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Document 52011SC1263
COMMISSION STAFF WORKING PAPER Summary of the Impact Assessment
COMMISSION STAFF WORKING PAPER Summary of the Impact Assessment
COMMISSION STAFF WORKING PAPER Summary of the Impact Assessment
COMMISSION STAFF WORKING PAPER Summary of the Impact Assessment /* SEC/2011/1263 final */
This document provides the executive
summary of the Impact Assessment Report on the Regulation establishing the
Connecting Europe Facility (CEF) that will fund pre-identified transport,
energy and information and communication technology (ICT). This new instrument
was proposed by the Commission in its Communication "A Budget for Europe
2020 (hereinafter the MFF Communication), adopted on 29 June 2011, and its
accompanying documents[1]. The CEF Regulation forms
part of a package of legal instruments covering transport, energy and ICT,
including also the sector-specific policy frameworks for the three sectors
concerned[2] and the available
financial instruments.
1.
Problem definition
As the MFF Communication acknowledged, the current EU
framework for infrastructure funding is not adequate to provide an effective
response to the challenge identified above. Funding of
infrastructure is indeed fragmented among sectors, among programmes and among
financing instruments, preventing thereby the full exploitation of possible
synergies between sectors, programmes and financing instruments and reducing
risks.[3] In this context, and in
view to accelerate the infrastructure development that the EU needs, the
Commission decided to propose the creation of a centrally managed common
facility, the so-called CEF with a EUR 50 billion budget that will fund "pre-identified
projects in transport, energy and ICT priority infrastructures of EU interest." The creation of
the CEF is aimed at aligning EU financing instrument for infrastructures in the
sectors concerned on their respective policy objectives and, thereby, at
contributing to simplifying sector specific rules under the constraints set by
the policy frameworks. The MFF
Communication did not however define the operating rules of the CEF that will
enable the facility to be a success in operational terms, i.e. the operating
rules that will create the investment conditions conducive to accelerating the
infrastructure development that the EU needs for its future sustainable
competitiveness. At the same
time, and as highlighted in the MFF Communication, a transversal analysis of
existing sector specific rules shows that, beyond the creation of the CEF,
there is room for further simplification of operating rules between the three
concerned sectors. Therefore, the potential for synergies across sectors in the
CEF should be explored further. In light of the above and
drawing on ex post programme evaluations, stakeholder consultations and expert
recommendations, the Commission has identified two main policy areas in which
market and regulatory failures prevent EU funding to support adequately the
development of infrastructures needed to achieve the objectives of the EU 2020
Strategy: –
Investment leverage: Existing procedures,
methods and forms for granting EU funding are not conducive to sufficient
investment leverage. Three main reasons for a continuing limited impact of EU
funding have been identified: EU funding is not
sufficiently focussed on projects with a real EU added value; the way co-funding
rates are set today does not trigger the investment needed because co-funding
rates do not correspond to project risks and are not proportionate to their
complexity and EU added value; the existing forms (grants and/or, in some
sectors, financial instruments) under which EU funding has been channelled to
projects so far has not created an environment sufficiently conducive to
private investment needed in each of the sectors. –
Project implementation: Existing conditions in
the fields of funding application and support, of monitoring and evaluation and
programme management for a fast implementation of EU co-funded projects are not
adequate. The
Commission has carried out an analysis of possible future developments of these
problems with unchanged policies, notably with the continuation of the
2007-2013 MFF in the field of energy, transport and ICT. This analysis
indicates that in this context, the development of infrastructure of European
added value is unlikely to happen by 2020. The involvement of the private
sector will remain marginal, even on projects with long-term potential
commercial interest. Major trans-European connections, including those with
neighbouring countries, will remain missing, particularly for projects facing
major technical difficulties or limited commercial interest for project
promoters. This will therefore have detrimental impacts for instance on the
functioning of the internal market, on accessibility and connections with the
neighbouring countries. The impacts on environmental and climate change
objectives are also likely to be insignificant with the continuation of the
current policies.
2.
