Company · Czechia · EU Transparency Register 529005041929-87not in register snapshot
This register number is the organization’s own declaration on its submission. It is not in the 14 Sept 2026 snapshot of the EU Transparency Register, so we neither link to it nor use it to identify this organization.
4
positions filed
in the 639 files tracked
4
legislative files
of 639 tracked
4
with a full position paper
attached to a submission
Counts here are a floor, never a total: they cover the 639 consultation files tracked so far (53,766 submissions, mostly 2021–26), so an organization's real filing history is larger, not smaller.
Work at Ocelářská unie a.s.? so we know who speaks for it.
Their record over time
Ocelářská unie a.s. filed 4 positions between 8 Nov 2021 and 14 Mar 2023, across 4 of the 639 legislative files tracked here, attaching a full position paper 4 times.
Position Paper Revision of the Renewable Energy Directive (2018/2001) Publication date: November 2021 EUROFER Key Messages • • • • • • • Page |1 The achievement of targets on the integration of renewable and low carbon energy in the European industrial sector requires inevitably the deployment of a considerable amount of renewable and low carbon electricity and hydrogen at large scale, making them available at…
Filed in Czech · English published by the European Commission
Opening of the attached position paper · the full paper is on the Commission’s record (source link above)
Carbon Border Adjustment Mechanism EUROFER’s recommendations for strengthening carbon leakage protection while increasing climate ambition Our key messages ➢ Increasing climate ambition and rising carbon costs require strengthened rather than weakened carbon leakage protection ➢ The inclusion of the steel sector in the CBAM entails a high degree of complexity and risk, since steel products are traded with many third…
Opening of the attached position paper · the full paper is on the Commission’s record (source link above)
Dear Commission, We would like to fully support the comments and their justification expressed by Eurofer in its position document (attached). While we are aware of the need to increase the EU ETS goal to reach the 55% emission reduction in the EU, we cannot accept that instead of strengthening carbon leakage protection adequatelly to the higher EU climate ambitions, the COM proposals would lead to the opposite…
We welcome the opportunity to express our views and comments on the draft revision of AAQD. BeLOW please find some of our main points, while in the Attachement further comments on individual Articles can be found. Alignment of the future EU AQ standards with technical and economic feasibility must be a key principle of the Directive.
Filed in Czech · English published by the European Commission
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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.
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