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Document 52011SC1447
COMMISSION STAFF WORKING PAPER European Global Navigation Satellite System Impact Assesment Executive Summary
COMMISSION STAFF WORKING PAPER European Global Navigation Satellite System Impact Assesment Executive Summary
COMMISSION STAFF WORKING PAPER European Global Navigation Satellite System Impact Assesment Executive Summary
/* SEC/2011/1447 final */
COMMISSION STAFF WORKING PAPER European Global Navigation Satellite System Impact Assesment Executive Summary /* SEC/2011/1447 final */
ELECTRONIC
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1.
Problem definition
1.1.
Policy context
Rationale Global Navigation
Satellite System (GNSS) technologies, with their ability to provide highly
reliable accurate measurements of position, velocity and time, are fundamental
to improving efficiency in many sectors of the economy and in many areas of
citizens' daily life. The experience of the US GPS (Global Positioning System)
has demonstrated the advantages of satellite navigation so well that it is now regarded
in the USA as the fifth utility[1],
alongside water, electricity, gas and telephone. The US military and civil users have developed a considerable
dependence on the GPS. Several other countries are now building their own GNSS. Nowadays, satellite
navigation users in Europe have no alternative other
than to use satellite signals from the US GPS or Russia’s GLONASS (Global’naya
Navigatsionnaya Sputnikovaya Sistema) for positioning, navigation and time.
Europe’s dependence on the satellite radio navigation provided by the GPS is
estimated to represent 6 % to 7 % of the EU-27 GDP, i.e. € 800 billion[2]. Yet the military operators of
these systems can give no guarantee to maintain an uninterrupted service. This
means that the European economy increasingly relies on a military
infrastructure that is not controlled by Europe and not primarily designed to
serve European economic purposes. The European Geostationary Navigation Overlay
Service (EGNOS) system and the satellite navigation system established under
the Galileo programme will give the EU independent access to GNSS technologies.
This strategic move has the potential to generate direct and indirect
socio-economic benefits for the European Union. The European Union has long recognised the need to have its own global satellite navigation system[3]. This political objective has a
number of goals, including setting up the first global satellite navigation and
positioning infrastructure under civilian control, completely independent of
existing systems. The added value of the European GNSS lies not only in
ensuring Europe’s independence with regard to a critical technology but also in
yielding major macro-economic benefits for the European Union, catalysing the
development of new services and products based on GNSS and generating
technological spin-offs to boost research, development and innovation[4]. Although
independence in global satellite navigation is the main driver behind the
Galileo programme, interoperability with existing and future satellite
navigation systems, particularly the US GPS, is an important added value. Once
the system set up under the Galileo programme is operational, market users will
benefit from the interoperability and multiplication of satellite navigation
systems providing increased reliability and precision, and most receivers will
operate using data from several systems. Users also need back-up systems in the
event of system failure or voluntary interruption of signals, which shows the
value added of a civilian system. Governance and
financial framework The European satellite navigation programme
Galileo was launched in 2001. Initially the project was based on a
Public-Private-Partnership with the Galileo Joint Undertaking (GJU) acting as a
common management and funding platform. In 2006, GJU was replaced by the European
GNSS Supervisory Authority (GSA), in charge of managing the public interest
aspects of the European GNSS programmes. The European Space Agency (ESA) was
responsible for the technical management and implementation of the GNSS
programmes with a combined funding of € 2.8 billion from the EU and the ESA. Adopted in 2008, the GNSS Regulation[5] made the EU the sole political
body in charge of steering and fully funding the European GNSS policy. The GNSS
Regulation set out the EU funding for the Galileo and EGNOS programmes for
2007-2013. The budget of € 3.4 billion was split across the remaining of Galileo
development phase, the Galileo deployment phase and the operation of EGNOS. The Commission’s proposal for the next
multiannual financial framework for the EU Budget 2014-2020[6] proposes financing the GNSS
programmes fully from the EU budget with a proposed ceiling of € 7
billion.
1.2.
