ACER provides guidance to energy regulators on reporting barriers to non-fossil flexibility in electricity markets

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Solar panels and wind turbines
Intro News
ACER publishes its Recommendation on how national regulatory authorities (NRAs) should report barriers to non-fossil flexibility in their flexibility needs assessments.

ACER provides guidance to energy regulators on reporting barriers to non-fossil flexibility in electricity markets

What is it about?

Today, ACER publishes its Recommendation on how national regulatory authorities (NRAs) should report barriers to non-fossil flexibility. The document provides clear guidance and indicators to ensure consistent reporting across Member States and help NRAs and relevant entities evaluate these barriers as part of their flexibility needs assessments.

What is non-fossil flexibility? 

Non-fossil flexibility is the energy system’s ability to quickly adapt to changes in electricity supply and demand, without relying on fossil fuels or costly grid expansions. It does so by shifting electricity consumption or generation to times or locations where the system is less constrained.

Unlocking flexibility helps foster a more efficient electricity system, supports the integration of renewables and contributes to lowering consumer bills. 

Why an ACER Recommendation?

The EU Electricity Regulation requires Member States to carry out flexibility needs assessments to determine how much clean flexibility their electricity systems require, including identifying existing barriers. These national assessments are harmonised across the EU through a common methodology approved by ACER in July 2025

This ACER Recommendation complements this process, by: 

  • Setting out clear guidance on which barriers, indicators and evaluation methods Member States may consider when preparing their assessments.
  • Streamlining the assessment process, consolidating ACER’s prior work on barriers (2023 and 2025) across all types of non-fossil flexibility and incorporating stakeholder input (winter 2023-2024).
  • Ensuring comparable reporting across countries, supporting ACER’s forthcoming EU-wide analysis of barriers to clean flexibility identified in national assessments.

What does ACER recommend? 

ACER recommends that NRAs, in coordination with relevant entities, consider the main barriers to non-fossil flexibility when drafting their national reports. These include:

  • Lack of proper legal framework for households, new entrants or aggregators to participate in electricity markets and system operation services.
  • Lack of enablers and incentives for flexibility, such as smart meters and flexible retail contracts that help consumers shift their consumption.
  • Restrictive rules to provide balancing and congestion management services.
  • Complex, lengthy and discriminatory administrative requirements, including inefficient grid connection processes.
  • Limited regulatory incentives for system operators to invest in non-wire, innovative grid technologies. 

What are the next steps? 

Member States are expected to complete their flexibility needs assessments by July 2026. ACER will then have a year to analyse the findings and publish an EU-wide analysis to:

  • estimate flexibility needs across the EU;
  • evaluate existing barriers to clean flexibility, including those identified in national assessments; and
  • provide recommendations on issues of cross-border relevance (including measures to remove barriers to non-fossil flexibility).

ACER's Latest News - 20 March 2026

ACER amends the European Resource Adequacy Assessment methodology to support streamlined capacity mechanisms approval

Today, ACER publishes its Decision amending the European Resource Adequacy Assessment methodology, following the

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ACER amends the European Resource Adequacy Assessment methodology to support streamlined capacity mechanisms approval

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Intro News
ACER publishes its Decision amending the European Resource Adequacy Assessment methodology, following the proposal submitted by the European Network of Transmission System Operators for Electricity (ENTSO-E) in November 2025.

ACER amends the European Resource Adequacy Assessment methodology to support streamlined capacity mechanisms approval

What is it about?

Today, ACER publishes its Decision amending the European Resource Adequacy Assessment methodology, following the proposal submitted by the European Network of Transmission System Operators for Electricity (ENTSO-E) in November 2025.

What is the methodology about?

The ERAA, mandated by the Clean Energy Package (2019), is ENTSO-E’s annual assessment of the EU’s electricity supply adequacy for the next decade. Its purpose is to evaluate whether the EU has sufficient electricity resources to meet future demand and to identify potential risks to security of supply. Each year, the assessment is subject to ACER approval.

