New EU battery rules to deliver on Strategic Action Plan on Batteries, to support developing a sustainable and competitive battery value chain, and to strengthen a strategic, 4-million-new-jobs industry.
New EU battery rules to deliver on Strategic Action Plan on Batteries, to support developing a sustainable and competitive battery value chain, and to strengthen a strategic, 4-million-new-jobs industry.
In the context of the European Green Deal, the European Commission published a proposal for a new EU batteries legislation on December 10. With the aim of paving the way for sustainable batteries for a circular and climate neutral economy, the new batteries framework is the next step in delivering on the European Strategic Action Plan on Batteries. Key changes are the shift from a Directive to a Europe-wide Regulation as well as new requirements for social responsibility and environmental sustainability. At RECHARGE, we especially welcome that the Commission proposal has the clear objective of creating coherence with other EU policy areas and regulatory frameworks.
However, despite relevant updates and innovations, the draft Batteries Regulation does not fully meet its objective of creating a future-proof, strengthening legislative framework. A high level of complexity and critical overlaps risk jeopardizing the effectiveness of the Commission proposal. As the industry voice for the advanced rechargeable and lithium batteries value chain in Europe, RECHARGE proposes to:
Given the strategic importance of the battery industry, a timely yet robust implementation of the new EU rules is crucial for this cornerstone legislation.
To ensure the effectiveness of the European battery rules, RECHARGE recommends incorporating a dedicated paragraph on enforcement and the necessary resources required at Member State level to sufficiently execute enforcement measures for EU and imported products alike. Several articles are prone to become paper tigers without relevant enforcement.
In addition, for the Batteries Regulation to successfully set the standard for environmentally and socially responsible batteries, all actors – inside or outside the European Union – must be subject to the same requirements. Therefore, third-party auditing bodies, as applicable under article 39 (3b) for example, that are based outside the European Union, shall ensure to apply the same standards – and potentially require an accreditation at EU level.
Batteries are electro-chemical devices that have been carefully designed to meet the specific requirements of an application or equipment. To ensure their safety at all times, the European battery industry has established an extensive safety approach based on functional safety analysis and typically these main safety levels:
The draft Batteries Regulation introduces wording pertaining to removability, repair, remanufacturing and repurposing that is of high concern to both the industry and consumer protection organizations. With the goal of upholding the industry’s comprehensive safety proposition, we, therefore, call upon European policymakers to refrain from any wording in the final Batteries Regulation that would encourage unqualified persons to alter a battery, and that contradicts existing safety standards. Ultimately, any battery – first or second use – should be subject to product certification and safety testing alike.
The Batteries Regulation has the clear objective of creating coherence with other regulatory frameworks. RECHARGE encourages EU policymakers to give priority to overarching, horizontal legislation, such as:
We welcome that the Batteries Regulation is an ambitious piece of legislation, with the potential to support equally ambitious value chain actors in the transition to a sustainability-focused market structure. Certain provisions risk creating over-regulation and unnecessary overlaps, though.
Batteries have been subject to a comprehensive regulatory framework since 2006. It is in this context, that RECHARGE promotes new legislative measures that bring a true benefit to the existing framework. Against this background, RECHARGE wants to point out several provisions that do not withstand the effectiveness test under real-world conditions.
Certain measures create a disproportionate administrative and cost burden on niche or small-series batteries that are produced in only a few thousand units per year, designed to meet very specific application needs and often must be brought onto the market within weeks. Especially the scope of articles 7, 8, 59 and 65 – that were clearly established around the profile of mass-volume (EV) batteries – must be limited in view of the unique profile of these batteries. Similarly challenging is article 57 for several (niche) battery technologies. The recycling efficiency for lithium-based batteries and, respectively, certain material recovery targets are too technology-specific to be operationally achievable for all battery chemistries. The economic burden of complying with article 57 would basically drive such chemistries off the market.
Batteries were one of the first products to have been regulated on a lifecycle basis, from design and product safety to transport and recycling. At RECHARGE, we firmly believe that a modernized EU batteries framework should, therefore, really put the focus on regulating relevant areas of our product and value chain, closing gaps in the existing framework, removing overlaps with other policy areas, and enhancing existing provisions or definitions. The objective of a future-proof Batteries Regulation must be to establish net environmental or social benefits, be effective and meaningful, and applicable to domestic as well as imported batteries.
For an industry in the making, long-term investments and cutting-edge innovations will depend on a legislative framework that is capable of providing predictability and flexibility likewise. The transformation of the current batteries framework into a European-wide regulation is a key step to ensure a high degree of predictability and clarity for economic operators. In turn, measures that hamper the innovative and fast-paced profile of our industry risk jeopardizing the further decarbonization of our societies as well as the establishment of a prosperous battery value chain in Europe.