Identified problems
Progress on implementing the European
satellite navigation programmes is hampered by two key problems: (1) The system established under the
Galileo programme will not be fully operational and will not independently
provide all five services in 2013 as planned. Since
its development phase, the Galileo programme has encountered cost overruns and
delays in delivering the system, the effects of which were partly prevented by
a number of mitigation measures. However, the schedule set by the GNSS
Regulation (according to which, by 2013, the system established under the
Galileo programme is fully operational and provides independently the Open
Service (OS), the Safety-of-Life service (SoL), the Commercial Service (CS),
the Public Regulate Service (PRS) and the Search and Rescue service (SAR)) cannot be
met. (2) There is no definite financing and
governance framework for the exploitation phase of both Galileo and EGNOS
programmes after 2013. The GNSS Regulation covers
the period 2008-2013, hence the development and deployment phase of the Galileo
programme and the start of the exploitation phase of EGNOS. Due to cost
overruns and delays, the deployment phase of the Galileo programme will be
completed in 2018/2019 and the exploitation phase will start gradually in 2014.
As the GNSS Regulation does not lay down the financing and governance framework
for Galileo and EGNOS programmes after 2013, a new legal basis is needed for
the systems to be operational, maintained and managed in the long term. The deployment and exploitation phases of
the Galileo programme will run in parallel for around five years (2014–2019).
During this period, governance of the Galileo deployment phase should provide
continuity, consistency and credibility towards third parties and achieve
continuity of service without disruption for end users. The issue of governance
of the Galileo exploitation phase needs to be considered and should gradually
adapt to needs and to the experience gained from providing initial services.
Governance for EGNOS operations needs to be set up urgently.
1.3.
Who is affected, in what ways and to what
extent?
The two problems
outlined above hamper the provision of services planned by the GNSS Regulation:
without funding and an adequate governance framework, the infrastructure
available in 2014 will not fully deliver any service. This would affect EU
citizens, industry and public authorities at various levels: ·
The growth of the European navigation
applications industry depends on the availability of a European GNSS. If there
is no European GNSS, this whole new sector will fail to emerge; ·
Several economic sectors rely on the existence
of a GNSS: ·
Positioning information it provides drives
transport activities in all forms and hence logistics systems that provide
goods to EU consumers; ·
Timing information is used to synchronise
telecommunications networks and increasingly to power management systems,
especially for the development of smart grids. Of course, these
industries do not rely today on a European GNSS and have so far satisfactorily
relied on the US GPS. The very fact that US GPS provides a cost-effective
solution to positioning and timing needs has accelerated the adoption of GPS-based
devices in all aspects of EU citizens’ daily life. Therefore, the US GPS is
seamlessly becoming a single point of failure of EU critical infrastructure,
which means that a disruption of GPS signal provision would have a major impact
on European society.
2.
Analysis of subsidiarity
The EU’s right to
act is based on Article 170 of the Treaty on the Functioning of the European
Union[7]
and the GNSS Regulation on the further implementation of the European satellite
navigation programmes (EGNOS and Galileo)[8]. The establishment of satellite navigation
systems cannot be sufficiently achieved by the Member States as it exceeds the
financial and technical capacities of any single Member State. Therefore, it
can be only achieved by action at EU level. The GNSS Regulation states that the
European Union is the owner of all tangible and intangible assets created or
developed under the programmes. As owner of all related tangible and intangible
assets, the European Union must ensure that all conditions to operate and
exploit the systems are in place when the first positioning, navigation and
timing services are provided in 2014-2015. Therefore, governance must be of European
nature.
3.
Objectives
The
general objective of this proposal as enshrined in Article 170 of the TFEU[9] is ‘to contribute to the establishment and development of trans-European
networks’ and is also cited in
the flagship initiative of the Europe 2020 strategy[10]: ‘to develop an effective
space policy to provide the tools to address some of the key global challenges
and in particular to deliver Galileo [...]’. The political
objectives are to: ·
Set up a first global satellite navigation
system (GNSS) under civilian control completely independent of other
existing systems, to provide uninterrupted GNSS services and a strategic
advantage for Europe ·
Improve the resilience of Europe’s economic
infrastructure by providing a backup system in the event of signal failure
from other systems ·
Maximise socio-economic benefits for Europe by relying on more accurate, available and robust signals
by unlocking the potential of high-precision satellite navigation to a much
fuller extent than currently possible ·
Build Europe’s technical capability to develop, deploy and operate complex large-scale infrastructures. These political
objectives were the basis for defining the European satellite navigation policy
in the GNSS Regulation, which aims to provide the EU with two satellite
navigation systems established under the EGNOS and Galileo programmes: ·
The aim of the Galileo programme is to establish
the first global satellite navigation, positioning and timing infrastructure
specifically designed for civilian purposes. The system established under the
Galileo programme is completely independent of other existing or potential
systems and the signals emitted by the system can be used to provide five
services (Open Service, Safety-of-Life service, Commercial Service, Public
Regulated Service, Search and Rescue service). ·
The aim of the EGNOS programme is to improve the
quality of signals from existing global navigation satellite systems which can
be used to provide three services (Open Service, Safety-of-Life service, EGNOS
Data Access Service).
