Our Positions

EV charging issues cross many policy areas - Consumer affairs, energy, IT & cyber, automotive, manufacturing, and many more.

Search below or use our filters to find our position papers on the topics of interest to you.

Paul Sild Paul Sild

Boosting the use of renewable electricity in EU transport - Making the case for EV charging under the Renewable Energy Directive

The revised proposal of the Renewable Energy Directive (REDIII) includes a very welcome focus on the potential of EV charging to contribute to cleaner, more efficient energy systems, and is closely linked to the revision of the Alternative Fuels Infrastructure Regulation (AFIR). Both will play an important role in creating the right framework of EV charging across different uses and locations.

The proposal rightly recognizes the numerous benefits that EV charging offers for the electricity system in terms of flexibility, load balancing and storage opportunities. At the same time, the proposed credit mechanism scheme will play a key role in greening EU transport, as it will boost the use of renewable electricity in the transport sector. To deliver on these opportunities, it will be critical to properly account for the benefits brought by supplying renewable electricity to the transport system and to maximize the potential of e-mobility.

Read the full statement here.

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Paul Sild Paul Sild

Public tenders guidance note

In this guidance note, we outline the urgent need to address public authorities’ recent designs of public EV infrastructure tenders that put into jeopardy the much-needed private investment flowing into the public infrastructure segment of the EV charging market.

Setting maximum prices and creating excessive financing conditions are not what our sector needs. The EV charging infrastructure sector is a rationally driven business that is best steered through public tenders focused on quality-of-service provisions. Dictating economic terms on how EV charging infrastructure should be run will have a significant impact on the market and affect the speed of the rollout of public EV charging infrastructure in Europe.

Read the full guidance note here.

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Emissions Paul Sild Emissions Paul Sild

Towards zero-emission transport

Joint industry call for the right policy framework to kick-start the transition.

Decarbonising road transport is one of the key challenges of the European Green Deal. Moving towards carbon neutral mobility by 2050 will require a strong and concerted set of actions from different industry sectors, policy makers and society. We, as representatives of the key industries involved in the decarbonisation of road transport, take our role seriously. We are committed to play our part in paving the road to climate neutrality. Indeed, our sectors are already delivering a number of solutions: from zero- and low-carbon power generation and distribution, to smart grid solutions, to zero-emission vehicles. But we need a strong signal from policy makers that we will not steer the drive to decarbonisation alone.

Read the full statement here.

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Paul Sild Paul Sild

The need to remove PIN-pad obligations for EV charging payments

ChargeUp Europe, Avere, bdew, Doet, Euroelectric and Inspire welcome the publication of the Alternative Fuel Infrastructure Regulation (AFIR), a key pillar of the “Fit for 55” legislative package.

As industry stakeholders from across the globe representing the whole electric charging eco-system, we believe in the importance of the transport sector’s contribution to sustainable energy and the ambition of climate neutrality. We are cooperating closely as industry and with government and civil society to achieve these important goals. In that context, we also support efforts to take a consumer-focused approach to make driving and charging electric vehicles (EVs) more convenient and reliable.

How consumers pay for charging EVs is an important element in their charging experience and ensuring the availability of widely used payment methods will increase the acceptability and accessibility of EVs. However, it is our collective view and concern that the AFIR proposals obligation for direct payment card functionality on public charging stations is overestimating the positive impact for customers and underestimating the negative consequences on overall EV infrastructure and availability of charging.

Read the full statement here.

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AFIR Paul Sild AFIR Paul Sild

The importance of including EVroaming in AFIR

The Alternative Fuels Infrastructure Regulation (AFIR) will shape public electric vehicle charging in Europe for the next decade. It offers the opportunity to create a driver centric EV charging framework that ensures widespread charging availability across the EU and promotes innovation and energy system integration. It can empower drivers to control their charging behaviour and optimise their energy consumption in a way that costs the least and is the most environmentally and energy efficient. This also contributes to some of the key efficiency goals of the Renewable Energy Directive (RED) recast.

To deliver on this opportunity it is critical that the legislation enables solutions that maximise the potential of EV charging in terms of consumer and environmental benefits, and broad energy system integration. In this regard, one of the key solutions is the EV charging subscription and roaming model, which is today a popular solution for payment for charging sessions all over Europe.

Read the full paper here.

