific references to energy communities. Earmark at least 500 million euros for energy communities under the clean transition and decarbonisation window. We also call for a European Investment Bank lending instrument, tailored to energy communities (an "InvestEU" for energy communities). Lastly, the ECF should only fund large private companies upon fulfilment of certain social and environmental conditionalities. This may include a clear plan for fair benefit sharing.
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Response to Heating and cooling strategy

9 Oct 2025

Energy communities are legal entities that empower citizens to take ownership of their local transition projects, from solar panel and wind installations to Citizen-led Renovations, or shared renewable thermal energy, known as Community-led Heating and Cooling (CH&C). CH&C are not-for-profit-driven renewable thermal energy installations owned by citizens, oftentimes in collaboration with municipalities, SMEs, and/or stakeholders in line with the EU definition of energy communities. As CH&C initiatives are led by energy communities, the revenues of the projects are reinvested in the local area, for instance through educational campaigns, free RES energy for vulnerable households, or free renovation advice. Furthermore, as CH&C systems are renewable, they contribute to the EUs international climate obligations, while reducing our critical dependencies on energy from third actors. Energy communities carry out these projects oftentimes thanks to volunteers, lacking financial resources and overall adequate conditions to do so. As our response demonstrates, energy communities and their citizens provide additional socio-economic benefits to Europes energy transition, as they sponsor social projects, offer free renovation advice and joint purchases, trainings and skilling, and reinvest the revenues into expansions or new transition activities. The Heating and Cooling Strategy has the potential to reinforce the EUs existing policies on supporting the buildout of an energy community movement. The Strategy should tackle how the EU, including the Commission, the European Investment Bank (EIB), and national implementers will work together with Member States to ensure that the EUs thermal energy future is affordable, democratic, and citizen-owned. To reach the required accelerated uptake, the EU should implement measures addressing obstacles for citizen ownership in regard to financing, implementation of existing legislation, and promotion of behavioural change through the support for energy communities.
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Meeting with Anne Katherina Weidenbach (Cabinet of Commissioner Dan Jørgensen) and Energy Cities and

8 Oct 2025 · Citizens Energy Package

Meeting with Borja Giménez Larraz (Member of the European Parliament, Rapporteur) and European Environmental Bureau and Climate Action Network Europe

17 Sept 2025 · HOUS Draft Report

REScoop.eu Urges Action Plan for Citizen-Led Energy Communities

11 Sept 2025
Message — REScoop.eu calls for a formal Energy Communities Action Plan to remove administrative barriers and secure grid access for citizen-led projects. They recommend a political objective of 50% community co-ownership in local renewable energy and efficiency initiatives.123
Why — The proposal would provide easier access to financing and protect local cooperatives from corporate takeover.456
Impact — Large traditional energy suppliers lose market dominance as decentralised, citizen-owned energy production increases.78

Energy communities urge EU to ringfence grid capacity for citizens

25 Jul 2025
Message — Member States should ringfence grid capacity specifically for local energy community projects. Authorities must remove administrative hurdles and high financial deposits for citizen-led initiatives.12
Why — Guaranteed grid access would allow citizen-led cooperatives to compete with large commercial actors.3
Impact — Commercial developers and speculative zombie projects would lose priority access to limited grid space.4

REScoop.eu advocates for energy as a common good

22 Jul 2025
Message — REScoop.eu argues that energy should be seen as a common good to ensure access for all. They propose using energy communities and One-Stop Shops to provide tailored advice. These hubs help vulnerable households navigate the transition and access expertise for local renewable solutions.123
Why — This would secure resources and technical support for citizen-led energy initiatives.4
Impact — Traditional energy suppliers lose market dominance as power structures shift toward community models.5

Meeting with Jutta Paulus (Member of the European Parliament)

9 Jul 2025 · EUFORES: Energy Politics

Meeting with Michael Bloss (Member of the European Parliament)

9 Jul 2025 · Energie Politik

Meeting with Kerstin Jorna (Director-General Internal Market, Industry, Entrepreneurship and SMEs) and Environmental Coalition on Standards and