Analysis of subsidiarity
Trans-European networks are covered under
Article 170 TFEU, which specifies: “The Union shall contribute to the establishment
and development of trans-European networks in the areas of transport,
telecommunications and energy infrastructures”. The right for the EU to act in
the field of infrastructure financing is set out in Article 171 which provides
that the Union "may support projects of common interest supported by
Member States, (…) particularly through feasibility studies, loan guarantees or
interest-rate subsidies". Furthermore, the EU's competence in the area of
energy is also enshrined in TFEU, Article 194. As regards trans-European
networks, the Commission’s financing proposals have to be approved by the
Member States, who are responsible for the planning and construction of
projects. In the Budget Review Communication, the
Commission underscored the importance of employing the EU budget in order to
"plug gaps left by the dynamics of national policy-making, most obviously
addressing cross-border challenges in areas like infrastructure, mobility,
territorial cohesion… - gaps which would otherwise damage the interest of the
EU as a whole."[4] Member states tend to
give principal priority to projects of primary national relevance when planning
and funding infrastructure.[5] Yet, cross-border
connections are essential if TENs are to become a reality and, not least, in an
optimal configuration, that carries highest EU added value for the Unions
citizens. Subsequently, the Commission has clearly
presented its position with regard to the role of the EU budget for supporting
infrastructure development, in particular in the areas of energy, transport and
ICT, in its MFF Communication: "…experience shows that national budgets
will never give sufficiently high priority to multi-country, cross-border
investments to equip the Single Market with the infrastructure it needs. This
is one more example of the added value of the EU budget. Indeed, the Commission
further noted, "The costs for Europe of not investing sufficiently in its
future network would be very high."[6] The rationale for a European action in the
field of infrastructure financing stems from the trans-national nature of the
identified problem.
3.
Objectives of EU initiative
As defined in the MFF Communication, the
overarching objective of the CEF is to accelerate the infrastructure
development that the EU needs to reach the EU 2020 Strategy associated energy
and climate change targets and, more generally, to achieve its future
sustainable competitiveness. In order to meet this goal and in light of the
problem identified in section 2 above, the general objective of the initiative
accompanied by this IA is to establish optimal operating rules governing the
use of funds under the CEF. At the same time, as mentioned in section 4
of the MFF Communication, programmes and instruments such as the CEF included
in the MFF Communication also have a focus on simplification of inter alia
sector specific rules. Therefore, the proposed initiative should also exploit
as much as possible synergies within each sector and between sectors taking
into account the policy objectives laid down by the sector specific policy
frameworks. Specific objectives (SO) In light of the above and on the basis of
the problem defined in section 2 of this IA, the general objective of putting
in place optimal operating rules of CEF can be translated into two specific objectives
that are in line with the Staff Working Paper accompanying the 2011
Communication[7]: SO 1: Define
forms, methods and rules of financing to ensure maximal leverage of EU budget
contributions in attracting public and private investments for projects with a
European and Single Market dimension, in particular priority networks that must
be implemented by 2020, and where European added value is most warranted
including, where appropriate, those crossing the EU borders. SO 2: Define
monitoring and evaluation mechanisms that reward performance and penalise
non-effective use of EU funds with a view to ensure the effective and timely
implementation of the projects supported. Operational objectives (OO) These specific objectives can be
translated, in their turn, in a number of operational objectives: As regards investment leverage: ·
OO 1: Define
objectives and multi-level criteria for proposal evaluation in order to ensure
that funding is channelled on actions implementing projects with high EU
added-value. ·
OO 2: Define co-funding maximum
rates for EU support for projects according to priorities set in terms of EU
added-value and risk/market failures faced by the projects. Allow flexible use
of these rates, in order to maximise the leverage of EU funding contributions. ·
OO 3: Encourage the participation
of specialised infrastructure investors by means of rules for the use of market
based instruments, and by making available sufficient funds for support of
innovative instruments. As regards project implementation: ·
OO 4: Define rules for proposal
selection in order to ensure a competitive and transparent allocation of funds. ·
OO 5: Establish a consistent
framework for monitoring and evaluation to support decisions for continuing,
discontinuing or recalibrating EU funding support (i.e. the "use it or
lose it" principle, rules for ensuring that the competitive re-allocation
of funds is made on transparent and highly competitive bases). ·
OO 6: Set up an adequate
institutional structure for the centralised management of the programme.
4.
