Vans ('light commercial vehicles') account for around 12% of the light-duty vehicles newly registered in the EU and are responsible for around 2.5% of total EU emissions of carbon dioxide.
Since 2011, EU legislation sets CO2 emission targets for new vans registered in the EU. It covers light commercial vehicles, meaning vehicles designed and constructed primarily for the carriage of goods and with a maximum mass not exceeding 3.5 tonnes.
The Regulation is similar to that for new cars.
On average, new vans registered in the EU shall not emit more than 175 grams of CO2 per kilometre by 2017.
Emissions of 175 g CO2/km correspond to about 6.6 l/100 km of diesel.
This EU fleet-wide target was already reached in 2013, four years ahead of schedule.
In 2017, the average emissions of new vans registered in the EU were 156.1 g CO2/km.
From 2020 on, the EU fleet-wide average emission target will be 147 grams of CO2 per kilometre.
Emissions of 147 g CO2/km correspond to around 5.5 l/100 km of diesel.
The binding emission targets for manufacturers are set according to the average mass of their vehicles, using a limit value curve. This means that manufacturers of heavier vans are allowed higher emissions than manufacturers of lighter vans. The curve is set in such a way that the targets for the EU fleet-wide average emissions are achieved.
The target of 175 g/km was phased in between 2014 and 2016. It applies to all newly registered vans of a manufacturer since 2017.
If the average CO2 emissions of a manufacturer's fleet exceed its target in a given year, the manufacturer has to pay an excess emissions premium for each van registered.
Until 2018, this premium amounts to
From 2019 onwards, the penalty will be €95 for each g/km of exceedance.
To encourage eco-innovation, manufacturers can be granted emission credits for vehicles equipped with innovative technologies for which it is not possible to demonstrate the CO2-reducing effects during the test procedure used for vehicle type approval. Such emission savings have to be demonstrated based on independently verified data.
The maximum emission credits for these eco-innovations per manufacturer are 7 g/km per year.
Manufacturers are given additional incentives to put on the market zero- and low-emission vans emitting less than 50 g/km through a 'super-credits' system.
This system applied between 2014 and 2017. For the purpose of calculating a manufacturer’s average emissions such vans were counted as:
Manufacturers were able to claim this 'super credit' for a maximum of 25 000 vans over the 2014-2017 period.
The super-credits for vans are not continued in relation to the 2020 target.
Manufacturers may group together and act jointly to meet their emission target.
In forming such a pool, manufacturers must respect the rules of competition law.
Manufacturers responsible for fewer than 22 000 new vans registered in the EU per year (“small volume” manufacturers) can propose their own derogation target, which has to be approved by the Commission based on the criteria set in the Regulation.
Manufacturers responsible for fewer than 1 000 new vans registered in the EU per year are exempted from meeting a specific emissions target, unless they voluntarily apply for a derogation target.
The Commission has set out rules for monitoring the CO2 emissions of new vans. Information on the monitoring results can be found under the Documentation tab.
In November 2017, the Commission presented a legislative proposal setting new CO2 emission standards for cars and vans for the period after 2020.
Road transport is the second biggest source of greenhouse gas emissions in the EU, after power generation. It contributes about one-fifth of the EU's total emissions of carbon dioxide (CO2).
Road transport is one of the few sectors where emissions have been rising rapidly over the last 20 years, with the exception of the period 2008 to 2010 when lower transport activity due to the economic slowdown brought a drop in CO2 emissions. In the period 1990 to 2010 emissions from road transport increased by 22.6%. This increase acted as a brake on the EU's progress in cutting overall emissions of greenhouse gases, which fell by 15.4%.
Light-duty vehicles (cars and vans) are responsible for a significant part of the overall transport emissions and emit around 13.5% of total EU emissions of CO2 and about 15% when the emissions from supplying the fuel are included. In view of the expected increase in the light-duty vehicle fleet, a continuation of the effective application of the EU mandatory CO2 targets is necessary to ensure further reduction of road transport emissions of CO2.
Under the EU Regulation on light commercial vehicles, average CO2 emissions from vans should not exceed 175 grams CO2 per km by 2017 and should drop further to 147g/km by 2020. The 175 grams target will be phased in between 2014 and 2017. It represents a reduction of 14% compared with the 2007 level (203g CO2 per km). This approach is similar to the legislation on CO2 emissions from passenger cars adopted in 2009. Achieving these targets will help Member States reach the economy-wide reductions in greenhouse gases they have committed to deliver by 2020 under the climate and energy package.