7 Jul 2025 · Letter with 16 signatories for European Competitiveness Fund to deliver climate and energy security for EU citizens and SMEs

Meeting with Célia Dejond (Cabinet of Commissioner Wopke Hoekstra)

12 Jun 2025 · Energy communities, Innovation Fund, European Climate Law

Response to European Affordable Housing Plan

4 Jun 2025

REScoop.eu the European Federation of Energy Communities welcomes the European Affordable Housing Plan. Particularly worrying are the 70% of inefficient homes in the EU, and the increasingly widening housing price-to-income ratio standing at 17.6% (2023) of households spending more than 40% of their income. The Renovation Wave has the challenge of simultaneously tackling these two issues, while ensuring its social acceptance. One of the solutions to tackle these are citizen-led renovations, the Affordable Housing Plan must help Member States and their local authorities to further support bottom-up approaches by citizens and their energy communities, given their positive impact on social acceptance and the price of renovations. Social justice through active citizen engagement should be the centrepiece of the Plan. Energy communities have not been idle in this respect: (a)In Ireland, with a 10.2 million euro investment by the SEAI, the energy community Ecovision was able to renovate 827 homes and 25 communal and commercial buildings in rural areas, bringing dignified living conditions to areas that are not financially attractive enough for traditional market actors; (b)In France, thanks to the national programme ZEE (Zero Exclusivité Energétique), the energy community Les 7 Vents has become a pioneer, dealing specifically with "very distressed" households. It works with people in situations of poverty, where heavy renovations are necessary. Les 7 Vents has helped them by being a social worker to them, assisting them with other social workers, or being interior designers and auditors. An investment of 7.000 - 8.000 per household includes works on structural diagnosis and rehabilitation, and energy efficiency work; (c)In Spain, the neighbourhood of Orcasitas in Madrid has renovated over 1.800 dwellings through citizen-led renovations carried out through an energy community. (d)In Belgium, the energy community Energent has facilitated 2.000 citizen-led renovations, with cumulative energy savings of 6.6GWh/year. The European project OSR-Coop is creating a toolkit to help energy communities with citizen-led renovation projects across the EU. Despite these successful examples, REScoop.eu has observed the following barriers in the uptake of citizen-led renovations and community-led heating and cooling, vital to reach our renovation and climate targets: (a)A lack of local and national knowledge about energy efficiency initiatives from energy communities, including lack of implementation capacity in the form of local technical skills, as well as a risk-aversion to unfamiliar materials, methods and equipment; (b)An insufficient ambition on citizen ownership for the transition, and national energy efficiency improvements as set out in the Commissions analysis of the NECPs which is estimated at being 4% off the 11.7% EED target; (c)Financing challenges, particularly for renewable heating and cooling, local budget constraints, a lack of access to long-term financing at reasonable rates, high transaction costs, and unattractive financial returns; Other issues include split incentives, and a fragmented renovation market. In order to support the uptake of socially just renovations, the Affordable Housing Plan should: (I) Foster sharing of best practices of citizen-led renovation and community-led heating and cooling by energy communities to tackle the local and national knowledge gap. Supporting national and European federations of energy communities can be a helpful tool in this regard. (II) Financially support the uptake of energy communities, particularly for cost-intensive initiatives such as renovations and heating and cooling. The Social Climate Fund and Just Transition Funds are good starting points, as well as the clarification of State aid rules to extend them to local economic projects of a social nature. We remain at the EU's institutions disposition to bring about a socially just Renovation Wave with people at its forefront.
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Meeting with Kurt Vandenberghe (Director-General Climate Action) and Transport and Environment (European Federation for Transport and Environment) and

13 May 2025 · Clean Industrial Deal to deliver a Joint Decarbonisation and Competitiveness Roadmap

Meeting with Dan Jørgensen (Commissioner) and

30 Apr 2025 · Energy communities

Meeting with Bruno Tobback (Member of the European Parliament)

