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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.

2
files engaged
of 583 tracked
3
positions filed
in those 583 files
declared FTE
self-declared
EP accreditations
as declared to the register

Files both filed on (2)

Gas and hydrogen markets regulation · Gas and hydrogen markets directive (common rules)

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.

Gas and hydrogen markets regulation

Polish Oil & Gas Company (PGNiG S.A.) · filed 10 Mar 2021 · source

PGNiG welcomes the opportunity to comment on the Commission’s Inception Impact Assessment as regards the revision of EU rules on market access to gas networks. The planned revision of EU should include only targeted changes in the regulatory framework in order not to undermine the benefits of the Third Energy Package.

Deutsche Umwelthilfe e.V. · filed 10 Mar 2021 · source

Deutsche Umwelthilfe / Environmental Action Germany welcomes the opportunity to comment on the initiative at this stage. This legislation is essential in leveling the playing field between natural gas, hydrogen, other gases and renewable electricity. Natural gas currently enjoys significant regulatory advantages. While green hydrogen, renewable electricity etc.

Deutsche Umwelthilfe e.V. · filed 12 Apr 2022 · source

Deutsche Umwelthilfe / Environmental Action Germany (DUH) welcomes the opportunity to consult on the gas market directive and regulation. In general, we are not pleased with the roles that low-carbon gases and green hydrogen are given with this reform. The broad allocation of hydrogen across many sectors is critical.

Polish Oil & Gas Company (PGNiG S.A.) · filed 13 Apr 2022 · source

Polskie Górnictwo Naftowe i Gazownictwo S.A. (Polish Oil and Gas Company; hereafter: PGNiG) supports objectives of the European Commission’s proposal for a regulation on common rules for the internal markets in renewable and natural gases and in hydrogen (COM(2021) 804), namely development of the low-emission and renewable gas market.

Gas and hydrogen markets directive (common rules)

Polish Oil & Gas Company (PGNiG S.A.) · filed 12 Apr 2022 · source

Polskie Górnictwo Naftowe i Gazownictwo S.A. (Polish Oil and Gas Company; hereafter: PGNiG) supports objectives of the European Commission’s proposal for a directive on common rules for the internal markets in renewable and natural gases and in hydrogen (COM/2021/803), namely development of the low-emission and renewable gas market.

Deutsche Umwelthilfe e.V. · filed 12 Apr 2022 · source

Deutsche Umwelthilfe / Environmental Action Germany welcomes the opportunity to consult on the gas market directive and regulation. In general, we are not pleased with the roles that low-carbon gases and green hydrogen are given with this reform. The broad allocation of hydrogen across many sectors is critical.

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