4.
Policy options
4.1.
Policy options to tackle problem 1: How to make
progress in implementing and exploiting the
European GNSS programmes
4.2.
Galileo
The following options could be considered to
find a way forward on implementing Galileo infrastructure: (a)
Space segment: At
Initial Operational Capability (IOC) planned in 2014-2015, all 18 already
procured satellites should be deployed, out of the 30 planned for Full
Operational Capability (FOC). With the specific orbital characteristics of
Galileo in mind, three theoretically and technically feasible final
constellations can be considered: (1)
Deploying 18 satellites as a final
constellation; (2)
Deploying 24 satellites as a final
constellation; (3)
Deploying 30 satellites as a final
constellation. (b)
Ground segment:
At IOC (2014-2015), only an intermediate ground infrastructure[11] (v2) will be deployed, allowing
Galileo to provide navigation signals for OS, PRS and SAR. A subsequent ground
infrastructure upgrade (v3) is currently planned for deployment between IOC and
FOC to enable the provision of the stand-alone Safety-of-Life service and to
implement full PRS capability. Three technically feasible ground infrastructure
configurations can be considered: (1)
Ground infrastructure v2, as will be reached at
IOC, with no SoL-service; (2)
Ground infrastructure v3 with SoL service
only available in interoperability with the US GPS (this would require fewer
ground facilities and make the infrastructure simpler); (3)
Ground infrastructure v3 with SoL service
available on a stand-alone basis; Table 1: Policy options for problem 1 Option || Space segment || Ground segment || Services (1) Baseline option || (A.3) || (B.3) || Services can be provided stand-alone as defined in the Galileo Mission Requirements Document (2) Revised services option || (A.3) || (B.2) || Services can be provided stand-alone as defined in Galileo Mission Requirements Document, except for SoL service that can be provided only in cooperation with GPS (3) Reduced services option || (A.2) || (B.2) || Services can be provided stand-alone but not as defined in the Galileo Mission Requirements Document (reduced service level). SoL can be provided only in cooperation with GPS. (4) Degraded services option || (A.1) || (B.1) || Services cannot be provided stand-alone, only in interoperability with GPS, not as defined in Galileo Mission Requirements Document. (5) Termination of programme || none || none || none EGNOS The EGNOS system is already in use, but
requires operations, maintenance and evolution of its services over the next
years. Therefore, only two policy options can be envisaged: (1) Continuation of
the programme or (2) Termination of the programme. As EGNOS SoL is already operational,
continuation of the programme is the only possible option: having declared the
Safety-of-Life service operational, the Commission has secured the commitment
of end-user communities to use EGNOS. This is leading end-users, in particular
in the aviation sector, to heavily invest in adapting their systems to EGNOS.
This calls for a long-term commitment of the Commission to provide EGNOS
services.
4.3.
Policy options for problem 2: Governance scheme to
exploit both systems
The governance framework needs to be defined based on the
management functions, organisation and legal forms. As regards the functions
and their organisation, two levels of management need to be considered: (1) political
supervision of the programmes, that remain the responsibility of the Commission,
on behalf of the EU, to set the general objectives and mission requirements, and to decide on and monitor the budget, (2) programme
management to be carried out by one entity, ensuring
that systems achieve the aim stated by the political supervision level on time
and to cost, including coordinating and monitoring all
activities involved in achieving this aim.
4.3.1.
Options for programme management
Given that the EU retains responsibility
for political supervision of the programmes, there are four policy options for
programme management: (1)
European Commission (2)
EU joint undertaking (3)
EU regulatory agency (4)
EU public company Using the
pre-screening criteria, focusing on feasibility, option 1 (European Commission)
and option 2 (EU joint undertaking) were rejected. Options 3 and 4 were analysed
further.
5.
Impact assessment
5.1.