26 Mar 2025 · High-level Launch of the European Energy Communities Facility (ENERCOM)

Meeting with Michael Bloss (Member of the European Parliament)

26 Mar 2025 · Energiepolitik

Meeting with Anne Katherina Weidenbach (Cabinet of Commissioner Dan Jørgensen)

20 Mar 2025 · Energy communities

REScoop.eu Urges EU to Prioritize Local Energy Communities

7 Mar 2025
Message — They want the EU to allow preferential treatment for local, sustainable energy solutions in public procurement. The organization also requests exemptions from competitive bidding for social economy actors like energy communities. Finally, they advocate for shifting award criteria from lowest price to qualitative social benefits.123
Why — These changes would remove market barriers and help local communities compete against large commercial energy companies.45
Impact — Large commercial energy providers would lose their competitive advantage based on economies of scale.6

Response to Implementing Act on non-price criteria in renewable energy auctions

20 Feb 2025

Securing locally-produced renewables through enabling renewable energy communities is key to reaching an affordable, clean energy supply. From offshore wind, to large-scale district heating projects, energy communities, which bring together citizens, small and medium enterprises, and local authorities, are already demonstrating that local communities can take an active role in driving the EUs decarbonisation and green industrialisation objectives. Local communities that can secure ownership of renewable energy production are able to shield themselves from the impacts of high and volatile wholesale electricity and gas prices. With the current consultation response, REScoop.eu aims to highlight how local community involvement (large) renewable energy projects can and should be supported in the Final Implementing Act, so that it may result in mutually-beneficial outcomes for developers and citizens.
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Meeting with Nicolás González Casares (Member of the European Parliament)

18 Feb 2025 · promotion of renewable energy

Meeting with Bruno Tobback (Member of the European Parliament, Shadow rapporteur)

14 Jan 2025 · Energy infrastructure and grid investment

Meeting with Michael Bloss (Member of the European Parliament)

3 Dec 2024 · Energy Communities

REScoop.eu calls for local ownership of renewable energy

26 Nov 2024
Message — The organization calls for a framework that eliminates reliance on fossil gas. They want the EU to empower local communities to own energy production. The market should reward flexible production and consumption at local levels.123
Why — Cooperatives would gain financial stability and independence from volatile wholesale electricity markets.4
Impact — Large energy companies would lose market dominance and access to public subsidies.5

Meeting with Anna Stürgkh (Member of the European Parliament)

17 Oct 2024 · Energy Communities

Meeting with Dario Tamburrano (Member of the European Parliament)

1 Oct 2024 · Priorità per la legislatura

Meeting with Sara Matthieu (Member of the European Parliament)

21 Aug 2024 · Social Climate Fund

Response to Application of the ‘do no significant harm’ principle to the Social Climate Fund and its possible future extension

28 May 2024

REScoop.eu, the European Federation of citizen energy communities, believes that the Social Climate Fund is a unique opportunity to invest in structural solutions that help citizens escape energy poverty in the long term, such as energy communities. We are in favour of the idea of horizontalising the application of the DNSH principle across all EU funds, so as to reduce complexity and red tape. At the same time we highlight that the current application leaves open certain loopholes for gas and nuclear investments, which we are categorically against. The Social Climate Fund must only support renewables (and not 'fossil' or 'low carbon" solutions), and focus heavily on energy efficiency and sufficiency. Prominent EU lawmakers and scientists are predicting that the price of CO2 under ETS2 will be higher than expected, due to lack of progress in decarbonising transport and buildings. Any (future) investments in fossil fuels lock (vulnerable) households in continuous cycles of energy poverty. Funds should instead be frontloaded (including from ETS1) to long term, structural solutions such as housing renovations, and energy communities Beyond DNSH, Member States should strive to "Do Better", by actively encouraging social participation (citizens, civil society, energy communities) in the design and implementation of the national Social Climate Plans
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Response to Recommendation to promote the development of innovative forms of solar energy deployment

