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Document 52012DC0673
COMMUNICATION FROM THE COMMISSION TO THE EUROPEAN PARLIAMENT, THE COUNCIL, THE EUROPEAN ECONOMIC AND SOCIAL COMMITTEE AND THE COMMITTEE OF THE REGIONS A Blueprint to Safeguard Europe's Water Resources
COMMUNICATION FROM THE COMMISSION TO THE EUROPEAN PARLIAMENT, THE COUNCIL, THE EUROPEAN ECONOMIC AND SOCIAL COMMITTEE AND THE COMMITTEE OF THE REGIONS A Blueprint to Safeguard Europe's Water Resources
COMMUNICATION FROM THE COMMISSION TO THE EUROPEAN PARLIAMENT, THE COUNCIL, THE EUROPEAN ECONOMIC AND SOCIAL COMMITTEE AND THE COMMITTEE OF THE REGIONS A Blueprint to Safeguard Europe's Water Resources
/* COM/2012/0673 final */
COMMUNICATION FROM THE COMMISSION TO THE EUROPEAN PARLIAMENT, THE COUNCIL, THE EUROPEAN ECONOMIC AND SOCIAL COMMITTEE AND THE COMMITTEE OF THE REGIONS A Blueprint to Safeguard Europe's Water Resources /* COM/2012/0673 final */
COMMUNICATION FROM THE COMMISSION TO
THE EUROPEAN PARLIAMENT, THE COUNCIL, THE EUROPEAN ECONOMIC AND SOCIAL
COMMITTEE AND THE COMMITTEE OF THE REGIONS A Blueprint to Safeguard Europe's Water
Resources 1. Rationale for the
Blueprint: The Status of EU waters is not doing well enough! Water is essential for human life, nature
and the economy. It is permanently renewed but it is also finite and cannot be
made or replaced with other resources. Freshwater constitutes only about 2 %
of the water on the planet and
competing demands may lead to an estimated 40 %
global water supply shortage by 2030[1]. The EU’s water policy has been successful in
helping to protect our water resources. This Blueprint to Safeguard Europe's
Water Resources aims to tackle the obstacles which hamper action to
safeguard Europe's water resources and is based on an extensive evaluation of
the existing policy. The Blueprint is based on a wealth of information and
analysis including the EEA State of Water report,[2] the
Commission assessment of the Member States River Basin Management Plans (RBMPs)
and Review of the Policy on Water Scarcity and Droughts,[3] and the
Fitness Check of EU Freshwater Policy.[4]
Moreover it is accompanied by an Impact Assessment.[5] The Blueprint is based on
extensive public consultations both in the framework of its development and
under the Fitness Check which has involved the general public, stakeholders,
Member States as well as other EU institutions and bodies.[6] The Blueprint recognises that the aquatic environments differ
greatly across the EU and therefore does not propose any one size fits all
solution, in line with the principle of subsidiarity. It emphasises key themes
which include: improving land use, addressing water pollution, increasing water
efficiency and resilience, and improving governance by those involved in
managing water resources. 1.1. Policy context EU water policy has successfully
contributed to water protection over the past three decades. Europeans can
safely drink tap water and swim in thousands of coastal areas, rivers and lakes
across the EU. Pollution from urban, industrial and agricultural sources is
regulated and this has brought about significant improvements in the quality of
European waters, particularly by reducing an excess of nutrients. As a result,
iconic fish species such as salmon and sturgeon have, in some places, returned
to European rivers. In 2000, the EU Water Framework Directive
(WFD)[7] addressed for the first time in a comprehensive manner all the
challenges faced by EU waters, making it clear that water management is much
more than just water distribution and treatment. It involves land-use and
management that affect both water quality and quantity; it requires
coordination with spatial planning by the Member States and integration into
funding priorities. The WFD established the objective to achieve good status by
2015. This deadline is approaching. The EEA State of Water report and the
Commission assessment of the Member States’ RBMPs developed under the WFD
concur that this objective is likely to be achieved in slightly over
half (53 %) of EU waters. Major additional action is therefore needed to
preserve and improve EU waters. The main causes of negative impacts on
water status are interlinked. These include climate change; land use; economic
activities such as energy production, industry, agriculture and tourism; urban
development and demographic change. Pressure from these causes takes the form
of pollutant emissions, water over-use (water stress), physical changes to
water bodies and extreme events such as floods and drought, which are set to
increase unless action is taken. As a result, the ecological and chemical
status of EU waters is threatened, more parts of the EU are at risk of water
scarcity, and the water ecosystems — on whose services our societies depend —
may become more vulnerable to extreme events such as floods and droughts. It is
essential to address these challenges to preserve our resource base for life,
nature and the economy and protect human health. The EU needs to focus on green growth and
become more resource efficient (including water) to achieve a sustainable
recovery from the current economic and environmental crisis, adapt to climate
change and build resilience to disasters. Tackling these challenges holds significant potential to boost the competitiveness and growth of
the European water sector, which includes 9000 active SMEs and provides 600 000
direct jobs in water utilities alone. There is also potential for green growth
in other water-related sectors (water-using industries, water technology
development etc.) where innovation can increase operational efficiency. Sixty per cent of the EU’s territory lies
in transboundary river basins. The hydrological cycles are so interconnected
that land use in one country can affect precipitation beyond its borders. Moreover,
the European market, EU common policies and Member State policies all have
significant impacts on water status. Therefore, the Commission proposes this Blueprint
to Safeguard Europe’s Water Resources. Its long-term aim is to ensure the
sustainability of all activities that impact on water, thereby securing the
availability of good-quality water for sustainable and equitable water use.
This goal is already enshrined in the WFD in various ways. The Blueprint will
help us achieve the goal by identifying obstacles and ways to overcome them. 2. ‘good
water status’ and how to achieve it: something
better, something more and something new Although the Blueprint objective is not
new, it is the first time that so much information has become available on
water status throughout the continent, particularly thanks to the development
of RBMPs under the WFD and the above-mentioned assessments. These and the views
expressed by stakeholders converge in showing that the current EU legal
framework on water is extensive, flexible and essentially fit to address the
challenges faced by the aquatic environment. However, there is a need for better
implementation and increased integration of water policy objectives
into other policy areas, such as the Common Agriculture Policy (CAP), the
Cohesion and Structural Funds and the policies on renewable energy, transport
and integrated disaster management. The reasons for the currently insufficient
levels of implementation and integration are complex and have been analysed in
the accompanying impact assessment. They consist of a series of water
management problems related to the insufficient use of economic instruments,
lack of support for specific measures, poor governance and knowledge gaps. Only
in a minority of cases have gaps been identified that would require the completion
of the current framework by new action of a legislative/legal nature. Clearly,
the success of the approach proposed by the Blueprint will depend on Member States’
willingness and action to involve stakeholders and follow up to the Commission’s
proposals to improve implementation of existing legislation. In this respect,
the WFD Common Implementation Strategy (CIS), involving all Member States and relevant stakeholders, should continue to play a positive role in WFD
implementation. The Blueprint tries to build on the CIS, where possible, to
create ownership and facilitate implementation of the Commission’s proposals.