Analysis of impacts for problem 1: Way forward on further implementation of
the European GNSS programmes
The impact of the five options on completing
the full operational capability of the system established under the
Galileoprogramme can be assessed from the point of view of benefits (indirect
benefits and direct revenues), costs (infrastructure completion and
exploitation costs) and competitiveness of the EU industry.
5.1.1.
Analysis of
benefits
The European Space Agency has performed simulations
to assess navigation performance, expressed in terms of navigation accuracy
and availability. The objectives for Galileo’s performance were set by
the Galileo Mission Requirements Document on an accuracy of 4 meters
horizontally and 8 meters vertically (dual frequency service), with an
availability of 99.5 %. Table 2: Simulated navigation accuracy by Galileo
infrastructure option[12] (m)/availability 99.5 % || Horizontal accuracy || Vertical accuracy Mean accuracy (99.5 %) || Worst user-location accuracy || Mean accuracy (99.5 %) || Worst user-location accuracy (1) Baseline option || 3.3 || 3.7 || 7 || 7.4 (2) Revised services option || 3.3 || 3.7 || 7 || 7.4 (3) Reduced services option || 8 || 25 || 11.5 || 30 (4) Degraded services option || 80 || 250 || 138 || 451 (5) Termination of Galileo programme || N/A || N/A || N/A || N/A Options 1 and 2 meet the objectives, even
for the worst user locations, while option 3 approaches these requirements. The
accuracy of option 4 is insufficient for the vast majority of users. These
values show a sharp degradation of performance if the number of satellites is
decreased. The number of satellites affects service continuity, i.e.
navigation at the Earth’s surface, which is less even with a lower number of
satellites, and the robustness of the system, i.e. the sustainability of system
performance under perturbations such as satellite failure. Option 4 will be
less robust as the unforeseen breakdown of one or more satellites would lead to
a sharp deterioration in navigation performance and even in service provision
failure. Options with larger constellations would be less affected by such
events. Table 3 shows the availability of services to be provided by the
system established under the Galileo programme alone and in combination with
the US GPS under various policy options[13]. Table
3: Availability of services per
infrastructure option || || Availability of service as per MRD OS || PRS || SAR || CS || SoL (1) Baseline option || Stand-alone || Yes || Yes || Yes || Yes || Yes With GPS || Yes || N/A || Yes || N/A || Yes (2) Revised option || Stand-alone || Yes || Yes || Yes || Yes || No With GPS || Yes || N/A || Yes || N/A || Yes (3) Reduced services option || Stand-alone || Close to MRD but limited robustness || MRD compliant but limited robustness || Yes || Yes || No With GPS || Yes || N/A || Yes || N/A || Yes (4) Degraded services option || Stand-alone || Mediocre accuracy and poor continuity || Mediocre accuracy and poor continuity || Yes longer localisation time and poor robustness || Reduced capacity limited to Augmentation || No With GPS || Reduced service level || N/A || Reduced service level || N/A || Degraded service level (5) Termination of the programme || Stand-alone || No || No || No || No || No With GPS || N/A || N/A || N/A || N/A || N/A || Service available as per mission requirements || || Service reduced || || Service degraded || || Service not available The prospect of interoperating with the US
GPS, especially for options 3 and 4, would lead to a major improvement in the
accuracy of the navigation, velocity and time services but has several
consequences: ·
The system established under the Galileo
programme will be partially or fully dependent on interoperability with US
GPS. Europe will not be able to be one of the leaders of GNSS innovation.
It will lose its capacity to influence future navigation standards and will
weaken the competitiveness of its industry in the area of applications and
downstream technology developments precisely where most of the navigation
market is booming; ·
The system established under the Galileo
programme will not become a separate global navigation satellite system as
desired by the stakeholders, but rather an add-on to the US GPS.
Consequently, the failure of one system
will impact the combined performance of the systems perceived
by the users. These considerations
are important as regards the provision of OS, PRS and CS services. As regards
SAR and SoL services: ·
The SAR service is operational with 18 equipped
satellites, and thus its performance does not depend on the number of
satellites envisaged under the various infrastructure options, though the
degraded option 4 SAR could generate longer localisation time and poor
robustness due to potential satellite breakdown; ·
The SoL service alternatives mainly depend on
deployed ground infrastructure. Option 1 will be able to provide a stand-alone
SoL service, options 2 and 3 will only be able to provide a SoL service in
interoperability with the US GPS and option 4 will not provide the SoL service.
5.1.1.1.
