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EU consultation

Sale and repurchase of CBAM certificates

66 submissions from 65 organizations told the European Commission what they think about this file. Here is what each of them said, in their own words.

The Commission lists 93 submissions on this file. Shown here: the 66 from organizations. Not shown, by design: submissions from private individuals, which we never publish, and anything filed since our last weekly refresh.

Who showed up

53 submissions from industry — companies and their trade associations — against 3 from civil society: NGOs, consumer organizations, environmental groups and trade unions. That is 17.7 industry submissions for every one from civil society.

Industry 53Civil society 3Public authorities, academia, other 10

Groupings use the respondent type each organization selected when filing. Counting submissions, not organizations — a body that filed twice is counted twice.

What the room declares

18 of 65
in the EU Register
49
full-time lobbying staff
€7.9M+
declared costs a year
38
EP accreditations declared

Self-declared to the EU Transparency Register (snapshot 30 Aug 2026). The cost figure sums band floors, so the true total is higher.

The file, right now

The consultation closed on 6 Aug 2026 — it ran from 9 Jul 2026.

Policy area
Taxation & trade (DG TAXUD)
Where it stands
Awaiting adoption
Adoption expected
30 Jun 2026

How it got here

  1. Reg del draft6 Aug 2026

Also on the Commission’s pipeline for this file, with no date recorded: Initiative planned, Reg del.

66 positions · showing 25

IE

IDEE ECONOMICHE www.idee-economiche.it

· · filed 6 Aug 2026 · source

This initiative will set out the conditions for the sale and repurchase of CBAM certificates through a common central platform following a joint procurement procedure between Member States and the Commission, which will be public and limited in order to limit this exchange to foster direct environmental integration.

Filed in Italian · English published by the European Commission

LinkedInX
F

FECC

· · filed 6 Aug 2026 · source

PDF

Introduction: The European Association of Chemical Distributors (Fecc) supports the EU's climate goals but urges the Commission to align CBAM certificate rules with business realities. Our key recommendations, detailed in our attached paper, are: - Coherent Rollout: All Member States must implement the rules simultaneously to avoid administrative friction and market fragmentation.

LinkedInX

Attached document with comments from the Secretariat for Carbon Market of the Brazilian Ministry of Finance (SEMC/MF) and the Secretariat of Green Economy, Decarbonization and Bioindustry of Ministry of Development, Industry, Trade and Services (SEV/MDIC).

LinkedInX
WS

Wirtschaftskammer Österreich

· · filed 6 Aug 2026 · source

Es wurden keine grundsätzlichen Bedenken gegen die Funktionalität der Regelungen des Entwurfs rückgemeldet. Dennoch sind die Unternehmen in einigen Punkten zu weitgehend eingeschränkt und es dürfte der mögliche Sitzwechsel von CBAM-Anmeldern in einen anderen EU-Mitgliedstaat nicht bedacht worden sein.

LinkedInX
OL

Çolakoğlu Metalurji A.Ş.

· · filed 6 Aug 2026 · source

Çolakoğlu is a scrap-based (electric arc furnace) Turkish steel producer and long-standing EU supplier; our steel carries structurally low embedded emissions. We support CBAMs objective and comment only on the sale/repurchase mechanics, on one principle: the rules should let certificate obligations track real, verified emissions and must not force declarants to over-purchase or forfeit value otherwise the cost is…

LinkedInX
MC

Medcem Cement Group

· · filed 6 Aug 2026 · source

PDF

Medcem Cement Group welcomes the opportunity to comment on the Draft Commission Delegated Regulation concerning the sale and repurchase of CBAM certificates and the operation of the Common Central Platform. Medcem is a Türkiye based producer and exporter of cement and clinker supplying the European Union market.

LinkedInX
N

NEVIB

· · filed 6 Aug 2026 · source

NEVIB represents the importers of fasteners and related products in The Netherlands. We actively support making our industry more sustainable but have indicated before that in its current form, CBAM is not the right tool for that, as it is designed for a known group of well-defined base materials products (like steel), and for markets with a limited and number of multinationals trading globally.

LinkedInX
V

VDMA

· · filed 6 Aug 2026 · source

PDF

VDMA represents around 3,500 member companies of the mechanical and plant engineering industry in Germany and Europe. As many machinery manufacturers rely on globally integrated supply chains and import CBAM-covered materials and components, the practical implementation of CBAM is of significant importance to our industry.

LinkedInX
GS

Gerber Steel GmbH

· · filed 6 Aug 2026 · source

PDF

Gerber Steel GmbH, a medium-sized importer and authorised CBAM declarant, submits the attached detailed statement on the draft Delegated Regulation on the sale and repurchase of CBAM certificates and urges the Commission to read it in full.

LinkedInX
F

FISCALEAD

· · filed 6 Aug 2026 · source

We act as an authorised CBAM declarant on behalf of several client-importers. We have one practical question on how the draft regulation would work in this situation: One account, many clients : how do we track who owns what? We only have one CBAM account, but we buy and hold certificates for many different clients.

LinkedInX
EF

European Fastener Distributor Association (EFDA)

· · filed 6 Aug 2026 · source

PDF

The effectiveness of CBAM will ultimately depend not only on its environmental objectives but also on whether it can be implemented in a practical, proportionate and legally certain manner. Experience gained during the transitional period has shown that this requires implementing rules that are operationally workable, provide legal certainty and avoid unnecessary administrative and financial burdens for importing…

LinkedInX
AN

Asociación Española del Aluminio (AEA)

· · filed 6 Aug 2026 · source

PDF

The Spanish Aluminium Association, AEA, acknowledges the Commission's efforts to establish a harmonised and secure framework for the sale and repurchase of CBAM certificates. However, this Delegated Regulation also marks the final operational step towards the full financial implementation of the CBAM without addressing the structural concerns repeatedly raised by the European aluminium industry.

