Please find our comprehensive statement attached: DSO Entity welcomes the European Commissions proposal for an Industrial Accelerator Act (IAA) (COM/2026/100), and its ambition to strengthen European industrial capacity, secure European manufacturing value chain, and accelerate decarbonisation.
EU DSO Entity
Other · Belgium · EU Transparency Register 479956248822-45
Counts here are a floor, never a total: they cover the 326 consultation files tracked so far (29,503 submissions, mostly 2025–26), so an organization's real filing history is larger, not smaller.
Who they are
Among the 784 non-governmental organisations on this site, they rank #87 by legislative files engaged — a count of participation, not a measure of influence.
Declares membership of
- DSO Entity is not affiliated with any other bodies.
Self-declared to the EU Transparency Register (snapshot 30 Aug 2026).
- Register category
- Non-governmental organisations
- Head office
- Bruxelles, Belgium
Self-declared to the EU Transparency Register (snapshot 30 Aug 2026); cost bands are floors, not audited totals. Reused under Commission Decision 2011/833/EU.
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Their record over time
EU DSO Entity filed 6 positions between 10 Jul 2025 and 25 Aug 2026, across 6 of the 326 legislative files tracked here, attaching a full position paper 6 times.
What they argued
DSO Entity’s input: European Grids Package 10 July 2025 Assessment of past achievements and future challenges of the EU legal framework: While the European energy market integration, including the development of “one of the most extensive and resilient electricity networks in the world” (COM 2023/767), can be widely acknowledged as a success story, more integration will be needed in the future as well as a shift in…
Opening of the attached position paper · the full paper is on the Commission’s record (source link above)
DSO Entity, the legally mandated association (EU/2019/943) representing electricity Distribution System Operators (DSOs) across Europe provides its recommendations for the better consideration of DSOs needs in the revision of the Regulation of the Governance of the Energy Union and Climate Action ((EU) 2018/1999).
The EU DSO Entity welcomes the opportunity to contribute to the European Commission consultation on the revised Network Code on Requirements for Generators (NC RfG 2.0). We acknowledge the significant work undertaken in preparing the proposal and recognise the importance of ensuring a framework fit for a rapidly transforming electricity system.
DSO Entity welcomes the proposal of the European Commission for the next long term budget of the EU, which highlights in substance the relevance of the electricity distribution systems. Distribution System Operators (DSOs) are central to Europes competitiveness, clean energy transition, and resilience, yet current MFF proposals lack dedicated recognition and funding for distribution-level investments.
EU DSO Entity is pleased to submit this joint response to the European Commissions call for evidence (Have Your Say) on the need to perform a new assessment on the suitability of the Measuring Instrument Directive (MID). We thank the Commission for the opportunity to provide feedback on this important legislative initiative.
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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.
- EDF - Electricité de France · 4 files in common
- Enel SpA · 4 files in common
- ENTSO-E (European Network of Transmission System Operators for Electricity) · 4 files in common
- E-Mobility Europe · 4 files in common
- Enedis · 4 files in common
Showing 5 of 115.
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Quotes are verbatim from submissions published by the European Commission, trimmed to their opening passage and never summarized by a model. Organizations only, never individuals. Reused under Commission Decision 2011/833/EU; the European Commission is not liable for this reuse.