Showing all results

Letters
1 Dec 2021

Open letter to the European Commission on sustainable carbon cycles

The anticipated Sustainable Carbon Cycles Communication has significant merits but risks seriously undermining its own declared purpose of climate ambition.

Policy Submissions
17 Nov 2021

Principles for market-based measures to decarbonise international shipping

Submitted by the Clean Shipping Coalition (of which Carbon Market Watch is a member), this document summarises the key principles that any market-based measure (MBM) agreed at the International Maritime Organisation (IMO) level needs to follow in order for it to be a fair and effective tool for contributing to the decarbonisation of international shipping.

Letters
21 Mar 2021

Letter to not offset climate inaction with forests

This letter was sent to President of the European Commission von der Leyen, Executive Vice-President Timmermans, Commissioner Simson, Commissioner Sinkevičus , Minister Matos Fernandes, MEP Guteland and other Members of the European Parliament, and Members of Coreper II. Forest restoration must not offset climate inaction in the agriculture, energy, housing, industrial and transport sectors. Yesterday…

Policy Submissions
3 Dec 2020

Carbon Market Watch response to Inception Impact Assessment on LULUCF Regulation

Carbon Market Watch (CMW) supports increasing the climate ambition of the LULUCF Regulation so it can promote climate action while providing much-needed co-benefits in other environmental fields (especially biodiversity and restoration of ecosystems). CMW also supports the feedback from Climate Action Network Europe and Fern. Read full response

Letters
15 Oct 2020

Open letter to EU governments on the EU 2030 target

To: Heads of governments Council President Commission President Ministers of Environment Ambassadors from Member States to the EU We write to you on behalf of Bellona Europa, Carbon Market Watch and Fern – organisations specialising in negative emissions. We would like to urge you to uphold the integrity of the EU’s 2030 climate target, in…

Policy Submissions
25 Jun 2020

Carbon Market Watch response to public consultation for the EU climate ambition for 2030

EU climate policymaking should be informed and aligned with the latest available science and the EU’s commitment under the Paris Agreement, in particular the objective of limiting global temperature rise to 1.5°C. In light of the EU’s capacity to act and principles of global equity, the Union should achieve at least 65% emission reductions by…

Letters
21 Mar 2018

Letter on DR Congo’s proposed lifting of the moratorium on new industrial logging concessions

To the representatives of the governments of: Belgium, France, Germany, Norway, the United Kingdom, the United States To members of the Central Africa Forest Initiative (CAFI) To the CBFP, EU, FAO, UNDP, World Bank Dear colleagues, It is with great alarm that we alert you to plans to imminently lift the moratorium on new logging…

Policy Submissions
19 Jun 2017

Submission to European Commission on modernising and simplifying the Common Agricultural Policy (CAP)

The current governance and decision-making process of the CAP is a main barrier preventing the current policy from delivering on its objectives.  Representing almost 40% of the EU budget, the CAP has to be aligned with the EU’s environmental, climate and development objectives.

Letters
18 May 2017

Open Letter: EU LULUCF rules will set an international precedent

Open letter sent to EU Commissioner for climate & energy Cañete, MEP Norbert Lins (LULUCF rapporteur in parliament) and Dr Herrera (Malta Presidency)  The EU is in the process of deciding the accounting rules for land use, land use change and forestry (LULUCF) for the post-2020 period. The EU’s decision will have international significance. To…

Policy Submissions
4 Nov 2016

Recommendations for SBSTA Item 11(a) on Land use, land-use change and forestry under Article 3, paragraphs 3 and 4, of the Kyoto Protocol and under the clean development mechanism

Carbon Market Watch welcomes the opportunity to provide input to the SBSTA discussions[1] on land use, land-use change and forestry under Article 3, paragraphs 3 and 4, of the Kyoto Protocol and under the Clean Development Mechanism.