Advanced Biofuels, Avoiding a Second Missed Opportunity
by Kyriakos Maniatis, Lars Waldheim, Ingvar Landälv, Eric van den Heuvel and Stamatis Kalligeros (Subgroup on Advanced Biofuels (SGAB)/EurActiv) The recast of the Renewable Energy Directive (REDII) marks the first time that a European Directive needs to be significantly amended just a year and a half after its adoption and before even it was transposed into national law, write a group of experts.
This implies that the European institutions in 2018 failed to recognize the urgency of introducing appropriate measures in the REDII that would have been compatible with the Paris 2050 Agreement and the wider objectives of the European Union in fighting climate change. The opportunity missed by the European Institutions in 2018 should not be repeated in 2021.
The Sub-Group on Advanced Biofuels (SGAB) consisted mainly of industry representatives. It was created in 2016 as a consultative group to the DG MOVE Sustainable Transport Forum (STF) to assist the STF in recommending appropriate strategies for advancing the implementation of the revised RED directive, notably through issuing recommendations aimed at facilitating the deployment and use of alternative and renewable sustainable fuels at EU level.
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Despite that the fact that the renewable fuels sector to date has realized the majority (>95%) of GHG emission savings achieved in the transport sector, the lack of stable policies and financial support has resulted in the biofuel and alternative fuel industry not having been mobilized to its full capacity.
The EU has been successful in creating instruments and support structures for long term R&I developments but has been considerably less successful with respect to the phase that follows: the commercialization and deployment phase. This has led to built up experiences disappearing, IPR portfolios losing value and a risk that developed technologies are commercialized elsewhere.
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For a true and transparent decarbonisation policy, double counting is ineffective as a promotional driver. The instrument of ‘double counting and multiplier” results in lower physical shares of renewable fuels and in that way leads to lower actual GHG emission reduction and a lower public understanding of the renewable fuels area. The instrument should be replaced by one that favours high GHG emission savings.
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The EU’s Green Deal and the Recovery plan demonstrated the missing urgency thus far in addressing climate change. This is welcome, and this valuable opportunity in recasting a robust REDII should not be missed.
The 2030 REDII advanced biofuels target of 1.75% (i.e. 3.5%/2) is clearly inadequate in view of the Paris Agreement goals, given the climate urgency. The advanced biofuels target needs to be increased significantly. The SGAB work, based on the assessment provided by industry, concluded that the advanced fuels industry can contribute between 7.2% and 10.7% of total EU transport energy needs by 2030, without any double counting.
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Sustainable biofuels derived roughly equally from lignocellulosic feedstocks (Advanced biofuels, Annex IX Part A feedstock) and hydrogenated lipid fuels (both crop-based and Annex IX Part B feedstock) can provide between 6% and 9%; in addition, e-Fuels (Renewable fuels of non-biological origin) can contribute between 0.5% and 0.7% and Low Carbon Fossil Fuels (Recycle Carbon Fuels) between 0.7% and 1.0% of transport fuel needs by 2030.
However, such a contribution can only be delivered if an appropriate policy framework is put in place which creates the conditions enabling the substantial investments required to develop, demonstrate and deploy the technologies. READ MORE