However, relying on the CIS does not imply that the Commission will give up its
enforcement role with respect to water legislation. Depending on the progress
made by the Member States to address their implementation shortcomings,
infringement cases may become necessary. Legislative initiatives may need to be
considered. The following sections address the problem
areas and suggest ways forward in relation to land use/ecological status,
chemical status and water pollution, water efficiency, vulnerability and
cross-cutting issues. But it should be kept in mind that these are all
inter-connected aspects of water management and the proposed measures will
contribute to multiple goals. For instance, water efficiency and vulnerability
measures are expected to have positive impacts on ecological and chemical
status and vice versa. 2.1. Land
use and the ecological status of EU waters:
problems and solutions The EEA State of Water report and the Commission’s
assessment of the RBMPs show that good ecological status is currently achieved
in 43 % of the reported freshwater bodies and that the additional measures
included in the plans are expected to increase this to 53 % by 2015. While ecological status assessments still
need improvement, it appears that the most widespread pressure on ecological
status in the EU (19 Member States) originate from changes to water bodies[8] due, for example, to dams for
hydropower and navigation or draining land for agriculture; embankments for
flood protection. There are known ways to address these
pressures and they should be applied. Where existing structures built for
hydropower, navigation or other purposes break river continuity and, often,
fish migration, mitigation measures such as fish passes and fish lifts
should be standard practice. This is now happening, mostly for new developments,
as a consequence of WFD requirements (Article 4.7), but it is important to
progressively retrofit existing structures in order to improve water status.
When there are plans to make significant new changes to water bodies, Strategic
Environmental Assessments (SEA)[9]
should be made in addition to Environmental Impact Assessments (EIA)[10] for specific projects. For
instance, national and regional plans to develop hydropower should be subject
to a SEA to identify where the dams could be located to minimise negative
environmental effects and vulnerability to disaster risks, or to compare the
plans with alternative renewable energy sources development[11]. Similarly, SEAs of plans to
develop inland navigation should look into which waterways could support most
traffic at the lowest environmental cost and in the most sustainable
combination with other transport modes.[12]
The Commission will be particularly vigilant on the enforcement of Article 4.7.
Transboundary issues also should be addressed in the EU’s relations with third
countries, including in the framework of the European neighbourhood and
enlargement policies. Pressure from agriculture and flood
protection can be mitigated or prevented. Methods include developing buffer
strips, which provide biological continuity between rivers and their banks
and using, whenever possible, green infrastructure such as the
restoration of riparian areas, wetlands and floodplains to retain water, support
biodiversity and soil fertility, and prevent floods and droughts. This is a
valuable alternative to classical grey infrastructure (e.g. embankments, dykes
and dams). Particular attention should be paid to preventing the degradation of
headwaters. These are small water bodies (nurseries to many fish species) which
are frequently threatened, according to the EEA, by agricultural works
(drainage, filling) and by dry-out. Fish ponds also play an important role in
the retention and storage of water in the landscape, prevention of flooding and
erosion. To address this, powerful policy
integration tools are enshrined in the Commission proposals for the 2014-2020
Multiannual Financial Framework (MFF)[13]
that could greatly enhance the take-up of green infrastructure. The proposed commitment of 20% of the EU budget for climate mainstreaming
in the MFF should increase support for all water measures related to climate
adaptation. Elements of ecological focus areas
envisaged by the Commission proposal on the greening of CAP pillar I,
such as buffer strips, could serve as Natural Water Retention Measures (NWRM),
a type of Green Infrastructure. NWRMs could also be financially supported by
the Cohesion and Structural Funds as an alternative to grey
infrastructure. The proposal for the new European Maritime and Fisheries
Fund (EMFF) includes measures to foster the development of sustainable
aquaculture providing support for the conservation and improvement of the
environment, biodiversity, management of the landscape and traditional features
of aquaculture zones. The Commission's proposals on the MFF need
to be supported and fleshed out further in implementing rules. The Member
States need to give sufficient priority to water policy objectives when they
negotiate Partnership Agreements with the Commission for programming of EU
Funds expenditure. To expand green infrastructures, Member
States should increase their policy integration efforts at national level. They
should make full use of RBMPs that require an integrated approach to managing
water resources across policy areas such as agriculture, aquaculture, energy,
transport and integrated disaster management. The Commission proposes to
develop CIS guidance on natural water retention measures to facilitate
this integrated approach and will also consider developing guidance in order to
ensure an appropriate level of protection of shellfish waters. The second most common pressure on EU
ecological status (in 16 Member States) stems from over-abstraction of water.
Over-allocating water to users in a river basin due to an overestimation of the
available amounts, or to economic or political pressure, should be
distinguished from water abstraction, which is illegal because it is conducted
without a permit or in breach of a given permit. To address the issue of over-allocation,
there is a need in many EU river basins to put quantitative water management on
a much more solid foundation: namely the identification of the ecological
flow, i.e. the amount of water required for the aquatic ecosystem to
continue to thrive and provide the services we rely upon. Fundamental to this
is the recognition that water quality and quantity are intimately related
within the concept of ‘good status’. However, there is no EU definition of
ecological flow, nor a common understanding of how it should be calculated, even
though these are preconditions for its consistent application. To address this
gap, the Commission proposes developing a guidance document in the
framework of the WFD CIS, using its open and participatory process. Once a
common definition and a methodology for the calculation are agreed, they should
be implemented in the next cycle of RBMPs due for adoption by the end of 2015. On the issue of illegal abstraction[14], while it is for the Member
States to use all means to enforce EU and national law, reliance on satellite imagery
and derived information, such as provided by the
Global Monitoring for Environment and Security (GMES) programme, could
considerably help them identify areas that are irrigated well beyond what is
allowed by national permits or even without permits. Therefore, the Commission
proposes to work together with the Member States that face the problem of
illegal abstraction with a view to proposing GMES services that make
full use of the information held at Member State level to detect illegal
abstraction. Table 1 Blueprint's proposed action || Who will take it? || By when? Develop CIS Guidance on Natural Water Retention Measures (Green Infrastructure). || Commission, Member States & stakeholders || 2014 Green CAP pillar I to support Natural Water Retention Measures (through ecological focus areas). || Commission and Member States || As of 2014 Use Structural & Cohesion Funds & EIB loans to support Natural Water Retention Measures. || Commission, EIB and Member States || 2014-2021 Develop CIS Guidance on ecological flow (and water accounts). || Commission, Member States & stakeholders || 2014 Apply GMES services to detect illegal abstraction. || Commission and Member States || As of 2013 2.2. Chemical status and
pollution of EU waters: problems and solutions The information provided in the RBMPs on
chemical status is not sufficiently clear to set a baseline for 2009, the year
of adoption of the plans. While there have been improvements in the chemical
quality of water bodies over the last 30 years, the situation as regards the
priority substances — which are the basis for assessing chemical status as
introduced by the WFD — is below expectations. The
assessment of chemical status indicates that a large proportion (about
40 %) of water bodies has an unknown status. Monitoring is clearly
insufficient and inadequate in many Member States, in particular where not all
the priority substances are monitored, where the number of water bodies
monitored is very limited, and/or where the selection of the compartment of the
aquatic environment in which the substances are monitored is not suitable. Fulfilment of the monitoring
obligations under the WFD is fundamental to support robust decision making,
especially since the cost of monitoring is orders of magnitude lower than the
cost of taking inappropriate decisions. Before the WFD, the EU addressed
significant point-source and diffuse chemical and other pollution in the
aquatic environment by passing several pieces of legislation, including the Urban
Waste Water Treatment (UWWTD),[15]
Nitrates (ND),[16]
Plant Protection Products (PPPD)[17]
and Industrial Emissions Directives (IPPC-IED).[18] These
Directives protect water resources from pollution from nutrients and/or other
chemicals from agriculture, households and industry. Although implementation of these Directives
has progressed significantly, full compliance has not been reached, and this
prevents achievement of their environmental objectives. Diffuse and
point-source pollution are still significant pressures on the water environment
in, respectively, about 38 % and 22 % of EU water bodies.
