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
Esteemed Business Partner,
Attached you will find a circular received from the Gard P&I Club, in respect of the European Union’s sixth sanctions package. International Group and all Clubs have issued similar circulars. The circular is not intended to be a comprehensive summary of the EU sanctions against Russia. It focusses on the impact of the sixth package on transport and insurance of oil and petroleum products and the prohibitions on transacting with Russian state-owned enterprises subject.
We would like to draw your attention that from an insurance perspective, it is prohibited for EU insurers to insure the transport of Russian oil and petroleum products being carried to third countries. However, it is permitted to execute contracts concluded before 4 June 2022 until 5 December 2022. It is thought that it is the insurance contract which needs to have been concluded by 4 June for the exemption until 5 December 2022 to apply.
If you have any questions we recommend you to contact your insurers/insurance brokers.