• circular economy,  compliance e AEO

    CBAM update questions & answers 19 July 2024

    EU Commission  on 19 July 2024 published the update version of the FAQ on CBAM. We list below the new questions and answers. Answers updated 16, 18, 19, 26, 27, 35, 38, 48, 56, 60, 74, 87, 96, 99, 104, 106, 110, 114, 121, 123; Questions added 24, 30, 34, 65, 72, 103, 109, 116, 125.   For the readers’convenience there is below the list of the HS code of goods which fall under CBAM regulation. Cement (25070080 – Kaolin and other kaolinic clays, calcined; 25231000 – Cement clinkers; 252321 00 – White Portland cement, whether or not artificially coloured; 25232900 – Other Portland cement; 25233000 – Aluminous cement; 25239000…

  • circular economy,  compliance e AEO

    CBAM questions & answers: last updated on 31 January 2024

    On 31 January 2024 EU Commission published the last version of  “ Carbon Border Adjustment Mechanism (CBAM) Questions and Answers” already released on the 23 January. In particular, the new topics are: QUESTION n.11. Does the CBAM apply to packaging? ANSWER: “…The CBAM reporting obligation applies if the CN code of the packaging is given in the customs declaration and is covered by Annex I to the CBAM Regulation…” QUESTION 12: Does the CBAM apply to goods produced in EU outermost regions, such as Mayotte or La Reunion? ANSWER: “….The CBAM Regulation applies only to CBAM goods originating in third countries and imported into the customs territory of the Union.…

  • circular economy,  compliance e AEO

    CBAM, new deadline for “request delayed submission”

    The European Commission, on 29 January 2024 informed that: “…This is due to an incident involving a technical component affecting several EU customs systems, including ICS2, and the functioning of the CBAM Registry. To offer a pro-active approach to help businesses who have experienced problems, the Commission has put in place solutions for reporting declarants. To facilitate reporting declarants who may have experienced difficulties in reporting and have not yet submitted their quarterly CBAM report, a new functionality will be made available as of 1 February on the Transitional Registry, allowing them to “request delayed submission”, giving an additional 30 days to submit their CBAM report…” Indeed, “…In accordance with…

  • compliance e AEO,  made in

    CBAM: questions and answers from EU Commission

    EU Commission on 23 January 2024 updated its “ Carbon Border Adjustment Mechanism (CBAM) Questions and Answers” and checks the following points: General topics about the CBAM; Reporting aspects, responsabilities, procedures and general issues related; The transitional registry; Methodology for calculationg embedded emission in CBAM goods (cement,fertilizer, electricity, hydrogen, iron, steel, aluminum/steel) Customs and CBAM. Definitve period. For what is concerning, the customs implications of CBAM, the “ Carbon Border Adjustment Mechanism (CBAM) Questions and Answers” provides with the following answers: QUESTION: Can an importer use different customs representatives for the customs declaration and the CBAM reporting? As regards the reporting requirements applicable during the transitional period, the CBAM Regulation…

  • circular economy,  compliance e AEO,  made in

    Default values, CBAM, AEO and compliance

    The European Commission published the guidelines on “Default values for the transitional period of the CBAM between 1 October 2023 and 31 December 2025.”  By which: Recalls the legal nature of the Carbon Border Adjustment Mechanism (CBAM) which “…is an environmental policy instrument designed to support the EU climate ambitions of achieving a net reduction of greenhouse gas (GHG) emissions of at least 55% by 2030 and of reaching climate neutrality by 2050 at the latest…”; Underlines that the default values are an average of the intensity of the emissions for each categories of commodities covered by the CBAM. Indeed, the guidance provides that “…Default values do play a specific…

  • compliance e AEO

    CBAM, reporting declarant and AEO: additional contribution for a better understanding

    In order to complete our check of the relationships between the reporting declarant for CBAM and AEO we would recall that M.L. Schippers  & W. de Wit in “Proposal for a Carbon Border Adjustment Mechanism” underlined that an AEO status helps and improves the CBAM fullfilment. Indeed, they wrote: “…As well as the establishment requirement, parties wanting to qualify as authorized declarants have to meet various other conditions, as shown by the information to be included with requests for registration (Article 5(3)). These include having an Economic Operators Registration and Identification (EORI) number and complying with conditions reminiscent of some of the conditions applying to parties wanting to be classified…

  • circular economy,  compliance e AEO

    CBAM and AEO: the workflow to comply with

    The  Guidance document on CBAM implementation for importers of goods into the EU shares the following workflow aiming to simply the operational aspects of the CBAM compliance: The importer (reporting declarant) receives CBAM goods from various installations, possibly from different countries outside the EU. For each import, the importer lodges the usual customs declaration. The customs authority of the relevant EU Member State checks and clears the import, as usual. The customs authority (or the IT system used) informs the European Commission (using the CBAM Transitional Registry) of this import. This information can then be used to check the completeness and accuracy of quarterly CBAM reports. The reporting declarant requests…

  • circular economy,  compliance e AEO

    Are you ready for the CBAM? Some guidelines from EU Commission

    From 1 October 2023  are you ready for the EU’s Carbon Border Adjustment Mechanism – CBAM? Please read our analisys of the EU Commissions’s: Guidance document on CBAM implementation for importers of goods into the EU; Guidance document on CBAM implementation for installation operators outside the EU. The “Guidance document on CBAM implementation for importers of goods into the EU” establishes that the Carbon Border Adjustment Mechanism (CBAM) is an environmental policy instrument designed to support the EU climate ambitions of achieving a net reduction of greenhouse gas (GHG) emissions of at least 55% by 2030 and of reaching climate neutrality by 2050 at the latest. As already explained by…

  • circular economy,  compliance e AEO,  made in,  valore in dogana

    Reporting declarant, tra CBAM, AEO e proporzionalità delle sanzioni: alcune considerazioni

    Il 17 agosto 2023, la Commissione europea, dopo aver concluso una consultazione pubblica, ha pubblicato la “regulation draft C(2023) 5512” recante le disposizioni attuative del “carbon border adjustment mechanism” e delle obbligazioni relative al suo “periodo transitorio” previste dal regolamento 2023/956 del 10 maggio 2023 che istituisce un meccanismo di adeguamento del carbonio alle frontiere. Nella suddetta bozza merita un’attenzione particolare l’articolo 16 “penalties” sulle sanzioni e sulle modalità di applicazione delle stesse. Tale disposizione, nel primo comma, tipizza le condotte  da sanzionare per cui : “…Member States shall apply penalties in the following cases: (a) where the reporting declarant has not taken the necessary steps to comply with the…

  • compliance e AEO

    CBAM, sanctions and AEO

    The regulation draft C(2023) 5512 final “…laying down the rules for the application of Regulation (EU) 2023/956 of the European Parliament and of the Council as regards reporting obligations for the purposes of the carbon border adjustment mechanism during the transitional period…” provides with the regulations for sanctions related to CBAM transitional register regulation. In particular, it lays down that “member States shall apply penalties in the following cases: (a) where the reporting declarant has not taken the necessary steps to comply with the obligation to submit a CBAM report, or (b) where the CBAM report is incorrect or incomplete in accordance with Article 13, and the reporting declarant has…