The EU ETS is limited by a 'cap' on the number of emission allowances. Within the cap, companies receive or buy emission allowances, which they can trade as needed. The cap decreases every year, ensuring that total emissions fall.
Each allowance gives the holder the right to emit:
There are a number of great resources on the regulatory and practical aspects of the system – none better than the EU’s own:
https://eur-lex.europa.eu/legal-content/EN/TXT/?uri=CELEX%3A02003L0087-20230605
https://climate.ec.europa.eu/eu-action/transport/reducing-emissions-shipping-sector_en
https://climate.ec.europa.eu/eu-action/eu-emissions-trading-system-eu-ets/what-eu-ets_en
Dear Sirs,
The American Club, an International Group Club, issued the following circular in respect of extended US sanctions against Russia to include Nord Stream 2 (Russia to Germany) and Turkstream (Russia to Turkey/Bulgaria) natural gas pipe lines. It draws attention to the fact that vessels, sea vehicles providing pipe laying and pipe laying related activities would be subject to US sanctions and this would prejudice the Club covers. Policy holders in whose policies Sanction Clause is included should consider these implications seriously.
Services subject to sanctions have been summarised as follows.
“In addition to the targeting of pipe-laying vessels, both bills expand PEESA to include vessels engaged in "pipe-laying activities." Such activities are defined as those which facilitate pipe-laying such as "site preparation, trenching, surveying, placing rocks, stringing, bending, welding, coating, lowering of pipe, and backfilling." Both bills also target those who sell, lease or provide such vessels or facilitate the sale, lease or provision of same, albeit the language in the two bills is slightly different on this aspect.”
All International Clubs issued or will issue similar circulars.