Eutrophication due to excessive nutrient load remains a major threat to the
good status of waters as nutrient enrichment is found in about 30 % of
water bodies in 17 Member States. To counter these threats, there is a need to extend
nitrate vulnerable zones and step up action programmes. It is also important to
improve compliance rates on waste water treatment through long-term investment
planning and implementation plans (including EU funds and EIB loans). National
authorities should ensure that the industrial emissions permits they issue
provide for Emission Limit Values (ELVs) that are in line with Best Available
Techniques (BAT) and take into account relevant water objectives. EU legislation on chemicals (REACH)[19] and on plant protection
products and biocides[20]
has recognised the need to assess their risks to the aquatic environment and,
where necessary, to impose restrictions on how they may be used or to deny
authorisation to use them at all. Either way, upstream measures should be seen
as preferable to downstream (cleaning up) solutions. The Directive on the Sustainable Use of
Pesticides[21]
was identified in the Commission’s proposals for CAP reform for possible
inclusion in the cross-compliance mechanism. Effective enforcement of this
Directive could complement the measures taken under the legislation on plant
protection products and help to further reduce water pollution from plant
protection product use. To contribute to this, it is important that the Commission’s
proposal to include this Directive in cross compliance is supported. With regard to the legislation on pharmaceuticals,
there is a difference between the environmental protection afforded under the
legislation on human[22]
and that on veterinary[23]
medicinal products. Both require assessing environmental risk, and case-by-case
consideration of the need for protective measures[24], but only for veterinary
medicines can an authorisation take account of environmental concerns. Environmental
pollution with pharmaceutical residues is an emerging problem. The Commission
is due to present a report on the scale of this problem, along with an
assessment of whether amendments to EU legislation on medicinal products or
other EU legislation are required[25].
On the basis of available information, on 31 January
2012, the Commission proposed an amendment to the Environmental Quality
Standards Directive and Water Framework Directive[26] to, inter alia, add 15 substances to the priority substances list
under that legislation, including three pharmaceuticals. When adopted, this amendment will strengthen the role of the Water
Framework Directive in identifying risks to or via the aquatic environment. It
will also provide monitoring data, which will be useful when developing further
measures. Table 2 Blueprint's proposed action || Who will take it? || By when? Water Framework Directive: Enforce reporting requirements. || Commission || Ongoing Nitrates Directive: Extend nitrate vulnerable zones and reinforcing action programmes. || Member States || Ongoing Urban Waste Water Treatment Directive: Improve compliance rates on waste water treatment through long-term investment planning (including EU funds and EIB loans). Prepare implementation plans || Member States (also Commission for EU funds, EIB for loans) Member States, Commission || 2018 2014 Industrial Emissions Directive: Ensure that industrial emissions permits provide for Emission Limit Values (ELVs) that are in line with Best Available Techniques (BAT) and take into account relevant water objectives. || Member States || As of 2016 Directive on the Sustainable Use of Pesticides: add to cross-compliance under CAP. || Council, EP, Commission || As soon as the conditions in the Commission proposal are fulfilled (i.e. at the earliest in 2014) Pharmaceuticals: Present a report on pharmaceuticals and the environment. || Commission || 2013 Environmental Quality Standards Directive: Adopt the Commission’s proposal for amendments. || Council, EP || 2012-2013 2.3. EU water efficiency:
problems and solutions The sustainable use of Europe’s waters, especially its quantitative aspects, is a real challenge for water
managers, given global phenomena such as climate change and demographic
developments. The EEA State of Water report highlights worrying trends showing
the increase and wider spread of water scarcity and stress, which is
expected to affect in 2030 about half of EU river basins. To respond to this,
in addition to improving water allocation based on ecological flow, water
efficiency measures should be taken to save water and, in many cases, to
save energy too. Article 9 of the WFD
requires implementation of pricing policies that provide an incentive to
use water efficiently. Pricing is a powerful awareness-raising tool for
consumers and combines environmental with economic benefits, while stimulating
innovation. Metering is a pre-condition for any incentive pricing
policy. Article 9 also requires cost-recovery (including environmental
and resource costs) for water services, taking into account the polluter pays
principle. The 2007 Commission Communication on Water Scarcity and Droughts[27] included options related to ‘putting the right price tag on water’, ‘allocating water more efficiently’
and ‘fostering water efficient technologies and practices’. These water
efficiency measures fit into the overall resource-efficiency objective of
Europe 2020[28]. As evidenced by the Commission’s Review of
the Policy on Water Scarcity and Droughts, limited progress has been achieved
in implementing the policy instruments identified in the 2007 Communication. The
Review highlights the high untapped potential for water
efficiency measures in all the main water-using sectors (agriculture, industry,
distribution networks, buildings and energy production). It states that bringing in water accounting and water efficiency
targets at sectoral level would provide a stronger basis for effective and
targeted water protection measures. An assessment of the WFD RBMPs reveals that
the situation is not much better in relation to Article 9: incentive and
transparent water pricing is not applied across all Member States and water-using sectors, also due to the lack of metering. Only 49 % of RBMPs plan
to change the water pricing system to foster a more efficient use of water and
only 40 % include measures to improve water metering.