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Paul Sild Paul Sild

The case for open, non-prescriptive payment technology requirements in AFIR

The European Commission proposal for an Alternative Fuels Infrastructure Regulation (AFIR) can pave the way towards sustainable transport, driven by electrification and digitalisation.

One of the key aspects of the proposal relates to ad-hoc charging payments at fully publicly accessible stations. ChargeUp Europe strongly supports the goals of the AFIR proposal to make EV driving more accessible and user-friendly for EU citizens. Ad-hoc charging is very important in accelerating the transition towards e-mobility and should be available at all fully publicly accessible stations.

To increase the accessibility and reliability of the EV charging network it is vital to install more chargers at more locations so that every EV user has a place to reliably recharge. This is why ChargeUp Europe supports the calls for binding infrastructure targets at the member state level. However, we are extremely concerned that the approach taken with regard to payment technologies would have numerous unintended negative consequences delaying the energy transition. Mandating payment card readers would on publicly accessible charging infrastructure, with additional retrofit obligations, will slow down the deployment of infrastructure, reduce options or increase prices for customers.

For the EV driver, ad hoc charging options are widely available today. For payment and authentication, they use methods including web-based payments and mobile applications. EV drivers are well served by these methods. At the same time consumer behaviour and payment technologies are evolving rapidly. Mandating specific payment methods and technologies, especially ones which may soon be outdated is not future-proof and does not reflect the market and consumer payment trends for EV charging.

Therefore, it is critical for the AFIR proposal to maintain an open, future-proof approach to authentication and payments and avoid the mandating of card terminals on publicly accessible stations.

Read the full paper here.

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Paul Sild Paul Sild

A vision for Public Key Infrastructure (PKI) for EV Charging

ChargeUp Europe has been formed to accelerate the switch to zero emission mobility and ensure a seamless driver experience with access to high quality, readily available charging infrastructure across Europe. 

This paper outlines the importance of public key infrastructure (PKI) for EV charging. As e-mobility becomes mainstream the security of communications and transactions is ever more critical. To ensure the widespread rollout of EVs and EV charging around the globe, ChargeUp Europe calls for the development of a common global governance for EV charging PKI.

See the full paper here

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Paul Sild Paul Sild

For Consumers and Climate - ChargeUp Europe’s position on the Alternative Fuels Infrastructure Regulation(AFIR), Renewable Energy Directive (REDIII) and CO2 Standards for light duty vehicles proposals

ChargeUp Europe would like to applaud the European Commission on delivering an ambitious and forward-looking “Fit for 55” Climate & Energy Package.

The following paper outlines ChargeUp Europe’s views and recommendations on the proposal for an Alternative Fuels Infrastructure Regulation, a Renewable Energy Directive (REDIII), and the revision of the performance standards for CO2 emissions for cars and vans.

See the position paper here.

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Paul Sild Paul Sild

ChargeUp Europe calls for more ambitious e-mobility requirements under the EPBD 

Europe has seen an e-mobility boom in recent years, with Electric Vehicle (EV) sales rising rapidly across the continent: in 2020, around 1.4 million passenger EVs were registered in Europe. That number is expected to grow at least 40% annually over the next decade, resulting in over 42 million passenger EVs on the road by 2030. Widespread and easy EV charging options will be critical to drive the uptake of electric mobility.  

The revision of the Energy Performance of Buildings Directive (EPBD) therefore comes at a critical time to accelerate Europe’s shift towards e-mobility. Buildings, as a primary charging location, are central to satisfying the needs of EV drivers. At the same time, EVs and charging infrastructure can play a critical role in making buildings more energy efficient and contribute to the EU’s Green Deal objectives. Given that over 75% of EV charging takes place at home or at work, the EPBD will be a key instrument in enabling the development and deployment of EV charging infrastructure. Nevertheless, numerous administrative and regulatory barriers are currently halting the roll out of charging infrastructure in residential and non-residential buildings.  

In this paper, ChargeUp Europe outlines key recommendations for the ongoing revision of the EPBD and calls for the introduction of a dedicated chapter on e-mobility which includes ambitious minimum requirements on cabling, as well as capacity-based targets for all non-publicly accessible charging stations (at residential and non-residential parking locations). These non-publicly accessible charging stations should also support smart charging functionalities. 

See the full position paper here. 

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Paul Sild Paul Sild

For Consumers and Climate ChargeUp Europe’s position on the Alternative Fuels Infrastructure Regulation (AFIR) proposal 

ChargeUp Europe, the voice of the European electric vehicle infrastructure sector, has published its response to the European Commission proposal for an Alternative Fuels Infrastructure Regulation (AFIR). 