2 Apr 2024

Europe's Green Deal aims to put citizens at the heart of the energy transition by ensuring fairness and inclusiveness. This follows the Clean Energy for All Europeans legislative package (CEP), which acknowledges active customers, renewables self-consumers, renewable energy communities (RECs), and citizens energy communities (CECs) as distinct market actors in the energy transition. The second generation EU legislation for energy communities, including the REPowerEU Package, the Fit for 55 Package and the revised Electricity Market Design recognize the important role energy communities can play in a lot of different activities in the market, including their contribution to renewable projects and solar deployment. More specifically, the high potential and contribution of energy communities in the mainstreaming and accelerated deployment of solar energy is recognized in the EU Solar Energy strategy, which thus puts in place an objective for Member States to set up at least one renewables-based energy community in every municipality with a population higher than 10.000 by 2025. In addition, such strategy acknowledges the social benefits that energy communities bring forward and highlights that Member States should ensure that energy poor and vulnerable consumers have access to solar energy, e.g. through social housing installations, energy communities, or financing support for individual installations. Consequently, Member States need to ensure that their national legislation on energy communities and renewables planning contribute towards the delivery of the Green Deal and that local actors, including energy communities, have a fair chance to develop their projects and promote technical, but also social innovation. The Commission should, therefore, guide Member States so they can comply with the requirements under the CEP and the EU Solar Energy strategy and promote the development of energy communities at the national level, recognizing the socially innovative elements they bring forward. Our detailed response is attached.
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REScoop.eu urges citizen ownership in renewable energy auction designs

1 Mar 2024
Message — The Commission should include energy communities in its guidance to enhance social acceptance of wind projects. Member States should provide reserved capacities and use non-price criteria like community ownership. They also suggest using closed auctions specifically tailored for citizen-led initiatives.12
Why — This would allow smaller community actors to compete fairly with large-scale commercial players.3
Impact — Large-scale commercial energy developers would face stiffer competition from local community initiatives.4

Response to Guidance to Member States and market actors to unlock private investments in energy efficiency (EED recast)

25 Feb 2024

REScoop.eu is the European Federation of Citizen Energy Cooperatives, with more than 2000 cooperative members across Europe, representing over 2 million EU citizens. With the recent revisions of the Renewable Energy Directive, Energy Efficiency Directive, and Energy Performance of Buildings Directive, the role of energy communities is expanded to cover more segments of the energy market beyond production, including energy efficiency. Financing tools should now be developed that respond to the potential of energy communities to create economies of scale for faster deployment of such measures. REScoop.eu members explicitly working on collective housing renovations have highlighted a key barrier: there is a lack of scaleable tools, such as green loans, that can cover the high upfront costs of investment. Ecovision (IE) highlights this disparity: although a strong grant mechanism exists in Ireland, the funding is not sufficient to cover the whole costs of deep home renovation and other energy efficiency projects, thus the venture remains non-scaleable & beyond access for many (vulnerable) people. Similarly, Coopernico (PT) highlights the significant material costs like insulation materials (ETICS), which stems from the little supply that exists in Portugal. Also, the demand for installations are higher than the available supply (specially the more complex works), leading to a market gap, which is even more prominent outside rural areas, due to lack of skilled personnel. Current financing tools may sometimes favour buying a new house than renovating an existing one. Another barrier is the long payback that is associated with these projects, which reduces the attractiveness of the private stakeholders to invest without financial incentives. With the long payback comes a high investment risk, in case theres no financial guarantees of a third party stakeholder (per example a state trust fund). The interest rates from the banks are very high. Contract financing to carry out these works means having high interest rates (up to 6,5%). Due to long payback periods and lack of other incentives, private banks are not interested in creating financial products for renovations, including for vacant homes that could be used for public housing. Recommendations: -> Financial instruments that tackle the high upfront cost of renovations must be created, such as zero interest loans, backed by a State Guarantee. Green loans programs could also be created by banks with fluctuating interest rates, based on performance indicators (e.g., levels of energy savings achieved by the customer). Member States should recognise energy communities as distinct beneficiary entities to benefit from such loans. In fact, though economies of scale, energy communities could induce collective renovations, procuring materials and services in bulk, thus reducing overall prices for their members. -> To address the skills gap that exists in renovation markets, green skills programs must be rolled out. Such programs are already foreseen in the Danish and Portuguese Recovery and Resilience Plans. Energy communities must be explicitly included as beneficiaries of such programs, so as to help their own members train on how to carry out housing renovations. In the case of Portugal specifically, private companies can join Private Institutions of Social Solidarity (PISS) by donating equipment, materials or money. PISS are covered by the patronage law and are able to issue donation receipts for the financial value or goods donated, bringing tax benefits to private donor companies.
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Response to Assessment of the energy efficiency public funding support at Union and national level

