Colloque 2025

Inscriptions et réservations en ligne sur le site dédié à cet événement annuel

Inscrivez-vous !
Position papers | 17 May 2016

EU power associations call for an updated EU energy market design

The energy transition requires us to think whether the current electricity market design can efficiently meet the decarbonisation target while ensuring adequate level of Security of Supply at a least cost.
In the last years, short-term wholesale electricity prices have fallen drastically, as a result of a reduction in demand due to the economic crisis, the financially supported introduction of new low-carbon generation capacities with low variable costs, low commodity prices, and a very weak carbon price signal. They are now far below the long-term LCOE of conventional and RES power plants.
Some of these conditions affecting short-term energy only markets are persistent and bound to be exacerbated as the decarbonisation process moves forward. Scarcity pricing and the introduction of a liquid European intraday market are no-regrets reforms. However a market design relying only on short term prices and a poor CO2 price will fail to trigger an efficient investment path, for a secure European energy transition.
Short term prices, which define the generator’s revenue and the consumer’s bill, are too volatile and sensitive to both macroeconomic indicators and public decisions. The European market must provide all consumers with a competitive, secure and sustainable electricity supply. For this reason two measures should be considered a priority: a functionning ETS in line with the EU climate policy ambitions, and the implementation of capacity mechanisms ensuring the achievement of the targeted level of security of supply.

Documents

EU power associations call for an updated EU energy market design

0.24 Mo

Download See

Find out more

UFE response to ACER consultation on prioritising the removal of barriers to electricity demand response

02 February 2024

Position papers
visuel-vignette-position-paper-site-internet

UFE Response to ACER Public consultation on amendments to the methodology on the Determination of capacity calculation regions (CCR)

10 January 2024

Position papers
visuel-vignette-position-paper-site-internet

UFE Response to All TSOs Proposal for Amendments on aFRR IF (Art. 21 of EB Regulation) and Pricing Methodology (Art. 30(1) of EB Regulation)

12 December 2023

Position papers
visuel-vignette-position-paper-site-internet

Nos expertises

Keywords