ChargeUp Europe welcomes the overall ambition of the proposals as an important step in the right direction, while also highlighting important issues that require further attention. AFIR comes at a critical time. It will set the framework for how we roll out EV charging infrastructure in Europe and how we harness the full potential of electromobility for decarbonization and energy system integration between now and 2030. 

Targets have an important role to play during the early phase of market adoption and especially in lesser developed markets and where ambition is lower. With the support of our knowledge partner Arthur D Little, ChargeUp Europe analysed the European Commission’s proposed targets in light of market realities. We propose that targets are connected to the level of electrification of the total fleet in a given market, and that higher targets are needed when Member States are at an earlier stage, to help kickstart their development. These targets should continue on a decreasing scale until a Member State hits a share of 7.5% of battery-electric vehicles (BEVs) on their market and which point they can be phased out entirely. 

According to Christopher Burghardt, President of ChargeUp Europe, “It is important to avoid a two speed Europe situation. New rules should give the right boost to underserved regions, while allowing the market to take over when targets are no longer needed. Higher targets that phase out as the EV fleet increases should provide an incentive for national governments to support infrastructure deployment and reassure citizens they can go electric regardless of where they live.” 

ChargeUp Europe wholeheartedly supports the goals of the AFIR proposal to make EV driving and charging more accessible and user-friendly for all. There are two main business models which enable publicly accessible charging today - ad hoc and subscription based - with the subscription-based model accounting for the vast majority of public charging sessions. 

ChargeUp Europe feels strongly that AFIR needs to better recognize and promote the key role of the subscription-based model. Well-designed E-mobility subscriptions provide many benefits to EV drivers such as lower prices, tailored offers, the ability to plug & charge, and more. Crucially, they also enable smart charging and thereby drive emissions reduction and energy system integration. 

EV drivers need to be able to benefit from these advantages at as many charging stations as possible across Europe. AFIR should therefore ensure that all publicly accessible EV charging stations are capable of e-roaming. 

At the same time, we believe it is necessary to maintain a technology neutral approach regarding how payments for ad-hoc and subscription model type charging are made. Mandating specific payment technologies as the current proposal foresees does not reflect the reality in the market today and how most payments on EV charging infrastructure are carried out. The current proposal does not leave sufficient room for market operators to react to market and fintech developments and thus runs counter to consumer interest and preferences. 

“The ad hoc model and the subscription model are complementary to each other and should be treated on an equal footing under AFIR” said Christopher Burghardt, President of ChargeUp Europe. “Laws we adopt today have to stand the test of time. We need forward looking rules that harness the potential of new fuelling models to empower citizens and accelerate the decarbonisation of mobility and energy systems in Europe over the next ten years and beyond.” 

Please see here our full position paper. 

Please see here the detailed methodology developed by ChargeUp Europe and Arthur D Little for light duty vehicle charging infrastructure targets within Alternative Fuels Infrastructure Regulation proposal (AFIR).  

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Paul Sild Paul Sild

Charging up Europe through binding capacity targets for publicly accessible charging infrastructure and Member State action plans 

In this paper, developed with its knowledge partner Arthur D Little, ChargeUp Europe outlines the minimum capacity targets for publicly accessible EV infrastructure required at European and national level to serve the charging needs of EV passenger vehicles for 2025 and 2030. The paper also outlines the key components of Member States Charging Action Plans that should underpin these targets as well as stressing the need for a regulation in order to create a single European market for EV charging infrastructure. The paper also provides clear definitions for what constitutes as: fully publicly accessible, limited accessibility and private charging 

See the full position paper here: 

Charging up Europe through binding targets for publicly accessible charging infrastructure and Member State action plans 

See the link below for the detailed overview of the methodology: 

Methodology for calculating binding minimum targets 

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Paul Sild Paul Sild

ChargeUp Europe calls for European Commission clarification on applicability of Measuring Instruments Directive (MID) to active AC and DC electrical energy meters 

Why is the application of the MID currently a hurdle for the e-mobility?  

E-Mobility will play a critical role in the decarbonisation of Europe’s transport sector and in reaching the EU Green Deal aim of carbon neutrality by 2050. To make this a reality, it is vital that a harmonised EV charging infrastructure market is created in Europe which makes driving and charging seamless across Europe.  