LinkedInX
DI

Duferco International Trading Holding

· · filed 6 Aug 2026 · source

PDF

DITH welcomes the opportunity to comment on the draft Delegated Regulation. Please find our comments in the attached file. In summary, while this is a well constructed draft, DITH highlights that the mechanisms outlined risk imposing constraints on financial liquidity of businesses, and the rigidity of the rules around certificate repurchase could create instead of remove regulatory burdens.

LinkedInX

Thank you for your opportunity to contribute! Our farmers are widely involved in regulation, mainly through nitrogen-based fertilisers, so the requirements have a direct and indirect impact on their production-related input costs. As the topic is very complex and complex, it would be worthwhile to look at the circumstances in which the use of a common platform is most beneficial.

Filed in Hungarian · English published by the European Commission

LinkedInX
C

CLECAT

· · filed 6 Aug 2026 · source

CLECAT, the European association representing freight forwarders, customs agents and logistics service providers, welcomes the opportunity to comment on the draft Delegated Regulation on the sale and repurchase of CBAM certificates.

LinkedInX
DS

Donalam SRL

· · filed 6 Aug 2026 · source

Donalam welcomes the opportunity to provide feedback on the draft Regulation concerning the sale and repurchase of CBAM certificates. From an importers perspective, we would like to highlight the following practical aspects that could improve the clarity, predictability and functioning of the proposed mechanism. 1. Art.

LinkedInX
ET

Energy Traders Europe

· · filed 5 Aug 2026 · source

PDF

Energy Traders Europe (ETE) represents more than 180 members active across European gas, electricity, carbon and associated markets. Our response below focuses on the operational workability of the CBAM platform and aims to ensure a secure, cost-efficient, transparent and predictable framework for the sale and repurchase of CBAM certificates. Key messages: 1.

LinkedInX
VD

Verband Deutscher Metallhändler und Recycler e.V.

· · filed 5 Aug 2026 · source

PDF

The Verband Deutscher Metallhändler und Recycler e.V. (VDM) welcomes the opportunity to comment on the draft Delegated Regulation regarding the sale and repurchase of CBAM certificates and the operation of the Common Central Platform as part of the public consultation (Have your Say).

Filed in German · English published by the European Commission

LinkedInX
BF

Business for CBAM Coalition

· · filed 5 Aug 2026 · source

PDF

The Business for CBAM Coalition welcomes the opportunity to comment on the draft Delegated Regulation Position on the sale and repurchase of CBAM certificates. Our members include producers and importers of CBAM goods, among them authorised CBAM declarants who will operate the system this act creates. Only a CBAM that is workable in practice for all parties involved can be a strong CBAM.

LinkedInX
EI

Export Import Bank of Thailand

· · filed 5 Aug 2026 · source

1. Increase Flexibility for the Repurchase of CBAM Certificates Recommendation: Allow declarants greater flexibility in submitting or amending repurchase requests, including the possibility of correcting, modifying, or withdrawing requests within a specified period. Rationale: The current draft provides that a repurchase request may only be submitted once per year and, once submitted, cannot be amended or withdrawn.

LinkedInX
BA

BMW AG

· · filed 5 Aug 2026 · source

PDF

BMW Group supports implementing rules that enable efficient and proportionate operation of the CBAM certificate system. Key priorities are group-level certificate management, standardized API connectivity, quarterly repurchase opportunities, timely processing of repurchase requests, and transparent certificate allocation and pricing rules.

LinkedInX
BT

BDO TRADE & CUSTOMS

· · filed 5 Aug 2026 · source

We welcome the Commissions initiative to establish a clear and harmonised framework for the sale and repurchase of CBAM certificates and for the functioning of the Common Central Platform. From an operational perspective, however, we believe that certain aspects of the proposed rules would benefit from further clarification in order to ensure their consistent and effective implementation by authorised CBAM…

LinkedInX
TA

The Association of Finnish Technical Traders

· · filed 5 Aug 2026 · source

PDF

Feedback in the attached document. Technical trade is the import and sales of raw materials, parts, components, machines and systems, as well as the supply of related solutions and services for manufacturing and building industries. The Association of Finnish Technical Traders comprehensively represents the entire technical trade and actively promotes its interests.

LinkedInX
C

CarbonChain

· · filed 5 Aug 2026 · source

PDF

CarbonChain is a carbon accounting and CBAM compliance platform for authorised declarants in steel, fertiliser and aluminium. We welcome the draft Delegated Regulation and offer five recommendations. On the single annual repurchase request, we ask that partial repurchase be permitted (residue keeping its lot price), that the declarant nominates the lots, that the Article 23(2) cap is shown before commitment, and…

LinkedInX
SI

Steel International

· · filed 5 Aug 2026 · source

1- At present, there is a lack of accredited verifiers and no clear verification criteria for operators. This creates significant uncertainty as to whether suppliers will successfully pass the verification process and what the outcome will be. Therefore, importers should have the option to purchase a larger quantity of CBAM certificates as a reserve to protect themselves against this uncertainty.

LinkedInX
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Method. Every quote is verbatim from the organization’s own submission to the European Commission, trimmed to its opening passage and never summarized by a model. Where a submission was filed in another EU language we show the English text the European Commission publishes alongside it, labeled on the quote; the original is one click away at the source. Groupings use the respondent type the organization itself selected when filing. We deliberately do not label anyone “supportive” or “opposed” — you read what they wrote and draw your own conclusion. Organizations only, never individuals. Reused under Commission Decision 2011/833/EU; the European Commission is not liable for this reuse.