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Importance of Energy Star program in the light of EUP

Importance of Energy Star program in the light of EUP. T. Schoenmakers EICTA EUP issue manager. EUP is short for:. Proposal for a DIRECTIVE OF THE EUROPEAN PARLIAMENT AND OF THE COUNCIL

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Importance of Energy Star program in the light of EUP

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  1. Importance of Energy Star program in the light of EUP T. Schoenmakers EICTA EUP issue manager

  2. EUP is short for: Proposal for a DIRECTIVE OF THE EUROPEAN PARLIAMENT AND OF THE COUNCIL On establishing a framework for the setting of Eco-design requirements for Energy-Using Products and amending Council Directive 92/42/EEC

  3. EUP – the basics of the proposal • Article 95 legal base for 1 internal market and free movement of goods. • “New Approach” framework directive: • Conformity assessment based on “module A”: manufacturer self-declaration • Harmonised standards give the methods • Priority to voluntary measures in view of speed and adaptability. • Focus on ecodesign, not just a single environmental aspect. • Flexibility of using internal design control or environmental management system.

  4. Observations on the EUP framework & recent development • EUP is a wide-ranging framework directive proposal that aims to regulate manufacturers’ core competence of product design. • Subject to a number of essential conditions, EUP could prove to be a valuable framework for industry to work in. • Recent developments cast doubt on whether these conditions will materialise in the final legal text. • The European Parliament voted last Tuesday in its first reading.

  5. EUP should be a “New Approach” directive • A single legal base of Article 95 of the EU Treaty is essential • Product design cannot differ on a national basis without unacceptable barriers to trade, and very high costs • Conformity assessment for CE marking must be based on manufacturer self-declaration • Module A approach has proven to be valid even for product safety approaches. • Eco-design concerns do not warrant third-party involvement via Module B and associated further modules. • Pre-market third-party verification would unnecessarily delay product introduction into a competitive marketplace.

  6. Further conditions for successful application of EUP to Ecodesign • Proper comitology approach is the basis for effective implementing measures • If implementing measures would be prepared: • With proper industry involvement • Setting targets that are workable • Using harmonised standards as a basis • Market surveillance after product release is essential • Free-riders must be tackled, enforcement must be rigid

  7. EUP: give priority to voluntary measures to stimulate innovation • Legislative measures tend to level the playing field instead of encouraging innovation. • Voluntary approaches have proven to be effective in achieving environmental benefits. Examples include: • TV, VCR standby agreement • External power supplies code of conduct • Energy Star initiatives, e.g. computer monitors • Leaving room for market forces to deliver eco-design improvements is quicker and more flexible than a legislative approach.

  8. How Energy Star fits with EUP voluntary measures requirements • “Energy Star is ‘de facto’ the largest voluntary agreement in the world.” • Energy Star has proven to deliver results. • Energy Star includes a major part of the sector’s manufacturers. • Thus energy improvements are demonstrable, important and driven by market mechanisms. • How would Energy Star as a voluntary measure change under the European Parliament’s involvement? • Acquiring an active stakeholder/call-back role. • Adopted Annex VIIa with many criteria.

  9. Issues with Energy Star related to EUP • Energy Star has been an successful inclusive label. • But the Parliament adopted “front-runner” concept. • Such concept is not proven for all product types and is prone to deliver benefits late towards the deadline. • Energy Star is much more likely to deliver results early. • But: Energy Star addresses energy only, EUP should be about improving ecodesign… • As technology improves, energy consumption tends to become less important, resource consumption more important: the framework’s focus on energy is excessive. • EUP should look towards all ecodesign aspects; Energy Star could be useful when evaluating the energy aspect.

  10. Energy Star fits with industry’s main priorities • Offers a global framework that reduces trade barriers. • But note the tendency of regional differences! • Self-declaration enhances application speed and reduces bureaucracy. • But why different databases? • Rewards companies by making compliant products visible to customers.

  11. Stakeholder consultation & target setting within EU Energy Star • Flexibility & speed are major benefits of voluntary measures in a fast-moving sector. • Target setting for a voluntary measure should • Be based on technical criteria (e.g. feasibility, cost/performance ratio) provided by industry experts. • Warrant a high inclusion rate in order to “move most of the field”. • Question: If Energy Star would become an “exclusive” label like EU-Ecolabel, would it give “presumption of conformity” under EUP? • Be executed rapidly and able to be modified rapidly. • Current EU mechanisms fall short of these aims.

  12. Conclusions • EUP must give priority to market forces such as voluntary measures to achieve speedy, flexible and eco-efficient ecodesign improvements. • Main challenges for Energy Star are target setting/decision procedure/stakeholder consultation, and risk of regional fragmentation. • Energy Star has many characteristics to make it the “voluntary measure” of choice for energy efficiency. • Other voluntary measures should be created to address EUP’s other relevant ecodesign parameters.

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