In 2004, when MID was passed, there were almost no charging stations erected in Europe. The market started with mainly AC charging stations that partly contained MID meters known from household appliances, meaning that those AC chargers were manufactured and certified under MID.  

A decade later, in 2014, the Alternative Fuels Infrastructure Directive was passed and Member States started applying metrology law to the meters inside the EV chargers and the chargers themselves, e.g. Germany in 2015. Fast charging was evolving but commercial DC meters designed for fast chargers were not available back then.  

Today, there currently exists discrepancies and a lack of clarity regarding certain rules and technical requirements for EV charging, including in the area of metering and the application of MID to both AC and DC electrical energy meters. 

Read our letter here. 

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Paul Sild Paul Sild

ChargeUp Europe - Position paper on VAT for EV charging 

In this paper ChargeUp Europe wants to point out some of the main issues the EV charging infrastructure industry is currently facing with regard to VAT and wants to bring the issue forward for debate in order to elaborate possible strategies to remedy the current situation. 
 
VAT law has been found to be crucial for the development of a European Single Market for EV charging infrastructure. When it comes to cross-border transactions, the industry is confronted with many uncertainties regarding the correct interpretation of EU and national VAT law. On top of this, the existing VAT regime has turned out to be a major obstacle to the development of an integrated European EV charging infrastructure market. 

In our paper, we highlight some of the main issues the EV charging infrastructure industry is currently facing with regard to VAT and we put forward 6 key recommendations for next steps. 

See the full position paper here. 

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Paul Sild Paul Sild

ChargeUp Europe input to Consultation on Revision of TEN-T 

The revision of the TEN-T needs to take place in the broader context of the ongoing revision of AFID and EPBD. This is a critical time in the transition to zero emission transport. The decarbonization of road transport is an achievable mid-term goal and can be accomplished with e-mobility at its core. A comprehensive EU wide governance regime for e-mobility should be developed to deliver a comprehensive and harmonized approach to EV charging rollout through coordinated revision of TEN-T, AFID, EPBD and TEN-E. This can provide the framework for EV charging infrastructure rollout at all levels - private, public and cross-border level and for different use cases.  

For the TEN-T revision specifically, a number of key factors must be taken into account in order to deliver the most widespread, harmonized and effective EV charging rollout across the European road network which makes the transition to zero emission transport successful and doesn’t leave any regions behind.  

Check our recommendations here.

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Paul Sild Paul Sild

ChargeUp Europe Letter - call for standalone Regulation for EV Charging Infrastructure

Europe needs a new standalone Regulation for EV charging infrastructure

ChargeUp Europe, the voice of the electric vehicles (EV) charging infrastructure industry, today issued an open call to EU leaders to come forward with a dedicated Regulation on EV charging infrastructure in Europe – separated out from existing rules on alternative fuels - or risk losing momentum in the fight against climate change.

Check out our letter here.

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Paul Sild Paul Sild

ChargeUp Europe: The building blocks for an open market for EV charging infrastructure in the EU 

ChargeUp Europe is publishing an ‘open market building blocks’ series to highlight a number of areas where the principles of an open market model are not in place at present, and we believe policy intervention is needed. 

This particular paper, cosigned with AVERE, examines the issue of fast charging concessions on highways and main traffic corridors and the need for coordinated, open and non-discriminatory concessions. This paper can also act as guidance for the European Commission recommendations on planning and permitting processes on alternative fuels infrastructure, announced in the Sustainable and Smart Mobility Strategy. 

See our paper here!  

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Paul Sild Paul Sild

ChargeUp Europe criteria for funding under the EU Recovery & Resilience Facility 

ChargeUp Europe whole-heartedly supports the focus on EV charging infrastructure in the recharge and refuel flagship initiative, and we fully endorse the need to include this flagship initiative in Member State national investment and recovery plans.  

Please find here our paper outlining 5 key criteria to inform the deployment of public funding for EV charging infrastructure under the Recovery and Resilience Facility.  

  1. Integrated approach for national recovery plans 

  2. Addressing market gaps 

  3. Interoperability 

  4. Future proofing & harmonization 

  5. Open and transparent tender procedures 

We encourage the European Commission to take into account the criteria listed in this document to ensure that the assessment and delivery of projects under the Recovery and Resilience Facility enable the EV sector to maximize its contribution to the EU’s economic and climate ambitions.  

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