The 2030 Energy & Climate Package for the EU: the challenges that lie ahead The utilities view

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The 2030 Energy & Climate Package for the EU: the challenges that lie ahead The utilities view Dr. Hans Bünting CEO, RWE Innogy GmbH Brussels, 3 rd December 2014 RWE Innogy 04/12/2014 PAGE 1

New targets: from 20/20/20 (+10) to 40/27/27 (+15) Decisions taken by the European Council Greenhouse gas emissions Renewable energy Energy efficiency Interconnectivity until 2020 until 2030-20 % reference year 1990-40 % 20 % of energy consumption 27 % 20 % absolute reduction compared to business as usual 27 % + 10 % 15 % reference year 1990 of energy consumption absolute reduction in compared to business as usual from national capacity - only the CO 2 reduction target will be translated into national binding targets - renewables and efficiency targets are EU level targets - energy efficiency target is only indicative - new governance structure to coordinate EU and national policies transparency, predictability, regional cooperation Nur für den internen Gebrauch RWE AG CEA-P SEITE 2

EU Guidelines on State aid for environmental protection and energy with significant impact Approved on 9 Apr. 2014 for period 1 July 2014 until 31 Dec 2020 by EU Com Covering aid for e.g. RES, exemptions from taxes, tradable permits Substantial relief for energy-intensive industries with international exposure Direct marketing & auctioning for promoting RES Guidelines are binding framework for EU member states No incentive to generate at negative prices Transition phase 2015/2016 at least 5% of planned RES by competitive bidding process Allowance of capacity mechanisms RWE Innogy 04/12/2014 PAGE 3

More competition by tender schemes > The new EU guidelines make auctions/ tender schemes plus self balancing obligatory for mature renewable technologies > Targets of EU are cost degression and further market integration of renewables > This has two major effects on Renewable project developers a) Higher risk in project development b) Potentially lower remuneration levels > The order of magnitude of these effects on RES developers and operators depends on three key issues I. Market design of future auctioning schemes II. Regulated demand and supply potential of RES III. Quality of RES sites in future project development pipeline Detailed Market analysis will be necessary before Market entry RWE Innogy 04/12/2014 PAGE 4

Quality of RES projects in future development pipeline > Competition on purchasing power Capex Opex > Competition on operational excellence LCOE /MWh > Competition on most favourable sites Site Quality Capital cost > Competition on lowest cost of capital Different market players have different (dis-)advantages in competition. Key is access to favourable sites. A level playing field in auction reveals the best investor type for each RES technology. RWE Innogy 04/12/2014 PAGE 5

Cooperation has to increase in future Status quo of cooperation mechanisms Norway and Sweden joint support scheme Since 1 January 2012, both countries operate a joint certificate scheme Ireland and UK planned joint project Plan to export renewable power (onshore & offshore wind) from Ireland to UK up to a maximum of 5 GW Luxembourg Luxembourg expressed interest in cooperation mechanisms, given the need to imply those to reach its 2020 targets Many MSs have indicated their interest regarding the use of cooperation mechanisms nevertheless, currently only few of them pursue the implementation actively Estonia statistical transfer Estonia has developed a draft legislation on using statistical transfer as selling country Netherlands opening up of SDE+ The Dutch government is investigating possibilities to open up the domestic SDE+ (statistical transfer, joint projects or both) Italy legal provisions to facilitate cooperation Italy has developed legal provisions to allow cooperation even before (Law 79/199; Law 387/2003) and after 28/2009 EC (Law 28/3 2011) Source: Ecofys, own illustration RWE Innogy 04/12/2014 PAGE 6

What do investors expect from an effective regulatory framework? Avoid regulatory driven boom and bust cycles Requirement to earn back the invested capital to generate new investments No retroactive changes in legislation and what not (examples) > Spain curtails retroactive feedin-tariffs and invents powergenerator-tax > Czech Republic ends feed-in-tariff support for all RES imposes a retroactive tax on PV plants > Italy changes feed-in-tariff for large PV retroactive as well >? Long term stable investment climate Investors can manage project & market risks but not regulatory risk! RWE Innogy 04/12/2014 PAGE 7

Conclusions >...EU 2030 targets are ambitious and contain non binding national RES targets > EU COM favours a shift from feed-in-tariffs to RES marketintegration and competitive bidding processes > New guidelines lead to higher development risk and potential lower remuneration levels > Cooperation between member states becomes more important, reducing additional generation costs and capital expenditures > Partnership model in project development and operation becomes more attractive and for smaller players most likely > Stable and wise regulation to ensure RES investment indispensable RWE Innogy 04/12/2014 PAGE 8