Not putting a price on a scarce
resource like water can be regarded as an environmentally-harmful subsidy. Moreover, the narrow interpretation of the concept of water
services by some Member States is hindering progress in implementing cost
recovery policies beyond drinking water and sanitation[29]. This limits considerably the
potential impact of these WFD provisions. While continuing enforcement
action to ensure compliance with Article 9, the Commission will try to
facilitate implementation by developing a guidance document, in the
framework of the CIS. The guidance document will focus on the
methodology to assess the costs and benefits of water measures
supporting cost-effectiveness and further implementation of the concept of payment
for ecosystem services. This will help identify water efficiency measures and
also implement the polluter pays principle. Furthermore, the presence of a
water pricing policy is envisaged as an ex ante condition to obtain financing
for certain projects under the Commission’s proposals for Rural Development and
Cohesion funds. If these proposals are supported, they would be a further incentive
for efficient water pricing. The Commission has
identified a number of additional actions that could greatly improve
quantitative water management and water efficiency in Europe, thereby also
contributing to water quality objectives. First, together with
the EEA, the Commission has developed water accounts at river basin and
sub-catchment level. These accounts will need to be further refined with Member States and stakeholders in the context of the WFD CIS, but they provide the ‘missing
link’ in many river basins for water management. They tell water managers how
much water flows in and out of a river basin and how much water can
realistically be expected to be available before allocation takes place. Water
accounts fill a gap by bringing together knowledge that so far was only
available in a scattered and piecemeal manner. If widely implemented, they
could go a long way towards helping to solve water scarcity problems, e.g. by better
analysing structural and episodic categories of water stress and providing
better insights for water resource indicators. Water accounts are closely
linked to the identification of ecological flow as they should ensure that the needs
of nature are respected and that water balances within a river basin stay
within sustainable limits. But water accounts alone are not enough as the
information they provide is only the basis for action. Second, in
order to improve the efficiency of water use, water efficiency targets
should be developed by the river basin authorities for the river basins which
are — or are projected to be — water stressed, on the basis of water stress
indicators developed in the CIS process and applied at river basin level.
Such targets should address all the main water using sectors (industry, energy
production, agriculture, households, etc.) and should be closely linked to the
objective of good status. They should be relied upon together with the above mentioned
incentive water pricing, in order to avoid the possible rebound effect
(improvements in water efficiency increase rather than decrease water use and
consumption). They could become part of the water allocation process and
objective setting in the RBMPs. This could yield water and energy savings,
benefiting the water ecosystems, limiting costs and reducing greenhouse gas
emissions. To ensure consistency and comparability, the Commission proposes to
develop a common EU methodology for setting water efficiency targets, to
be agreed under the CIS process. Third, in order
to foster water efficiency in the building sector, the Commission has analysed the
available options and has decided to develop voluntary EU Ecolabel and Green
Public Procurement criteria[30]
for key water related products and to include water-related products in
the Eco-design Working Plan in the scope specified in this Plan[31]. This option offers several
advantages: it is straight-forward for consumers who
will in the future only find on the market more efficient water devices and
products clearly labelled on the basis of their efficiency; it is based on a
progressive approach as it does not require retrofitting existing buildings but
gradual replacement on the market of old products with more efficient ones; it
will yield considerable energy savings as a large part of the water consumed by
households is heated. Energy savings estimated for taps and showers are equivalent to
10.75 Mtoe in 2020 and around twice that in 2030. These savings are equivalent
to around 3.5 % of total residential energy use in EU 27 or around 1 %
of total energy use in EU 27. Fourth, in the field of
agriculture, the Commission’s proposals for reforming the CAP, which are
currently under discussion, provide (under pillar II on Rural Development) scope
for funding to improve irrigation efficiency in ways that are consistent
with the WFD objectives and prevent the rebound effect. This includes minimum
water use reductions. It is hoped that these measures will be supported in the
finally agreed CAP texts. This is important as agriculture accounts for 24 %
of water abstraction in Europe and, although that might not sound like much
compared to the 44 % abstracted for cooling water in energy production,
its impact on reserves is much greater. In energy production, almost all
cooling water is returned to a water body, but for agriculture the figure is
often just a third[32]. Fifth, regarding the
problem of leakage from water distribution networks, the Commission
believes that this can only be tackled on a case-by-case basis to assess the
environmental and economic benefits of reducing the leakage levels. The
situation is very different between and within Member States as leakage rates
vary from 7 % to 50 % or more. The Commission will work with the EU
water industry to accelerate the development and spread of best practices
on Sustainable Economic Leakage Levels (SELL) and, more broadly, of a strategic
vision for the future of water infrastructure to help it adapt to climate
change in a world of evermore scarce resources. Lastly, water
trading is another instrument, used mostly outside the EU, which could help
to improve water efficiency and overcome water stress, if a sustainable overall
cap for water use is implemented. Water trading entails relatively significant
administrative costs and, in principle, only makes sense among water users in a
defined river basin. Although it would not be helpful to set up such a system
at EU level, the Commission proposes developing CIS guidance to help the
development of water trading in the Member States that choose to employ it. Table 3 Blueprint's proposed action || Who will take it? || By when? Enforce water pricing/cost-recovery obligations under the Water Framework Directive, including metering when relevant Make water pricing/cost recovery an ex ante condition under the Rural Development and Cohesion policy funds. || Commission Council, EP and Commission || Ongoing As of 2014 Develop CIS Guidance on trading schemes and on a cost/benefit assessment. || Commission, Member States & stakeholders || 2014 Make water use reduction a pre-condition for some irrigation projects under Rural Development. || Council, EP and Commission || As of 2014 Develop CIS Guidance on water accounts (and ecological flow). || Commission, Member States & stakeholders || 2014 Develop CIS Guidance on target-setting. || Commission, Member States & stakeholders || 2014 Include water-related products in the Eco-design Working Plan. Develop volontary EU Ecolabel and Green Public Procurement criteria. || Commission || 2012 2013 Spread best practices/tools to achieve a sustainable economic leakage level. || Commission, Member States & water industry || 2013 2.4. The vulnerability of EU
waters: problems and solutions Data from the Blueprint
impact assessment show increasing trends in river flow droughts and flood-related
losses in Europe over the last decades. This underlines the need to improve the
resilience of the aquatic ecosystem to adapt to a changing climate, which is
also likely to bring additional pressure such as higher water temperature and
invasive alien species. At the same time, it is necessary to look into measures
based on an integrated disaster management approach and specifically aimed at
countering the effects of extreme events such as droughts and floods whose
frequency, intensity and environmental and economic damage appear to have increased
over the past thirty years. The EU Floods Directive
requires the development of Flood Risk Management Plans (FRMPs) by 2015, to be
fully coordinated with the second cycle of RBMPs also due in 2015. The FRMP
should also be taken into account when developing cross sectoral and multi
hazard risk management plans. This should hopefully bring about improved land
use and spatial planning, which takes duly into account climate change, disaster
resilience and adaptation needs. [33] Among the measures that
can greatly contribute to limiting the negative effects of floods and droughts
is green infrastructure, particularly natural water retention
measures. These include restoring floodplains and wetlands, which can hold
water in periods of abundant — or excessive — precipitation for use in periods
of scarcity. Green infrastructure can help ensure the provision of ecosystem
services in line with the EU Biodiversity Strategy.[34] Reducing
