CEWEP Ireland welcomes the continued exclusion of municipal and hazardous waste incineration from the EU ETS. There is no change in the definition for WtE in Annex I of the proposed Directive which continues to provide an exemption for hazardous and municipal waste. The exemption was introduced for good reason.
CEWEP Ireland
Industry association · Ireland
identity not settledMore than one register entry could match this filer, so we have not linked it to any of them. The filings shown are those under this exact name.
Counts here are a floor, never a total: they cover the 583 consultation files tracked so far (42,224 submissions, mostly 2025–26), so an organization's real filing history is larger, not smaller.
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Their record over time
CEWEP Ireland filed 4 positions between 1 Apr 2020 and 18 Nov 2021, across 3 of the 583 legislative files tracked here.
What they argued
CEWEP Ireland supports the definition of ‘efficient district heating and cooling system’ in the revised Articles 23 and 24 of the EED recast. The stricter planning requirements and the obligation to follow up on comprehensive assessments on heating and cooling, including the promotion at local and regional levels, will be important for Member States such as Ireland where there is currently low levels of district…
Waste to Energy (WtE) facilities treat household and similar waste that cannot be prevented, reused or recycled. Through the thermal treatment process, the facilities recover energy from the waste. The energy, categorised as partly renewable due to the partly biogenic feedstock, is defined as biomass under the Renewable Energy Directive. This energy can be in the form of steam, electricity or hot water.
CEWEP Ireland welcomes the Commission’s decision to review the Energy Taxation Directive (ETD) and to provide an opportunity to respond to the public consultation on the Roadmap for its revision. This review is timely and necessary given the aims of the EU’s Green Deal. With this in mind, there is scope for the ETD to underpin the proposed measures contained within the Circular Economy Action Plan.
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Turns up on the same files
Organizations that also filed on at least two of the same consultations. A shared interest in the same dossiers — not evidence of coordination, and we do not suggest any.
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