Each manufacturer gets an individual target based on the average of mass of all its new vans registered in the EU in a given year. As of 2014, manufacturers must ensure that 70% of the new vans registered in the EU each year have average emissions that are below their respective targets. In 2015, the percentage rises to 75% and in 2016 to 80%, reaching 100% in 2017.
Indicative emissions are established for each van according to its mass on the basis of the emissions limit curve in Annex I in the Regulation. The limit value curve is set in such a way that a fleet average of 175 grams of CO2per kilometre is achieved for the EU as a whole. Only the fleet average is regulated, so manufacturers will still be able to make vehicles with emissions above the indicative targets if these are offset by other vehicles which are below their indicative targets. In order to comply with the regulation, a manufacturer will have to ensure that the overall sales-weighted average of all its new vans does not exceed the limit value curve.
The precise formula for the limit value curve is:
If a manufacturer's average emission levels are above the target set by the limit value curve it will have to pay an excess emissions premium. The more a manufacturer goes above the target, the higher the premium. It will be calculated on the basis of the number of grams per kilometre (g/km) that an average vehicle registered by the manufacturer is above the target, multiplied by the number of vans registered by the manufacturer. A premium of €5 per van registered will apply to the first g/km above the target, €15 for the second g/km, €25 for the third g/km, and €95 for each further g/km. From 2019 every g/km of exceedence will cost €95.
The vans legislation is closely modelled on the legislation for cars. However, as the van market differs from the car market, there are some differences between the two regulations. The limit value curve is different in its value and its slope because vans are heavier and emit more CO2 than cars. The curve is flatter for cars, meaning that more reductions are required from larger cars. This is not the case for vans, because there is little risk of an uncontrolled increase in the size of vans: commercial buyers of vans mostly buy vehicles that reflect their needs. The phase-in period for vans also starts later than for cars because the light commercial vehicles regulation was adopted later.
The rules on derogations for small-volume manufacturers are also different. Manufacturers which register fewer than 22,000 new vans in the EU per year can apply for an individual target that takes into account their reduction potential and the characteristics of their market.
The chart below shows the position of the various manufacturers in terms of the average CO2 emissions of their new vans sold in the EU in 2007 (sales-weighted fit line) and the limit value curve (in red) as set by the Regulation.
The data for this graph is summarised in the following table.
|Manufacturer||CO2 [g/km]||mass [kg]||sales|
|avg.||avg.||Petrol, class I||Petrol, class II||Petrol, class III||Diesel, class I||Diesel, class II||Diesel, class III||total|
Starting in 2012, the relevant national authorities in each Member State will report annual registration figures for new vans to the European Commission, which will collate the data. Manufacturers will be invited to check that the data is correct. On that basis the Commission will publish, by 31 October each year, a list showing the performance of each manufacturer in terms of its average emissions and compliance with the annual emissions target. This will allow manufacturers' progress to be tracked. The data will be publicly available.
Manufacturers which produce vans with extremely low emissions (below 50g/km) will be given extra credits. When calculating the average emissions of each manufacturer's fleet, each low-emitting van will be counted as 3.5 vehicles in 2014 and 2015, reducing to 2.5 in 2016, 1.5 vehicles in 2017 and one vehicle from 2018. This will lower the manufacturer's average emissions as calculated by the Commission, making it easier to meet the target. To prevent these 'super-credits' from undermining the environmental integrity of the legislation, the number of vehicles for which the manufacturer can claim the credits will be limited to 25,000 over the whole 2014-2017 period.
Because the test procedure used for vehicle type approval is outdated, certain innovative technologies cannot demonstrate their CO2-reducing effects under the type approval test. As an interim procedure until the test procedure is revised, manufacturers which fit new vans with approved "eco-innovations" that reduce emissions will be able to count up to 7 g/km worth of emission savings towards their target. The savings must be independently verified.
Vehicles capable of running on E85 fuel (a mixture of petrol with 85% ethanol) will be considered, until the end of 2015, as having CO2 emissions 5% lower than the level reported by the Member States provided that 30% of the filling stations in the Member State where the vehicle is registered offer this type of fuel. The fuel must comply with the sustainability criteria set by other legislation.
