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MAIRE Group - NextChem

Company · Italy · EU Transparency Register 523971351072-42

8
positions filed
in the 326 files tracked
8
legislative files
of 326 tracked
6
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 925 companies & groups on this site, they rank #61 by legislative files engaged — a count of participation, not a measure of influence.

0.5
declared lobbying FTE
self-declared
€50K+
declared costs / yr (floor)
0
EP accreditations
as declared to the register
2023
in the register since

Declares membership of

  • Clean Hydrogen Alliances
  • European Hydrogen Association
  • RCF Alliance
  • ECC EUROPEAN CONTRACTORS CONFERENCE
  • ECI EUROPEAN CONSTRUCTION INSTITUTE
  • Global Compact

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

Register category
Companies & groups
Registered as
MAIRE0 Group - NextChem (MT)
Head office
Roma, Italy
EU office
Milano

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 MAIRE Group - NextChem engages with

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Their record over time

MAIRE Group - NextChem filed 8 positions between 30 Jun 2025 and 28 Aug 2026, across 8 of the 326 legislative files tracked here, attaching a full position paper 6 times.

2025 · 2 filed2026 · 6 filed

What they argued

Renewable energy legal framework post-2030filed 16 Apr 2026PDFsource

MAIRE GROUP CONTRIBUTION TO THE CALL FOR EVIDENCE FOR AN IMPACT ASSESSMENT ON THE RENEWABLE ENERGY FRAMEWORK FOR THE DECADE AHEAD MAIRE Group, a global company specializing in cutting-edge technologies enabling energy transition, welcomes the Commission’s call for evidence for an impact assessment on the renewable energy framework post-2030.

Opening of the attached position paper · the full paper is on the Commission’s record (source link above)

Amendment of the Renewable Energy Directive: revising the values and modifying the methodology laid down in Annexes V-VIfiled 26 Jan 2026source

NextChem would like to thank the European Commission for the opportunity to participate in the public consultation on the draft amendments to Annexes V and VI of the Renewable Energy Directive (RED III). Given the Companys experience in the field of fuel production technologies, we would like to share the following suggestions: (1) the GHG values for grid electricity seem to be inconsistent between biofuels (Annex…

Legal framework for the possible use of international carbon credits towards the 2040 EU climate law targetfiled 4 May 2026PDFsource

MAIRE Group, a global company specializing in cutting-edge technologies enabling energy transition, welcomes the opportunity to comment on the possibility of using international carbon credits towards the EUs 2040 climate goal. The company strongly supports the contribution of international carbon credits to the European targets and believes that Europe should open itself to global mitigation efforts.

EU-wide end-of-waste criteria for plastic wastefiled 26 Jan 2026PDFsource

Given the ambitious and mandatory plastic waste recycling targets set by European legislation, as well as the significant challenges currently facing the polymer recycling sector at EU level, MAIRE Group expresses its support for the European Commission's public consultation on the draft implementing regulation that proposes harmonized end-of-waste (EoW) criteria for plastic waste.

EU Fusion Strategyfiled 30 Jun 2025PDFsource

MAIRE Group advocates the adoption of a harmonized legislative framework to support nuclear fusion, but at the same time calls for improvements to the EU nuclear fission regulations, specifically by removing obstacles to innovative modular reactor technologies.

Evaluation of Regulation (EU) 2021/821 (the ‘Dual-Use Regulation’)filed 28 Aug 2026source

The "principal element rule" contained in General Note 2 of Annex I is rather vague and open to different interpretations. The exporters cannot predict in advance what position the authority will take regarding the classification of a component as principal element.

Looking for an argument rather than an organization? Search every submission for a phrase and see everyone who used it.

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.

Showing 5 of 147.

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Everything on this page comes from MAIRE Group - NextChem’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.