25 Feb 2024

Europe's Green Deal aims to put citizens at the heart of the energy transition by ensuring fairness and inclusiveness. This follows the Clean Energy for All Europeans legislative package (CEP), which acknowledges active customers, renewables self-consumers, renewable energy communities (RECs), and citizens energy communities (CECs) as distinct market actors in the energy transition. The second generation EU legislation for energy communities, including the REPowerEU Package, the Fit for 55 Package and the revised Electricity Market Design recognize the important role energy communities can play in a lot of different activities in the market, including energy sharing and their contribution to larger projects, such as offshore wind projects. With the recent revisions of the Renewable Energy Directive, Energy Efficiency Directive, and Energy Performance of Buildings Directive, the role of energy communities is expanded to cover more segments of the energy market beyond production, including energy efficiency. Financing tools should now be developed that respond to the potential of energy communities to create economies of scale for faster deployment of such measures. REScoop.eu has analysed the Recovery and Resilience Plans, Cohesion and Regional Development operational programmes, and the Modernisation Funds, of 27 Member States, and found that many mention support for energy communities. In certain cases, including Spain and Portugal, energy communities are explicitly linked with home renovations and broader energy efficiency measures. However, in most cases public funding support is provided exclusively in the form of grants to support the start-up costs (from feasibility studies to installations) of production & self consumption projects. While this is a welcome step to increasing citizen participation in the energy transition, we observe a lack of funding instruments, and associated open calls, for energy communities to engage in energy efficiency measures. Zooming into the Portuguese NRRP, REScoop.eu member Coopernico highlights that funding calls only remain open for a limited period of time, while proposal evaluations are also delayed due to internal capacity constraints. Additionally, there is a lack of an assessment of their implementation to know whether the indicators are actually being achieved. Another important barrier to implementation, which is observed in most Member States, is the lack of a solid, consistent and enlightening communication campaign about the various support programs to ensure that the information reaches all citizens, and especially the most vulnerable ones. Recommendations: -> Specifically target energy communities with public funding calls: Tenders could be designed to provide grant support to energy communities who, acting as ESCOs, could utilize this as bridge funding to assist in deep home renovation projects for their members. Similarly, green & low interest loans could be developed by Member States, specifically targeting energy communities who could then create an economy of scale and procure the necessary home renovation services / bulk buying of energy efficient equipment, at a lower price for their members. -> Create effective communications campaigns to raise citizens awareness on the various opportunities that exist around public EU funds, such as the Recovery and Resilience Facility. Greater awareness will also contribute to increased funds absorption, which remains a key issue in many Member States.
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Response to Guidance to facilitate the designation of renewables acceleration areas