soil sealing is another measure that can diminish flood risks[35]. These measures should be
included in both RBMPs and FRMPs and, as mentioned, should become a priority
for financing under the CAP, Cohesion and Structural Funds. The 2007 Commission Communication
on Water Scarcity and Droughts included, in addition to the above-mentioned
water efficiency options, a suggestion to ‘consider
additional water supply infrastructure’. The Communication also proposed a
water hierarchy whereby additional water supply options (e.g. desalinisation)
are only considered after all other improvements in efficiency on the demand
side are exhausted. This should be based on a cost-benefit analysis. In the stakeholder
consultations leading to the Blueprint, one alternative supply option — water
re-use for irrigation or industrial purposes — has emerged as an issue
requiring EU attention. Re-use of water (e.g. from waste water treatment or
industrial installations) is considered to have a lower environmental impact
than other alternative water supplies (e.g. water transfers or desalinisation),
but it is only used to a limited extent in the EU. This appears to be due to
the lack of common EU environmental/health standards for re-used water and the
potential obstacles to the free movement of agricultural products irrigated
with re-used water. The Commission will look into the most suitable EU-level
instrument to encourage water re-use, including a regulation establishing
common standards. In 2015, it will make a proposal, subject to an appropriate
impact assessment, to ensure the maintenance of a high level of public
health and environmental protection in the EU. Regarding droughts, the
Commission will continue to develop the European Drought Observatory to
act as an early-warning system to increase Member States’ and stakeholders’
preparedness. It will also enforce relevant requirements under the WFD and –
through its feedback on the first cycle of RBMPs — encourage Member States to
better integrate drought risk management and climate change aspects in their
future RBMPs and when developing cross sectoral and multi hazard risk
management plans. Table 4 Blueprint's proposed action || Who will take it? || By when? Develop CIS Guidance on Natural Water Retention Measures (Green Infrastructure). || Commission, Member States & stakeholders || 2014 Green CAP pillar I to support Natural Water Retention Measures (through ecological focus areas). || Commission and Member States || As of 2014 Use Structural & Cohesion Funds & EIB loans to support Natural Water Retention Measures. || Commission, EIB and Member States || 2014-2021 Enforce WFD requirements relevant to drought risk management. || Commission || Ongoing Develop Flood Risk Management Plans || Member States || 2015 Propose (regulatory) instrument on standards for water re-use. || Commission || 2015 Further develop the European Drought Observatory. || Commission || 2013-2014 2.5. Crosscutting solutions The Commission has
identified a number of cross-cutting options to further the objectives of EU
water policy. The Innovation
Partnerships on Water and on Agricultural Productivity and Sustainability
launched earlier this year[36]
will help find solutions to water challenges in the urban, industrial and
agriculture contexts. This will result in both environmental objectives and
market opportunities. There is a rapidly growing world water market, which is
estimated to be as large as 1 trillion Euros by 2020. A 1 % increase of
the rate of growth of the water industry in Europe could create between 10 ,000
and 20 ,000 new jobs. By seizing new and significant market opportunities,
Europe can increasingly become a global market leader in water- related
innovation and technology. The Innovation Partnerships will try to facilitate links
between the supply and demand of innovative solutions and disseminate tested
solutions, e.g. through the creation of an electronic ‘market-place’ and the
setting-up of specific networks. The other cross-cutting
options can be broadly summarised into two areas: improving the knowledge
base and improving governance. Regarding the knowledge
base, the Water Information System for Europe (WISE) already gathers an
impressive amount of EU-wide information on water status and policy. However,
there are still gaps. Often the information is scattered and not readily
available at the various decision-making levels. The Commission proposes developing
this tool to ensure, through its successive implementation plans, its full
interoperability with the information systems used at Member State and European level with a view to improving our understanding of the aquatic ecosystems. In
particular, the knowledge base will benefit from the development and
implementation of INSPIRE,[37]
SEIS[38]
and GMES and from current water research works under
the 7th Research Framework Programme and those to be conducted under Horizon 2020[39]. Regarding water statistics,
the Commission will propose that the regulations on Environmental Accounts
and Statistics[40]
include the information requirements that are most useful for water policy
needs. In close cooperation with the Member States, the Commission will also
seek to further harmonise reporting cycles under water
legislation in order to reduce the administrative burden by proposing further
integration and, where necessary, targeted amendments of the relevant
legislation (WFD, ND, UWWD). The
Commission will continue to support work to improve the science- policy
interface and further develop the prototype of the hydro-economic model
built by the Joint Research Centre to underpin the Impact Assessment of the
Blueprint. This will also help in the assessment of the costs and benefits of
the reference scenarios and Member States’ programmes of measures, in
co-ordination with other tools at national and/or river basin level. Concerning governance,
the Commission proposes, in the framework of the CIS, to set up a simple and
voluntary peer- review system through which river basin district
authorities could submit their draft RBMPs to the review by other district
authorities, within the same or in other Member States. This is expected, to
favour mutual learning and improve the quality of the plans and their
compliance with WFD requirements. The Commission could help identify, on the
basis of its assessment of the first cycle RBMPs, the river basin district authorities
that could benefit most from such an exchange. As part of the CAP
reform, the Commission has proposed to introduce specific requirements from
the WFD in the CAP cross-compliance mechanism. The details of this proposal
need to be defined in delegated acts, but it could, if retained, give a strong
incentive to fulfil the WFD requirements at farm level, such as abstraction and
impoundments permits, thereby tackling significant agriculture pressures on the
water environment. As part of the follow
up to the recent Commission Communication on Implementation of EU environment
measures, [41] the
Commission is currently working on strengthening
inspections and surveillance requirements
applicable to the full body of EU environment law. The water sector is
one of the key areas to be addressed. The Commission will also explore
how working more closely with Member States through partnership implementation
agreements could improve future compliance on issues such as over-allocation or
illegal abstraction of water. As highlighted in the Commission’s
Roadmap to a resource- efficient Europe, water is a scarce resource whose
efficient use will bring significant economic benefits for a number of economic
sectors. Therefore, the Commission will look into water-related aspects
in the Annual Growth Survey and into country- specific
recommendations where appropriate for individual Member States in the
framework of the European Semester process. For third countries, it will
work in the context of the accession process and the structured dialogues held
with EU neighbours. Lastly, the Commission
supports the use of awareness-raising tools such as communication
campaigns,[42]
certifications schemes[43]
and foot-printing[44]
to give water users incentives to make sustainable choices. The Blueprint strives to achieve widespread
improvement in aquatic ecosystems, which will contribute positively to the EU
Biodiversity Strategy goal of halting the loss of biodiversity and the
degradation of ecosystem services in the EU by 2020, and restoring them in so
far as feasible. It will step up work to increase
resilience to disasters[45]
and adapt to climate change[46]
and will achieve the ‘water milestone’ on the EU
Resource Efficiency Roadmap. As land-based
pressure also influences to a large extent the status of the marine environment,
the Blueprint will contribute to reaching good environmental status under the Marine
Strategy Framework Directive,[47]
provided that there is adequate coordination with programmes of measures under the
Marine Strategies due by 2015. Concerning transboundary
water bodies, the Commission will continue its work to encourage candidate and
neighbouring countries to align their legislation to EU environmental acquis