Indirect benefits
The total cumulative monetised benefits (economic, social and
environmental) of the GNSS programme until 2034 will depend on the chosen
option. They have been
modelled over a 20-year period in order to take into account a complete
lifecycle of the system established under the Galileo programme, using a model
developed by the European GNSS Agency. The total indirect benefits presented in Table 4 are equal to the sum of the benefits
generated by three sources: ·
upstream market and spill-over (investment in
space infrastructure and spill-over effects of research and development
investment) ·
downstream market growth (growth of the GNSS
application market) ·
public benefits (external effects divergently or
indirectly generated by GNSS applications such as benefits for public
institutions, society and users). Table 4: EGNSS indirect benefits per option — 2014-2034 || Economic benefits || Social and env. benefits || (€ bn/constant prices 2011) || Upstream market growth || Downstream market growth || Public benefits || Total benefits (1) Baseline option || 19.94 || 26.43 || 87.41 || 133.77 (2) Baseline revised services option || 19.94 || 26.43 || 87.41 || 133.77 (3) Reduced services option || 17.30 || 20.64 || 73.43 || 111.37 (4) Degraded services option || 14.83 || 15.36 || 64.84 || 95.04 (5) Termination of Galileo programme || 6.76 || 1.27 || 15.02 || 23.05 Source: European GNSS Agency The indirect benefits of EGNOS are included
in all options. The last option implies Galileo programme termination, but
EGNOS is exploited and services are offered. EGNOS is consequently the only source
of benefits under option 5.
5.1.2.
Direct revenues
Apart from socio-economic benefits, direct
revenues are expected to be generated through services provided by the GNSS
programmes. Possible revenue streams include the Commercial Service (access
fees for authentication services and High Precision Positioning Service) and
the Public Regulated Service (license fees on receivers, activation fees on
receivers and access fees for signals)[14].
Additional indirect revenues for services where automated denial of access is
hardly conceivable (e.g. Safety of Life) could be envisaged through indirect
charging mechanisms but at present there is no legal framework for such
mechanisms. Table 5: EGNSS potential direct revenues per option (EUR bn)/constant prices 2011 || PRS min. and max. revenues || CS revenues || Total average 2014-2034 (1) Baseline option || 0.24 – 0.34 || 1.32 || 1.61 (2) Baseline revised services option || 0.24 – 0.34 || 1.32 || 1.61 (3) Reduced services option || 0.24 – 0.34 || 0.00 || 0.28 (4) Degraded services option || 0.00 || 0.00 || 0.00 (5) Termination of Galileo programme || 0.00 || 0.00 || 0.00 Expected revenues
from public regulated services and commercial services are no more than € 1.61
billion over the 20-year period, which is less than 10 % of the total
costs for the next 20 years. It is clear that the European GNSS will not be
profitable enough to be run on an independent basis and will need public
financing in the future. Direct revenues will never have the potential to
offset the operation costs of the programmes.
5.1.3.
Analysis of
costs
The options vary regarding the number of
deployed satellites and the specifications of the ground segment. For each
option, costs have been assessed not only to complete the infrastructure, but
also to cover the exploitation phase for Galileo and EGNOS. The cost
estimations have been modelled over the same period as the benefits: 2014-2034,
which corresponds to three seven-year periods of the EU multiannual financial
framework. Table 6: European GNSS programmes costs per option
2014-2034 (€ bn)/constant prices 2011 || EU MFF 2014-2020 || EU MFF 2021-2034 (2021-27, 2028-34) || Total (1) Baseline option || 7.8 || 12 || 19.8 (2) Baseline revised services option || 7.0 || 11.5 || 18.5 (3) Reduced services option || 6.5 || 10.8 || 17.3 (4) Degraded services option || 5.6 || 10 || 15.6 (5) Termination of Galileo programme || 2.4 || 1.4 || 3.8
5.1.4.