Manufacturers may form a pool to meet the specific emissions targets jointly. When forming a pool, manufacturers must respect the rules of competition law: the information they exchange should be limited to average specific emissions of CO2, their specific emissions targets, and their total number of vehicles registered.
In addition, manufacturers which sell fewer than 22,000 vans per year and which cannot or do not wish to join a pool can instead apply to the Commission for an individual target.
Vans are expected to become more fuel-efficient as a result of new investments and technologies. This will lead to fuel cost savings for users, many of which are small and medium-sized enterprises.
It is not certain that the cost of meeting the new targets for vans will be passed on by manufacturers to buyers. However, even if the purchase price of vehicles rises slightly, this will be more than compensated for by fuel savings over the vehicle's lifetime.
No, the emissions targets apply only to new vans. Vans sold before 2012 will not be affected and will not have to be taken off the road. But the lower fuel costs of the new vans will provide a powerful incentive for replacing older vans by newer ones.
Yes. The Commission has a comprehensive strategy, adopted in 2007, to reduce carbon dioxide emissions from new cars and vans sold in the European Union. This sets an objective of limiting average CO2 emissions from new vehicles to 120 g/km. This is to be achieved through setting emissions performance standards for cars and vans and through additional measures that can bring a further reduction of 10 grams CO2 per km.
Furthermore, to promote the purchase of fuel-efficient cars, an EU-wide system of consumer information on the CO2 emissions of all new cars is in operation. Member States are also encouraged to promote fuel-efficient cars through their vehicle taxation policies.
Besides the vans regulation, which was adopted in May 2011, the measures being taken to implement the strategy are:
For more details on the implementation of the Strategy see a progress report adopted in November 2010.
The Regulation on vans is directly applicable in the Member States and does not need to be transposed into national law through national legal instruments.
The Regulation is currently being reviewed with a view to implementing the 2020 target of 147 g/km.
For vans, the 2020 target leads to savings in annual fuel consumption of 16% compared with the 2017 target of 175 g CO2/km. For an average van, this means estimated fuel cost savings of around €403 in the first year or €3363-4564 (depending on the price of fuel) over a van's lifetime (also 13 years) as compared to retaining the 2017 target. The higher the oil price, the greater the overall savings will be.
For both cars and vans, the 'payback period' – the time it takes for cumulative fuel cost savings to outweigh the additional cost of buying a more fuel-efficient vehicle - is below five years. Net cost savings over a vehicle's lifetime are estimated at around €2000 for cars and €2500 for vans.
It may do, but this depends on how far producers pass on additional manufacturing costs through higher vehicle prices. The average additional manufacturing cost is estimated at around €450 per van in 2020. Even if the full additional cost is passed on through higher prices, the Commission's impact assessment shows that this extra cost to purchasers will be outweighed several times over by fuel cost savings over the lifetime of the vehicle.
Over the past decade new car prices have decreased on average by about 1% annually while fuel consumption and CO2 emissions have also fallen every year. The European Automobile Manufacturers' Association (ACEA) has stated this trend is not likely to change.
No, on the contrary. The proposals are expected to stimulate research and innovation in the automotive sector, promoting green growth and jobs and improving the international competitiveness of the EU industry. The impact assessment shows that the regulations would shift spending from fuel, which has a low impact on employment, to vehicle technology and other goods.
Compared with the 2015/2017 targets, it is estimated that consumers will save €27bn per year in fuel costs in 2025, rising to €36bn in 2030. The 2020 targets could increase EU GDP by €12bn annually and spending on employment by some €9bn a year.
The proposals would in total save almost 160 million tonnes of oil, worth about €70bn at today's prices, in the period to 2030. They would also prevent the emission of around 420 million tonnes of CO2, over the same period, resulting in net cost savings to society of €100-200 for every tonne of CO2 avoided.
No, the emission limits will apply only to new vehicles. Those sold before 2020 will not be affected and will not have to be taken off the road. But the lower fuel costs of the new vehicles will provide a powerful incentive for replacing old cars and vans.
The 2020 mandatory target for vans of 147g CO2/km is 16% lower than the 2017 target of 175 g/km and 19% below the 2010 average of 181.4 g/km.
The 2020 targets were established during the political process involving the European Parliament and Council that led to the adoption of the existing Regulations. The Commission has verified that the 2020 targets are achievable at reasonable cost by carrying out a thorough analysis of the available technologies and of their costs and benefits.