and provide countries with technical assistance. Table 5 Blueprint's proposed action || Who will take it? || By when? Implement the Innovation Partnerships on Water and on Agricultural Productivity and Sustainability || Commission & stakeholders || As of 2013 Upgrade WISE. || EEA, Commission, Member States & stakeholders || 2015 Streamline reporting & statistic requirements. || EEA, Commission, Member States & stakeholders || 2014 Complete the hydro-economic model. || EEA, Commission, Member States & stakeholders || 2013 Continue CIS work on the science-policy interface. || EEA, Commission, Member States & stakeholders || Ongoing Set up and use a CIS peer review system for RBMPs. || Commission, Member States & stakeholders || 2013-2016 Add Water Framework Directive requirements to cross-compliance under CAP. || Council, EP and Commission || As soon as the conditions in the Commission proposal are fulfilled (i.e. at the earliest in 2014) Strengthening inspections and surveillance requirements. || Commission || 2013 Look into country-specific recommendations on water in the European Semester. || Commission, European Council || 2013 Support awareness-raising tools on water consumption (e.g. voluntary labelling & certification schemes). || Commission, Member States & stakeholders || Ongoing 2.6. Global aspects The primary focus of the
Blueprint is on Europe’s waters. Water is a local issue but it is also a global
problem interlinked with many issues such as food security, desertification,
climate change, impact of natural and man-made disasters etc., which all have significant
economic, social and security dimensions. The EU is engaged in many of these
areas following on from its commitments under Agenda 21, the three Rio
Conventions (on desertification, climate change and biodiversity), the
Millennium Development Goals (MDGs) relating to water, the Johannesburg Plan of
Implementation and most recently the Rio+20 conference. This engagement will
continue to be a high priority for the EU. The world has met the 2015 MDG
target of halving the proportion of people without sustainable access to safe
drinking water in 2011, but many African countries remain off track as regards
access to water. The world is still far from meeting the MDG target for
sanitation access as currently 2.5 billion people lack improved sanitation. Population growth and the competing needs of water users will result
in an increase of global water demand of 35-60 % by 2025. This could
double by 2050[48]. These trends will be exacerbated by climate change, with serious
implications for food security. Given the new thrust of EU development
policy[49]
and the priorities and strategies of partner developing countries and regions, the
focus of water management in EU development cooperation should be on the
following aspects: ·
Access to safe drinking water and basic
sanitation services,
which was declared a human right by the United Nations
in 2010 and reaffirmed in the Rio + 20 Declaration in 2012.[50] ·
Water for economic growth and sustainable
development. The EU will pay particular attention
to the allocation and use of water in economic sectors, sustainable agriculture
and the nexus water-agriculture-energy-environment. ·
Water governance:
An effective institutional setting leading to good water governance at river
basin level is key to achieve the Rio +20 Declaration commitment to ‘significantly improve the implementation of
Integrated Water Resources Management (IWRM) at all levels as appropriate’. Adequate governance and
sustainable water management at regional and transboundary levels also
contribute to ensure peace and political stability via the water and security
nexus. There will also be a need for coordination
mechanisms between EU partners and partner regions, which could build on the
EU Water Initiative (EUWI). EU support to partner countries and regions should draw on the
experience and knowledge gained in EU water management, particularly
implementation of the WFD. The EU Innovation Partnership on Water could also
provide and disseminate innovative solutions for the water challenges faced by
developing countries. Water embedded in traded agricultural and industrial products from
developing countries should be taken into account in water management plans of
partner countries, and in EU policies. In this respect, the EU should support the
development of sustainable water management in exporting countries, e.g. by
increasing water efficiency and improving the choice of crops and other
products, under the EU’s development policy. Table 6 Blueprint's proposed action || Who will take it? || By when? Support access to safe drinking water and basic sanitation services. || Commission, Member States & stakeholders || Ongoing and as of 2014 Support integrated sustainable water resource management. || Commission, Member States & stakeholders || Ongoing and as of 2014 3. Conclusions and Outlook
for EU water policy The Blueprint has set out key actions that
need to be taken by water managers and policy makers to address the challenges
faced by the aquatic environment. It is possible and necessary for Member
States to improve implementation of the WFD and reduce hydromorphological pressure
in our river basins by restoring river continuity, for instance by using green infrastructure.
This can also reduce the EU’s vulnerability to floods and droughts. Under the
CAP, the Cohesion and the Structural Funds, there is scope to fund the take-up
of green infrastructure, particularly if the Commission’s current MFF proposals
are supported. CIS guidance could also be developed to support this objective. Over-allocation of water must be corrected
and we must respect the needs of nature: the ecological flow. The Commission
will work within the CIS process to develop a shared understanding of this
concept and ways to calculate it. During work on the Blueprint, the Commission
has also developed with the EEA water accounts that will enable water managers
to have a more realistic picture of water availability at river basin or sub
catchment level. These tools, once refined in the CIS process, will enable much
improved water allocation. Diffuse and point-source pollution still threaten
the status of EU waters, despite the progress achieved under legislation on
nitrates, waste water treatment, industrial emissions, priority substances and
plant protection products. Fuller implementation of this legislation is
necessary and the Commission will continue its enforcement action. EU financial
support is available but it can only complement, not replace, Member State and private-sector long-term investment plans in these areas. Water efficiency can help reduce water
scarcity and water stress problems. Water pricing based on volumetric metering
is a powerful tool to increase water efficiency but, despite the legal
requirements under the WFD, it is not used to its full extent. The Commission
will continue to enforce requirements while working in the CIS to improve the
methodology for an adequate cost-recovery that includes environmental costs. In
addition, the Commission proposes that the CIS develop a common methodology for
water efficiency targets, which, where relevant, should be integrated into
RBMPs. Water efficiency improvements are particularly urgent in specific
sectors. In agriculture, the Commission’s proposal on CAP pillar II (rural
development) envisages support for improving irrigation efficiency, if a
reduction in water use is implemented. For buildings, the Commission proposes
to include water-related products in the Eco-design Working
Plan, in the scope specified in this Plan, a
cost-efficient solution that could have major co-benefits for energy reduction. The Commission will consider developing a
regulatory instrument setting EU-wide standards for water re-use, thereby
removing obstacles to the widespread use of this alternative water supply. This
would help alleviate water scarcity and reduce vulnerability. A range of cross-cutting instruments will
support the implementation of the measures planned in the Blueprint. The
Innovation Partnerships on Water and on Agricultural Productivity and
Sustainability will support the testing and dissemination of innovative
solutions by helping to match innovation supply with demand. The hydro-economic
model developed by the JRC will help water managers assess the
cost-effectiveness of the measures included in their RBMPs. Developing WISE and
making it more interoperable will make it easier for decision makers to access
essential information. A peer-review system will be available to facilitate
mutual learning in the development of the RBMPs. If the Commission’s current
CAP proposal is agreed, the addition of specific requirements under the WFD to
the cross-compliance mechanism will provide strong incentives to respect those
requirements. Lastly, the Commission could make country-specific
recommendations for Member States as part of the European Semester process, to
identify economic and water environment win-win actions. At the end of the current MFF negotiations,
the Commission will take stock of their result, and, should it prove necessary
to achieve the water policy objectives, will make additional legislative
proposals, as appropriate, on, for example, metering, NWRMs and water efficiency
targets. Implementation and monitoring of the
Blueprint proposals will rely, where relevant, on the WFD CIS in which the
Commission will present them and follow them up. The Commission will develop
and regularly update a scoreboard to check progress on implementation. The WFD must be reviewed and possibly revised by 2019. When
preparing this review, the Commission will take stock of the state of
implementation of all aspects in the Blueprint and, if necessary, propose
amendments of the Directive to facilitate the achievement of its objectives.