Policy options
Finding the appropriate balance between
coherence with sector policy objectives and maximisation of synergies will be
key in defining CEF optimal operating rules. This appropriate balance only will
ensure that CEF operating rules are optimal, i.e. that they are designed in
such a way that a maximum value for money is attained. The identified policy options, consisting
of combinations of various degrees of harmonisation of investment leverage and
project implementation, can be situated between two extremes; at the one
extreme, minimum harmonisation of investment leverage and project
implementation and at the other extreme, maximum investment leverage and
project implementation. In between the extremes, there are several intermediary
options, which consist of combinations of minimum and maximum harmonisation
levels as well as of variable harmonisation levels. These combinations are shown in table 1
below: Table 1:
Identification of possible Policy Options Leverage Implementation || L Min || L Max || L Var I Min || L Min – I Min (Baseline under CEF) Distinct co-funding rates for each sector and type of projects Distinct mix of innovative financial instruments for each sector Distinct criteria for identifying EU added-value according to sectoral priorities Distinct calls and selection procedures for each sector Distinct sets of monitoring instruments and "use it or lose it" rules for each sector Distinct management structure/executive agency for each sector || L Max – I Min Common co-funding rates for all sectors for each type of projects Common mix of innovative instruments Common objectives and criteria for EU added-value based on overall Europe 2020 Strategy and Budget for Europe 2020 priorities Distinct calls and selection procedures for each sector Distinct sets of monitoring instruments and "use it or lose it" rules for each sector Distinct management structure/executive agency for each sector || LVar – I Min Common rates for certain types of projects (studies for instance), common rates as a function of the risk level faced by projects; specific rates for certain projects depending on sectoral policy priorities Distinct mix for each sector formed of: - a common set of equity and debt instruments; -different additional specific instruments Common criteria based on overall Europe 2020 Strategy & Budget priorities but adapted where necessary to better target sectoral priorities within overall priorities Distinct calls and selection procedures for each sector Distinct sets of monitoring instruments and "use it or lose it" rules for each sector Distinct management structure/executive agency for each sector I Max || L Min – I Max Distinct co-funding rates for each sector and type of projects Distinct mix of innovative financial instruments for each sector Distinct criteria for identifying EU added-value according to sectoral priorities Common calls and procedures Single set of monitoring instruments and "use it or lose it" rules Single management structure (executive agency) || L Max – I Max Common co-funding rates for all sectors for each type of projects Common mix of innovative instruments Common objectives and criteria for EU added-value based on overall Europe 2020 Strategy and Budget for Europe 2020 priorities Common calls and procedures Single set of monitoring instruments and "use it or lose it" rules Single management structure (executive agency) || LVar – I Max Common rates for certain types of projects (studies for instance), common rates as a function of the risk level faced by projects; specific rates for certain projects depending on sectoral policy priorities Distinct mix for each sector formed of: - a common set of equity and debt instruments; -different additional specific instruments Common criteria based on overall Europe 2020 Strategy & Budget priorities but adapted where necessary to better target sectoral priorities within overall priorities Common calls and procedures Single set of monitoring instruments and "use it or lose it" rules Single management structure (executive agency) I Var || L Min – I Var Distinct co-funding rates for each sector and type of projects Distinct mix of innovative financial instruments for each sector Distinct criteria for identifying EU added-value according to sectoral priorities Common calls (and procedures) for projects with a cross-sectoral dimension (using an earmarked common funding line); Distinct calls for sector specific projects but common (ie fully harmonised) procedures A core set of common/harmonised monitoring instruments and "use it or lose it" rules with specific instruments and adapted/target rules to take into account sectoral characteristics Single executive agency as common management structure but with various degrees of delegation of tasks by the Commission services in each sector || L Max – I Var Common co-funding rates for all sectors for each type of projects Common mix of innovative instruments Common objectives and criteria for EU added-value based on overall Europe 2020 Strategy and Budget for Europe 2020 priorities Common calls (and procedures) for projects with a cross-sectoral dimension (using an earmarked common funding line); Distinct calls for sector specific projects but common (ie fully harmonised) procedures A core set of common/harmonised monitoring instruments and "use it or lose it" rules with specific instruments and adapted/target rules to take into account sectoral characteristics Single executive agency as common management structure but with various degrees of delegation of tasks by the Commission services in each sector || LVar – I Var Common rates for certain types of projects (studies for instance), common rates as a function of the risk level faced by projects; specific rates for certain projects depending on sectoral policy priorities Distinct mix for each sector formed of: - a common set of equity and debt instruments; -different additional specific instruments Common criteria based on overall Europe 2020 Strategy & Budget priorities but adapted where necessary to better target sectoral priorities within overall priorities Common calls (and procedures) for projects with a cross-sectoral dimension (using an earmarked common funding line); Distinct calls for sector specific projects but common (ie fully harmonised) procedures A core set of common/harmonised monitoring instruments and "use it or lose it" rules with specific instruments and adapted/target rules to take into account sectoral characteristics Single executive agency as common management structure but with various degrees of delegation of tasks by the Commission services in each sector Due to the high number of the resulting
(theoretically) possible options, the nine scenario combinations have been
submitted to an initial pre-screening, in order to assess their internal
coherence as policy options, on the one hand, and their capacity to effectively
address the identified problem drivers and corresponding specific policy
objectives, on the other. In addition, their coherence with the Commission's
aim of improving the effectiveness of the current financial framework by, inter
alia, simplifying/harmonising to the extent possible current rules, has also
been assessed. It became thus apparent that three of the nine theoretical combinations
would not constitute viable policy options: two (L Max – I Min and L Min – I
Max) for reasons of (lack of) compatibility between scenarios, i.e. for lack of
internal coherence as policy options; and one other (L Min – I Min) for lack of
effectiveness in attaining the objectives CEF has been established to reach.