Sector-specific
impacts
The analysis reviews the impact on the competitiveness of the sector(s) targeted by the
initiative, their suppliers (upstream sectors) and their clients (downstream
sectors and end-users). The value chain analysis covers four main segments: ·
Upstream:
European space industry contributing to the building of the global satellite
navigation system ·
Service provision:
European industry supplying commercial or public positioning, navigation or
timing services ·
Downstream:
European applications industry, which depends on service provision, supplying the
hardware and software needed to exploit satellite signals ·
End-users:
industries using services and applications. It focuses on the
European applications industry and end-users, where the highest impact on competitiveness
is expected. Table 7: Summary of the competitiveness impact || (1-2) Baseline and revised services options || (3-4) Reduced and degraded services options || (5) Termination of Galileo programme Upstream || + + || + || – Service provision || + + || + || – Downstream || + || + || – End-users || + + || + + || 0 Total || + + || + || – –: negative impact on competitiveness || +: positive impact on competitiveness || The review of the impact on competitiveness of the different options
shows that the baseline and revised services options are likely to boost
significantly EU innovative competitiveness, with the creation of new
markets/business sectors and with spill-over effects improving business
processes and stimulating innovation in other sectors. A positive impact is
also expected in terms of cost and price competitiveness.
5.2.
Analysis of impacts for problem 2: Governance
scheme to exploit both systems
The options for
problem 2 are assessed qualitatively in terms of their compliance with the
governance objectives defined in the Financial Regulation, i.e. feasibility,
decision making, robustness, scope for evolution, impact on EU economy,
consistency with EU policies and promotion of EU interests and EU control and
accountability. These objectives are grouped by the criteria of effectiveness,
efficiency and coherence. || Effectiveness || Efficiency || Coherence EU regulatory agency || · High feasibility · Fast decision making · Strong robustness: Proven legal scheme. Under umbrella of Art 340 and 343 of Treaty on the Functioning of the European Union || · Medium scope for development, requiring amendments of the EU legal basis establishing the agency · Positive impact on EU economy || · Strong consistency with EU policies · Strong EU control and accountability EU public company || · Very poor feasibility: Neither precedent nor clear rules for the EU to create an EU public company. · Fast decision making and flexibility · Poor robustness: operation would be based on the national law of the Member State of incorporation || · Poor scope for development · Ambiguous impact on EU economy || · Medium consistency with EU policies and EU control and accountability
6.
Comparison of options
6.1.
Comparing the options for problem 1: How to make progress in further implementing the European GNSS programmes
Effectiveness Effectiveness
related to compliance with the general policy objectives is based on a
qualitative comparison of the technical characteristics of the options and
their impacts. Table 8:
Compliance with general policy objectives || Set up an Independent GNSS || Increase resilience of EU economic infrastructure || Build Europe’s technical GNSS capability || (1) Baseline || || 100 % || || 100 % || || 100 % || (2) Revised services || || 75 % || || 100 % || || 100 % || (3) Reduced services option || || 75 % || || 50 % || || 100 % || (4) Degraded services option || || 0 % || || 0 % || || 25 % || (5) Termination of Galileo programme || || 0 % || || 0 % || || 0 % || : No compliance to objective : Full compliance with objective Efficiency The efficiency of
the policy options is assessed based on the indirect benefits, direct revenues
and costs of each option, depending on the number and quality of the services
enabled. Table 9:
Cost-benefit analysis of policy options: 2014-2034 (€ bn) Constant prices 2011 and discounted prices at 4 % || Indirect benefits || Direct revenues || Costs || Net benefits Constant prices || Discount. prices || Constant prices || Discount. prices || Constant prices || Discount. prices || Constant prices || Discount. prices (1) Baseline || 133.77 || 81.26 || 1.61 || 1.05 || 19.8 || 14.65 || 115.58 || 67.66 (2) Baseline revised services || 133.77 || 81.26 || 1.61 || 1.05 || 18.5 || 13.69 || 116.88 || 68.63 (3) Reduced services option || 111.37 || 67.59 || 0.28 || 0.20 || 17.3 || 12.80 || 94.35 || 54.99 (4) Degraded services option || 95.04 || 57.53 || 0.00 || 0.00 || 15.6 || 11.54 || 79.44 || 45.99 (5) Termination of Galileo programme || 23.05 || 14.00 || 0.00 || 0.00 || 3.8 || 2.81 || 19.25 || 11.19 Coherence Options 1 (Baseline)
and 2 (Revised services) are both in line with the
EU political framework, have a very positive effect on the competitiveness of
the EU industry and have the potential to yield strategic benefits for the EU. Options 3 (Reduced
services) and 4 (Degraded services) are similar: both
partially inconsistent with the EU’s objectives and priorities and both have a fairly
positive effect on competitiveness. Option 5 (Termination of the Galileo programme) is not at all consistent with the EU’s
declared objectives and has a negative impact on competitiveness. As a conclusion,
taking into account all impacts, aspects of efficiency,
effectiveness and coherence and in particular the potential cost savings,
option 2 (Revised services) would appear to be the preferred option.