Such amendments could turn into legally binding requirements of some of the
non-binding proposals contained in the Blueprint, should the voluntary approach
prove insufficient. The Blueprint has set out clearly the goal
and development path for EU water policy. Getting there is a matter of
political will and stakeholder commitment in the years to come. Table 7 below provides an overview of
the Blueprint's proposals for action described in this paper and timelines for
their implementation || How do we achieve them? Specific Blueprint objectives || Voluntary || Regulation || Conditionality || Funding priority Efficiency incentive water pricing || CIS Guidance on trading schemes by 2014 || Enforcement of Art.9 WFD (ongoing) || Ex ante conditions under the Rural Development and Cohesion policy funds as of 2014 || Metering take up || || Enforcement of Art.9 WFD (ongoing) || || Water use reduction in agriculture || || || Pre-condition for some irrigation projects under Rural Development as of 2014 || Reduction of illegal abstraction/impoundments || Apply GMES as of 2013 || Possible EU initiative on inspections in 2013 || Cross-compliance under the CAP as soon as the conditions in the Commission proposal are fulfilled (i.e. at the earliest in 2014) || Awareness of water consumption (e.g. embedded in globally traded goods) || Support voluntary labelling & certification schemes || || || Maximisation of the use of Natural Water Retention Measures (Green Infrastructure) || CIS Guidance by 2014 || || Greening of CAP pillar I (ecological focus areas) as of 2014 || Structural & Cohesion Funds & EIB loans (2014-2021) Efficient water appliances in buildings || EU Ecolabel and Green Public Procurement criteria 2013 || Eco-design Working Plan in 2012 || || Reduction of leakages || Best practice/tools on SELL in 2013 || || || Structural & Cohesion Funds & EIB loans (2014-2021) Maximisation of water reuse || || Possible Regulation in 2015 || || Structural & Cohesion Funds & EIB loans (2014-2021) Improvement of governance || Peer review of RBMPs (2013-2016) || || || Implementation of water accounts Implementation of ecological flow Application of target setting || CIS guidance Water accounts/Ecological flows by 2014 CIS guidance target setting by 2014 || || || Reduction of flood risk || Through Green Infrastructures (see above) European Flood Awareness System || Flood Risk Management Plans by 2015 || || Reduction of drought risk || Through Green Infrastructures (see above) European drought observatory in 2013-2014 || Enforcement of WFD requirements (on-going) || || Better calculation of costs and benefits || CIS Guidance by 2014 || || || Better knowledge base || Upgrading WISE by 2015 JRC hydro-economic model by 2013 CIS activity on Science Policy Interface (on-going) || Reporting/statistic requirements by 2014 || || Support to developing countries || || || || Support access to safe drinking water and basic sanitation services Support for integrated sustainable water resource management (On-going and as of 2014-2021) Tackling pollution || Report on pharmaceuticals and the environment (2013) || Targeted enforcement of directives WFD, EQS/PSD, NID, UWWTD, IED focussed on 1. Monitoring requirements under the WFD- EQS/PSD 2.Extending nitrate vulnerable zones and reinforcing action programmes (on-going) 3. Improving compliance rates on waste water treatment through long-term investment planning (including EU funds and EIB loans) by 2018, implementation plans prepared by 2014. 4. Ensuring that the industrial emissions permits provide for Emission Limit Values (ELVs) that are in line with Best Available Techniques (BAT) and take into account relevant water objectives as of 2016. Adoption of the proposed amendments to the EQS/PSD || Add the Sustainable Use of Pesticides Directive to cross-compliance under the CAP as soon as the conditions in the Commission proposal are fulfilled (i.e. at the earliest in 2014) || Cross-cutting || Innovation Partnerships on Water and Agricultural Productivity and Sustainability as of 2013 || Overall enforcement of directives: WFD, EQS/PSD, NID, UWWTD, IED, || Possible European Semester Recommendations in 2013 || Overall prioritisation of water objectives under CAP, Structural & Cohesion Funds & EIB loans (2014-2021) [1] Charting our water future, a report of the 2030 Water
Resources Group,
http://www.mckinsey.com/client_service/sustainability/latest_thinking/charting_our_water_future [2] http://www.eea.europa.eu/themes/water/publications-2012.
[3] Commission report on the Implementation of the Water
Framework Directive (2000/60/EC) - River Basin Management Plans, and Commission
Communication on the Report on the Review of the European Water Scarcity and
Droughts Policy, adopted together with this Blueprint. [4] Commission Staff Working Document on the Fitness
Check of EU Freshwater Policy. [5] Commission Staff Working Document – Impact
Assessment, accompanying the Communication ‘Blueprint to Safeguard Europe’s
Water Resources’ which includes a full list of the studies that have fed into
the Blueprint. [6] European Parliament resolution of 3 July 2012 on
"The implementation of EU water legislation, ahead of a necessary overall
approach to European water challenges", http://www.europarl.europa.eu/sides/getDoc.do?type=TA&reference=P7-TA-2012-0273&language=EN&ring=A7-2012-0192.
See also the opinion of the Committee of the Regions (30 June 2011) on
"The role of local and regional authorities in sustainable water
management"; http://www.toad.cor.europa.eu/ViewDoc.aspx?doc=cdr%5cenve-v%5cdossiers%5cenve-v-008%5cEN%5cCDR5-2011_REV2_PAC_EN.doc&docid=2770279;
and the opinion of the European Economic and Social Committee (15 June 2011) on
the "Integration of water policy into other EU policies" http://www.eesc.europa.eu/?i=portal.en.nat-opinions.18788 [7] Directive 2000/60/EC of the
European Parliament and of the Council establishing a framework for Community
action in the field of water policy. OJ L327, 22.12.2000. [8] So-called hydromorphological pressures which affect about
40% of the water bodies. [9] Directive 2001/42/EC of the European Parliament and
of the Council on the assessment of the effects of certain plans and programmes
on the environment. OJ L 197, 21.7.2001. [10] Council Directive 85/337/EEC on the assessment of the
effects of certain public and private projects on the environment. OJ L 175,
5.7.1985 as later amended. The Commission expects that the upcoming revision of
the EIA Directive will also contribute to water objectives by helping
identifying water impacts in a more comprehensive way. [11] See WFD and Hydro-morphological pressures Policy Paper,
Focus on hydropower, navigation and flood defence activities - Recommendations
for better policy integration. http://circa.europa.eu/Public/irc/env/wfd/library?l=/framework_directive/thematic_documents/hydromorphology/hydromorphology/_EN_1.0_&a=d [12] See, e.g., International Convention for the Protection
of the Danube River, Joint Statement on Navigation, http://www.icpdr.org/main/sites/default/files/Joint_Statement_FINAL.pdf.