Yes, the Commission's assessment of the technologies currently available shows that these are available to allow manufacturers to reach the targets at reasonable cost. The technological potential remains for further reductions beyond 2020, particularly in the case of vans.
Yes, an on-line public consultation on policies to reduce greenhouse gas emissions from road vehicles was held from September to December 2011. The results are available here.
In addition, a stakeholder meeting was held in December 2011 where the results of the car and van analysis were presented (see here for summary of the meeting), and the CARS21 High Level Group also discussed the targets.
Yes, the key recommendations of the CARS21 High Level Group regarding the 2020 CO2 targets were that they should be implemented without change. The Commission's proposals do that.
Yes. The Commission has a comprehensive strategy, adopted in 2007, to reduce CO2 emissions from new cars and vans. A wide range of measures has been implemented. For details see the Commission's progress report. Following adoption of the latest Transport White Paper , the Commission is now pursuing a comprehensive strategy to reduce GHG emissions from transport by 60% compared to 1990 levels by 2050. CO2 standards for vehicles form a key part of this overall strategy.
Yes, the underlying assessment is identical. It looks at the technologies available and their costs. The most appropriate way of distributing the effort is then assessed. While the assessment methodology is the same, the results are slightly different because of the different characteristics of the markets for cars and vans.
As in the existing regulations, manufacturers may form a pool to meet the mandatory emission targets jointly. When forming a pool, manufacturers must respect the rules of competition law; the information they exchange should be limited to average specific emissions of CO2, their specific emissions targets, and their total number of vehicles registered.
In addition, smaller manufacturers benefit from provisions enabling them to have less demanding targets. The very smallest manufacturers registering less than 500 vehicles per year would be exempt from meeting the targets.
The existing regulations state that the Commission should bring forward proposals for implementing the 2020 targets by the end of this year. The Commission is doing so several months before the deadline so that the modalities can be agreed as early as possible in order to increase certainty for manufacturers.
There are two existing regulations with slightly different requirements so it makes sense to have a separate amending measure for each one. The option of merging the regulations was assessed in the impact assessment, but because of the differences between the characteristics of the car and van markets and van testing procedures it was not possible to merge the requirements into one structure.
Yes, the proposed Regulations not only create an incentive to improve internal combustion engines using petrol and diesel but will also spur electric, plug-in hybrid, fuel cell, natural gas, and LPG (liquefied petroleum gas)-fuelled vehicles. Manufacturers will be free to reduce emissions in the most cost-effective manner. This is in line with the Commission's standard approach of being technology-neutral.
Other pollutants in vehicle emissions are regulated through EU legislation governing air quality and these are also being progressively reduced. The latest emission standards for these pollutants, known as Euro 6, come into force from 2014. Many technologies can reduce emissions of both CO2 and the traditional pollutants which affect air quality.
The Commission has said it intends to issue a communication around the end of 2012 in order to carry out a consultation on the form and stringency of post-2020 CO2 targets for light duty vehicles. It would be premature to propose the targets before that consultation has taken place.
While it is clear that the emissions test cycle gives very different results from real world driving, there is no evidence that test cycle results do not correlate to real world emissions. A vehicle with lower emissions in the test cycle will also have lower emissions under real conditions.
The Commission is nevertheless taking part in international efforts to develop a new global test procedure for light duty vehicles and it is hoped that this will result in CO2 values that are somewhat more realistic than the current test procedures.
Various possible bases for the Regulation were assessed. The area (referred to as its 'footprint') and the carrying capacity (referred to as its 'payload') were analysed in the impact assessment and both were ruled out. It was concluded that a van's area can be easily manipulated and this could raise the risk of strong perverse effects. Since carrying capacity is a value declared by manufacturers it is also potentially subject to manipulation and was ruled out.
The 2020 target for vans was agreed only last year. In view of the regulatory certainty manufacturers need in order to plan their future production, it is not appropriate to change the target now, particularly given the relatively short time gap between the 2017 and 2020 targets for vans.
The estimated average additional manufacturing cost of around €450 per van in 2020 is lower than estimated in the Commission's 2009 impact assessment. This is due to emission reductions that have been applied since 2007, a drop in the costs of CO2 -reducing technologies, and more accurate data on van emissions.