Consultation participation and their own register declarations, side by side. Counts, not judgments — participation is not influence.
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.
Register facts self-declared (snapshot 2 Sept 2026); cost bands are floors. Shared files are shared attention, not evidence of coordination.
What each said, in their own words
Their opening passages on the files they share, verbatim and in filing order. We do not summarize, compare, or characterize positions — read them at source.
• This package should be framed within the 2030 and 2050 goals. Hence, it must: o be consistent with the goals and principles of the Green Deal; o respect the basic principles of liberalisation; o be aligned with the decarbonisation-enabling initiatives of the CEP; o be realistic regarding the contribution of hydrogen and gas to carbon neutrality (i.e.
• This package should be framed within the 2030 and 2050 goals. Hence, it must: o be consistent with the goals and principles of the Green Deal; o respect the basic principles of liberalisation; o be aligned with the decarbonisation-enabling initiatives of the CEP; o be realistic regarding the contribution of hydrogen and gas to carbon neutrality (i.e.
• CROSS-SUBSIDIES BETWEEN DIFFERENT ENERGY CARRIERS. Cross-subsidies means deviating from the cost-reflective tariffs principle, thus distorting competition between different energy vectors, which is the essence of an efficient energy system integration according to Commission's Strategy itself.
The Gas Chamber of Commerce welcomed the possibility of submitting comments on the draft Regulation of the European Parliament and of the Council on the internal markets for renewable gases, natural gas and hydrogen (recast) [COM(2021) 804]. We enclose the comments and requests which are the result of an analysis of the provisions of the draft Regulation.
Filed in Polish · English published by the European Commission
IBERDROLA welcomes the “Fit for 55 Package” The Green Deal through the “Fit for 55 Package” offers a unique opportunity to set a proper regulatory framework that boosts momentum on the most efficient renewable alternatives to enable decarbonisation and the achievement of EU climate objectives.
The Gas Chamber of Commerce welcomed the possibility to comment on the draft Regulation of the European Parliament and of the Council on the reduction of methane in the energy sector and amending Regulation (EU) 2019/942 of 15 December 2021. We enclose the comments and requests which are the result of an analysis of the provisions of the draft Regulation.
Filed in Polish · English published by the European Commission
The Gas Chamber of Commerce welcomed the possibility of submitting comments on the draft Directive of the European Parliament and of the Council on common rules for the internal markets in renewable gases, natural gas and hydrogen [COM(2021) 803]. We enclose the comments and requests which are the result of an analysis of the provisions of the draft Directive.
Filed in Polish · English published by the European Commission
• DEPENDENCY ON FOSSIL GAS. To reduce this dependency, fossil gas-based H2 should be excluded from the definition of low-carbon H2 (even when fitted with CCS/CCU). This is especially relevant as this Directive includes measures to promote low-carbon gases, thus risking increasing such dependency. • FOSSIL FUEL COMPARATOR. The renewable and low-carbon gases injected are intended to substitute fossil gas.
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