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GBA

Global Battery Alliance

NGO · Belgium · EU Transparency Register 667794046526-48

2
positions filed
in the 326 files tracked
2
legislative files
of 326 tracked
2
with a full position paper
attached to a submission

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 #359 by legislative files engaged — a count of participation, not a measure of influence.

1.2
declared lobbying FTE
self-declared
declared costs / yr (floor)
0
EP accreditations
as declared to the register
2022
in the register since

Declares membership of

  • Battery Pass Consortium, funded by the German Federal Ministry for Economic Affairs and Climate Action (BMWK)
  • CIRPASS
  • Breakthrough Agenda

Self-declared to the EU Transparency Register (snapshot 30 Aug 2026).

Register category
Non-governmental organisations
Head office
Brussels, 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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Follow the files Global Battery Alliance engages with

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Their record over time

Global Battery Alliance filed 2 positions between 28 May 2024 and 7 Mar 2025, across 2 of the 326 legislative files tracked here, attaching a full position paper 2 times.

2024 · 1 filed2025 · 1 filed

What they argued

Evaluation of the Public Procurement Directivesfiled 7 Mar 2025PDFsource

Public procurement is a strong lever for creating demand for sustainably produced batteries to power the energy transition, consistent with the EU's Clean Industrial Deal. The Global Battery Alliance suggests the EU Public Procurement directives include strong, clear, measurable and transparent criteria for environmental, social and governance (ESG) performance into battery vehicle and storage procurement in the…

Carbon footprint methodology for electric vehicle batteriesfiled 28 May 2024PDFsource

The Global Battery Alliance wishes to provide feedback on sections 2.2.3, 2.3.6, 2.4, 2.5 & 2.6 of the draft Delegated Act. The GBA requests that the EU facilitate harmonisation of requirements across its legislation and globally by applying the cut-off rule of the EU PEF Method (3%) to the methodology for EV batteries without changes.

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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.

Is this your organization?

Everything on this page comes from Global Battery Alliance’s own submissions to the European Commission — we have added nothing and interpreted nothing. If something is wrong or out of date, email info@policyspeak.com and we will correct it. If you are an individual named in a record, our privacy policy sets out your rights to correction, objection and removal.

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.