[13] http://ec.europa.eu/budget/reform/commission-proposals-for-the-multiannual-financial-framework-2014-2020/index_en.htm [14] It is difficult to obtain a reliable figure on illegal
abstraction but, according to the Spanish Ministry for the Environment in 2006,
there were 510 ,000 illegal wells in Spain (WWF, Illegal water use in Spain. Causes, effects and solutions, May 2006). [15] Council Directive 91/271/EEC concerning urban
waste-water treatment. OJ L135, 30.5.91. [16] Council Directive 91/676/EEC concerning the protection
of waters against pollution caused by nitrates from agricultural sources. OJ
L375, 31.12.91. [17] Council Directive 91/414/EEC concerning the placing of
plant protection products on the market, OJ L 230, 19.8.1991, repealed by
Regulation (EC) No 1107/2009 of the European Parliament and of the Council, OJ
L309, 24.11.2009. [18] Directive 2008/1/EC of the European Parliament and of
the Council concerning integrated pollution prevention and control. OJ L28,
29.1.2008 to be replaced by Directive 2010/75/EU of the European Parliament and
of the Council on industrial emissions, OJ L 334, 17.12.2010. [19] Regulation (EC) No 1907/2006 of the European Parliament
and of the Council of 18 December 2006, concerning the Registration,
Evaluation, Authorisation and Restriction of Chemicals (REACH), establishing a
European Chemicals Agency, amending Directive 1999/45/EC and repealing Council
Regulation (EEC) No 793/93 and Commission Regulation (EC) No 1488/94 as well as
Council Directive 76/769/EEC and Commission Directives 91/155/EEC, 93/67/EEC,
93/105/EC and 2000/21/EC, OJ L 396/1, 30.12.2006. [20] Directive 98/8/EC of the European
Parliament and of the Council concerning the placing of biocidal products on
the market, OJ L123, 24.04.1998, to be replaced by Regulation (EU)
No 528/2012 of the European Parliament and of the Council concerning the
making available on the market and use of biocidal products, OJ L 167, 27.06.2012. [21] Directive 2009/128/EC of the European Parliament and of
the Council establishing a framework for Community action to achieve the
sustainable use of pesticides, OJ L309, 24.11.2009. [22] Directive 2001/83/EC of the European Parliament and of
the Council on the Community code relating to medicinal products for human use,
OJ L311, 28.11.2001. [23] Directive 2001/82/EC of the
European Parliament and of the Council on the Community code relating to
veterinary medicinal products, OJ L311, 28.11.2001. [24] Directive 2004/27/EC of the European Parliament and of
the Council of 31 March 2004 amending Directive 2001/83/EC on the
Community code relating to medicinal products for human use, OJ L136,
30.4.2004. [25] See Recital 6 of Directive 2010/84/EU of the European Parliament
and of the Council amending, as regards pharmacovigilance, Directive 2001/83/EC
on the Community code relating to medicinal products for human use, OJ L348,
31.12.2010; and Recital 3 of Regulation (EU) No 1235/2010 of the European
Parliament and of the Council amending, as regards pharmacovigilance of
medicinal products for human use, Regulation (EC) No 726/2004 laying down
Community procedures for the authorisation and supervision of medicinal
products for human and veterinary use and establishing a European Medicines
Agency, and Regulation (EC) No 1394/2007 on advanced therapy medicinal
products, OJ L348, 31/12/2010. [26] Proposal for a Directive of the
European Parliament and of the Council amending Directives 2000/60/EC and
2008/105/EC as regards priority substances in the field of water policy.
COM(2011) 876, 31.1.2012. [27] Communication from the
Commission to the Council and the European Parliament, Addressing the challenge
of water scarcity and droughts in the European Union. COM(2007)414, 18.07.07. [28] Roadmap to a Resource Efficient Europe, COM(2011) 571,
20.9.2011. [29] Following a complaint, the Commission started
infringement procedures against nine Member States for their narrow
interpretation of the concept of water services. [30] EU Ecolabel, http://ec.europa.eu/environment/ecolabel/; EU Green Public Procurement,
http://ec.europa.eu/environment/gpp/index_en.htm [31] Directive 2009/125/EC of the European Parliament and of
the Council establishing a framework for the setting of eco-design requirements
for energy-related products, OJ L 285, 31.10.2009; Directive 2010/30/EU of the
European Parliament and of the Council on the indication by labelling and
standard product information of the consumption of energy and other resources
by energy-related products, OJ L 153, 18.6.2010. [32] http://www.eea.europa.eu/articles/the-water-we-eat. [33] The Commission has developed the European Flood
Awareness System as an effective tool to increase preparedness for trans-national
floods in Europe and which has been adopted as part of the GMES emergency
management service (GIO EMS). [34] Communication from the Commission to the European
Parliament, the Council, the Economic and Social Committee and the Committee of
the Regions. Our life insurance, our natural capital: an EU biodiversity
strategy to 2020. COM(2011) 244, 3.5.2011. [35] Commission Staff Working Documents 'Guidelines on best
practice to limit, mitigate or compensate soil sealing’ SWD(2012) 101 final/2,
15.05.2012. [36] Commission Communication on the European Innovation
Partnership on Water, COM(2012) 216 final, 10.05.2012. Commission Communication on the European Innovation Partnership ' Agricultural
Productivity and Sustainability' COM(2012) 79 final,
29.02.2012. [37] See http://inspire.jrc.ec.europa.eu/ [38] See http://ec.europa.eu/environment/seis/ [39] See http://ec.europa.eu/research/horizon2020/index_en.cfm [40] Regulation (EU) No 691/2011
of the European Parliament and of the Council on European environmental
economic accounts, OJ L 192, 22.07.2011. [41] Commission Communication on Improving the delivery of benefits from EU
environment measures: building confidence through better knowledge and
responsiveness COM(2012)95 final, 07.03.2012. [42] See Communication Campaign 'Generation Awake' http://www.generationawake.eu/en [43] See European Water Stewardship. http://www.ewp.eu/activities/water-stewardship/ [44] See ISO http://www.iso.org/iso/catalogue_detail?csnumber=43263 [45] Communication from the Commission on ‘A Community
approach on the prevention of natural and man-made disasters’ COM (2009) 82
final. [46] The Commission is working on the development of an EU integrated adaptation strategy by 2013. [47] Directive 2008/56/EC establishing a framework for
community action in the field of marine environmental policy; OJ L164, 25.606.2008. [48] 2011/2012 European Report on Development http://ec.europa.eu/europeaid/what/development-policies/research-development/erd-2011-2012_en.htm [49] Agenda for Change —- COM (2011) 637 final, adopted on
13 October 2011.
[50] See
http://www.uncsd2012.org/index.html