5.
Assessment of impacts
Taking into consideration the
pre-conditions (budget, central management, the alignment of EU funding
instruments within sectors including also market based instruments) of the
creation of the CEF included in all the retained policy options of the current
Impact Assessment of the CEF, it becomes evident that the CEF will contribute
to significant sector impacts as well as to overall socio-economic and
environmental impacts compared to the Business-as-usual scenario. The positive impacts of the accelerated
development of infrastructure through the creation of the CEF will be visible
for all the policy options. However, their order of magnitude will depend on
the effectiveness of the policy options to address the problem identified, the
optimal operating rules of the CEF. The analysis of impacts has shown that the different degrees of harmonisation between sectors of CEF operating have
clear implications in terms of impacts. The latter,
that are assessed as net changes compared to the CEF baseline (the L min – I min),
are summarised in Table1 below. Table1: Summary table of
impacts of the retained policy options under the CEF Impact on || OptionL Var – I Min || Option L Max – I Max || Option L Max – I Var || Option L Var – I Max || Option L Var – I Var || Option L Min – I Var Accelerated development of infrastructure of EU interest || + || - || - || + || ++ || + of which: || || || || || || Coherence with sector specific policy frameworks || + || - || - || = || + || + Degree of synergies between sectors || = || ++ || ++ || ++ || ++ || = Reduction of administrative costs || = || ++ || + || ++ || + || + Legend: – : negative impact = : no change + : positive impact ++ : very positive impact
6.
Comparison of options
In light of the analysis of impacts, Policy
options L Var – I Min, L Max – I Max, L Max – I Var and L Min – I Var are
discarded. In general terms, the analysis shows that the policy options L Var -
I Var and L Var – I Max are the most effective policy options in meeting the
objective of defining optimal operating rules of the CEF that would allow to
accelerate the development of infrastructure of EU interest. While Policy option L Var – I Var would
appear to be the best option from the perspective of coherence, Policy option L
Var – I Max would offer higher efficiency. A choice between these two policy
options would imply solving the trade-off between maximisation of synergies
across sectors and maximisation of coherence within each with its specific
policy objectives. Indeed, whereas Policy option L Var – I Max is more
ambitious in terms of harmonisation between sectors, it offers also less
coherence for each sector with its specific policy objectives. For this reason, the present IA considers
that both options are valid and that the trade-off between coherence with
sector policy objectives and maximisation of synergies referred to above has to
be addressed by the political decision makers.
7.
Monitoring and evaluation
The Commission will properly evaluate and
review the Regulation 3 years after its adoption by the Commission. In
addition, the Commission will constantly monitor the effectiveness of the
Regulation with the tools which are already available, by means of Annual
report by an Executive Agency, but also an annual EIB report on the use and
effects of innovative financing instruments. An external Evaluation report on
the institutional structure will also be conducted. [1] COM(2011)
500 final and SEC(2011) 868. All documents are accessible at http://ec.europa.eu/budget/biblio/documents/fin_fwk1420/fin_fwk1420_en.cfm
[2] Legislative proposals laying down revised policy
frameworks in the area of TEN-E, TEN-T and e-TEN respectively. [3] SEC(2011) 868, p. 79. [4] COM(2010)700, p. 5. [5] See Impact Assessment Reports of revised TEN-T
Guidelines, SEC(2011)xxx, of revised TEN-E Guidelines, SEC(2011)xxx and of
e-TEN Guidelines, SEC(20111)xxx. [6] SEC(2011) 368, p. 78. [7] Staff Working Paper, A Budget for Europe 2020: the
current system of funding, the challenges ahead, the results of stakeholders
consultation and different options on the main horizontal and sectoral issues SEC(2011)
868 final.