One of Svebios most important tasks is to answer consultations from the Swedish government, from different other Swedish authorities and agencies, as well as the European Union.
Detailed comments on Draft Taxonomy to regulation EU 2020/852
We strongly support extension of carbon pricing to the sectors outside ETS. But we are not convinced that inclusion in ETS of the heating and transport sectors are the right way to do this. We…
LULUCF Roadmap feedback
Reasons why delayed harvest and storing carbon in forests is not the optimal climate solution.
Svar på en konsultation om Energiskattedirektivet till Energikommissionen
Svebio’s Reply to the Public Consultation on Inception Impact Assessment
Revision of Directive (EU) 2018/2001 on the promotion of the use of energy from renewable sources.
Comments to Annex IX 2nd feedstock consultation
Svebio, the Swedish Bioenergy Association, does not support the general approach in the regulation in RED with double-counting and definition of “advanced biofuels” as fuels based on certain feedstocks.
Comments on state aid regulation
The purpose of the regulation (EU 651/2014) “declaring certain categories of aid compatible with the internal market in application of Articles 107 and 108” and the guidelines on state aid for environmental protection and energy…
Consultation on prolonging state aid rules, with specific reference to the Guidelines for environmental protection and energy
Svebio represents 250 companies active in the whole bioenergy supply chain in Sweden. Among our members are some 60 companies working with biofuels for transport: producers and users of biofuels as well as producers of…
European Commission Public Consultation “A sustainable bioenergy policy for the period after 2020”
Early 2016, the European Commission launched a public consultation on “A sustainable bioenergy policy for the period after 2020”.
Final Answer to the new RES Directive public consultation
Here you will find Svebio's final reply to the public consultation on the new RES Directive.