23 Feb 2024

Article 22 of the RED II requires Member States to create an enabling framework to promote the development of RECs. These enabling frameworks must include policies and measures to remove unjustified regulatory and administrative barriers, while also measures that provide fair, proportionate, and transparent registration and licensing procedures for renewable projects of RECs, among other things. Such requirements of the RED II should be taken into account in the context of the design of the res acceleration areas at the national level, making sure that energy communities have a fair chance to participate. RED III also acknowledges that res acceleration ares will likely trigger local acceptance issues. As such, Member States are required to promote public acceptance of such projects through means of directive participation (i.e. ownership of the local community through a renewable energy community (REC)) or indirect participation through other means. There are already a number of national examples of policy measures aimed to ensure that local communities can directly participate in professional developer-led projects. The Netherlands National Climate Pact contains a non-binding policy objective of including 50% ownership in all new onshore wind and PV projects. The objective has been given to the municipalities to interpret and implement, providing them with the basis for integrating criteria in planning permitting to include citizen participation in the process with project developers that want to build a project in the municipality. Therefore, Member States should adopt framework policies to ensure that local communities have the right to participate economically, ideally through ownership, in order for citizens, SMEs and local authorities to be able to benefit from the development of local production of renewables. The Commission should clarify how Member States can ensure direct and indirect participation of local communities in renewables production projects both inside and outside of renewables acceleration areas. Stakeholder involvement in acceleration area designation needs to go beyond the designation process and should be continuous, as part of the wider multi-level stakeholder dialogues required by the Governance Regulation. Citizens, civil society, and energy communities should be provided with ample opportunities to share feedback and help co-design the selection of the renewables acceleration areas. In addition, Member States should ensure that practical information on the res acceleration areas and the related processes are publicly available and accessible to enhance transparency. Moreover, local governments should be involved in a meaningful way in the identification of such areas and collaborate with the local communities. Member States should also guarantee the availability of energy infrastructure including grids, storage and other flexibility tools and demand response, to support and maximise the integration of growing solar and wind energy, while determining the need for modernisation or infrastructure expansion in cooperation with DSOs and TSOs. It should also be highlighted that the design of renewables acceleration areas should be part of the overall coordinated planning and mapping exercise for renewable energy, not a substitute to it, while also Member States should periodically review and update their spatial planning and mapping. Last but not least, the role of heat networks should not be overlooked in this process. European law should further support the ramp-up of citizen-owned heat networks, while also areas with accelerated permitting procedures should also be applied to heat networks. This includes the entire network from the heating system over the distribution network up to the transfer stations delivering the heat into the connected buildings. REScoop.eu urges the Commission to take further steps into this direction. See our detailed response attached.
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Meeting with Niels Fuglsang (Member of the European Parliament, Shadow rapporteur)

28 Nov 2023 · Geothermal energy

Meeting with Marie Toussaint (Member of the European Parliament, Shadow rapporteur) and Climate Action Network Europe

7 Nov 2023 · gas regulation

Meeting with Marie Toussaint (Member of the European Parliament, Shadow rapporteur) and Climate Action Network Europe and

27 Oct 2023 · gas regulation

Meeting with Michael Bloss (Member of the European Parliament)

21 Apr 2023 · Strommarktdesign (Staff level)

Meeting with Marc Botenga (Member of the European Parliament)

13 Mar 2023 · Energy communities

Meeting with Ditte Juul-Joergensen (Director-General Energy) and Bureau Européen des Unions de Consommateurs and

20 Jan 2023 · U.S.-EU Task Force: Best practices in Energy Savings and Flexibility Other participants: Cleantech-Cluster Energy, ELVIA, EU DSO Entity, California Energy Commission, ASE, AEE, ComEd, Octopus Energy, OPower, Uplight

Meeting with Marie Toussaint (Member of the European Parliament, Shadow rapporteur) and Climate Action Network Europe and

30 Nov 2022 · gas market

Meeting with Frans Timmermans (Executive Vice-President) and Climate Action Network Europe and

15 Nov 2022 · Progress of COP27 negotiations

Meeting with Marie Toussaint (Member of the European Parliament, Shadow rapporteur) and Climate Action Network Europe and

6 Oct 2022 · gas market

Meeting with Petros Kokkalis (Member of the European Parliament)

8 Jun 2022 · Energy Communities

Meeting with Stefano Grassi (Cabinet of Commissioner Kadri Simson) and Transport and Environment (European Federation for Transport and Environment) and

2 Dec 2021 · EPBD - Energy efficiency - Minimum Energy Performance Standards