6.2.
Comparing the options for problem 2: Governance scheme to exploit both systems
Following a comparison of impacts of the
EU Regulatory Agency and EU public company, the EU regulatory agency appears
to be the best suited to fulfil the objectives of programme management as this
set-up is highly coherent, effective and efficient from the EU’s point of view.
Due to the general concerns over the growth
in the number of EU agencies, it is unlikely that the European Parliament or
the Council of the EU will accept the creation of a new EU regulatory agency. Out
of the existing EU regulatory agencies, the European GNSS Agency is the most
suitable candidate as it is a part of existing governance structures of the
GNSS programmes and it has initial expertise in the relevant field. However, the European GNSS Agency in its
current form cannot take over immediately the programme management tasks of the
exploitation phase as its current mandate is limited to security and market-related
issues and it does not have sufficient financial and human resources.
7.
Monitoring and evaluation
Output indicators
will be drawn from the features, quality and specifications of EGNOS and
Galileo services and the extent to which they correspond to those set out by
the GNSS Regulation, the on-target date delivery within the target costs and the
stability, sustainability and efficiency of the governance scheme. The competitiveness
of the European-based GNSS industry, the use of services, including market
penetration, the number of jobs created and the indirect and direct benefits provided
by the GNSS programmes will be result indicators. The Commission will ensure that all contracts
and agreements concluded in the framework of the GNSS programmes will provide
for supervision and financial control by it. The focus in all monitoring and
evaluation mechanisms will be on minimising programme cost overruns and delays
in delivering services. To do this the Commission will propose a strategic
framework listing the main measures, estimated budget and timetable by 30 June
2014, an annual work programme with detailed measures and indicators, an annual
implementation report evaluating the fulfilment of these measures and an
interim evaluation focusing on quantitative and qualitative results achieved by
30 June 2017, in time to prepare the next multi-annual financial framework. In addition to these standard measures, the
Commission will, when exercising its powers of political supervision over the
Galileo and EGNOS programmes, improve the monitoring and evaluation mechanisms
over the programme management entity by requesting detailed annual management
plans and implementation reports, by steering regular programme progress
meetings and by carrying out financial and technological audits. In addition, programmes monitoring should involve
Member States, for example by using their technical capabilities to provide
input on technical monitoring of the programmes and to propose key performance
indicators against which the programmes will be evaluated. Lastly, in the day-to-day management, the
Commission will propose a risk management mechanism and management tools to
minimise the probability of programme cost overruns based on better cost
estimation, taking stock of previous experience and actual system
implementation. [1] The White House, Office of the Press Secretary. Press
briefing by Assistant Secretary of Transportation, Gene Conti, 1 May 2000. [2] COM(2010) 308 of
14.6.2010, Impact assessment, accompanying document to the Communication of the
European Commission on Action Plan on Global Navigation Satellite System (GNSS)
Applications. [3] Council Resolution on the European contribution to
the development of a Global Navigation Satellite System (GNSS) of 19 December 1994. [4] A detailed analysis was given in the Commission
Communication on the status quo of the Galileo and EGNOS programmes published
in 2007 (COM(2007) 261 final and COM(2007) 534/2). [5] Regulation (EC) No 683/2008 on further implementation
of the Galileo and EGNOS programmes. [6] COM(2011) 500 of 29.6.2011 ‘A Budget for Europe 2020’. [7] OJ EU C 83/47 of 30.3.2010. [8] OJ EU L 196/1 of 24.7.2008. [9] OJ EU C 83/124 Official Journal of the European Union 30.3.2010. [10] Communication from the Commission COM(2010) 2020 of 3 Mars 2010 on ‘Europe 2020 — A strategy for smart, sustainable and inclusive growth’,
p15. [11] The ground infrastructure comprises over 50 ground
stations around the world. [12] These simulations are dependent on a number of
assumptions that will be updated according to how the system will actually
perform once deployed, e.g. Orbit Determination and Time Synchronisation (ODTS)
accuracy. [13] This table is based on the information available in
September 2011 from the European Space Agency and is deliberately simplified. [14] Potential revenue generated by the PRS will depend on
political choices to be made.