At national level, Member States define their own reliability standards (based on ACER’s methodology) to set the level of security of electricity supply they require. The ERAA annual assessment provides a consistent, objective tool to evaluate adequacy risks against those standards and whether the introduction of national measures (such as capacity mechanisms) is needed.

Why amend the methodology?

In its streamlining report (March 2025), the European Commission requested ACER to amend the ERAA methodology to streamline the capacity mechanisms’ approval process. ACER subsequently required ENTSO-E to propose the necessary amendments.

In August 2025, the Commission also adopted the Clean Industrial State Aid Framework, which introduces a fast-track process for approving capacity mechanisms. To support this framework, the ERAA methodology needs to define the procedure for calculating, within the ERAA annual process, the parameters necessary for Member States to make use of the fast-track approval process.

What are the main amendments?

The updated ERAA methodology focuses on:

1. Supporting capacity mechanisms approval

  • Introducing capacity mechanism-related parameters derived from the ERAA model, which Member States may use to benefit from the fast-track process.

These parameters:

  • improve the clarity of ERAA results by quantifying the size of the adequacy concern (adequacy gap and total firm capacity needs) and how different technologies contribute to system adequacy (de-rating-factors);
  • can be used by Member States to size their capacity mechanisms (when applying for fast-track approval).

2.  Simplifying the methodology 

  • Focusing the model on key target years (instead of explicitly modelling every year of the next decade).
  • Introducing simplified approaches for key methodological components (e.g. estimating flexibility resource revenues and developing scenarios that reflect the impact of capacity mechanisms across Europe).
  • Streamlining how Member States’ efforts to avoid regulatory distortions or market failures are represented in the ERAA.

3.   Improving adequacy modelling 

  • Developing a new Trends and Projections scenario to better reflect the actual pace of the energy transition.
  • Improving the modelling of investors’ risk aversions and introducing a more realistic representation of flexible resources’ (e.g. batteries and demand response) business case.

What are the next steps?

ENTSO-E will progressively integrate the amended ERAA methodology into future ERAA reports (starting with the upcoming 2026 edition). As part of this implementation, capacity-mechanism-related parameters will be introduced in the ERAA framework. These parameters will help improve coordination of capacity mechanisms across Europe, increase their efficiency and help reduce costs for consumers.

Based on the ERAA results, Member States may also use these parameters when applying for the fast-track approval process for capacity mechanisms.

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The image shows how coordinating capacity mechanisms across EU borders reduces procurement needs and lowers costs for consumers. Source: ACER Monitoring Report on security of EU electricity supply (2025).

Expanding EU energy market integration is key for global competitiveness and decarbonisation

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Gas pipe wind turbines at sunset
Intro News
ACER kicks off its 2026 Monitoring Report series with key insights into the EU energy markets, highlighting major developments in 2025 and examining the interplay between gas and electricity markets in the energy transition.

Expanding EU energy market integration is key for global competitiveness and decarbonisation

What is it about?

ACER kicks off its 2026 Monitoring Report series with key insights into the EU energy markets, highlighting major developments in 2025 and examining the interplay between gas and electricity markets in the energy transition.

What are the key findings?

The report shows solid progress in Europe’s clean energy transition. It also underlines persistent structural challenges (such as price volatility, system flexibility and supply risks) and how to address them.

  • Wholesale energy prices continued to decline, but global competitiveness remains a challenge, with both gas and electricity prices structurally higher than in the US.
  • Household gas and electricity prices remain high despite falling wholesale prices.
  • Renewables lead the power mix, providing 50% of total EU electricity generation. Solar drives the energy transition, with investments in solar generation rising by 41 TWh compared to 2024. 
  • Electricity price volatility increased: Daily wholesale power price swings were around five times higher than in 2020, highlighting the growing need for flexibility. 
  • Gas provides evening flexibility: As solar generation drops in the evening, gas-fired power plants are increasingly used to meet demand, pushing wholesale prices upward.
  • Extreme weather drives price spikes: A heatwave on 1 July 2025 reduced cooling efficiency at thermal and nuclear plants, pushing power prices in Poland to around 470 EUR/MWh. 
  • Regional price differences highlight the value of interconnections: Different generation mixes and system flexibility across countries offer opportunities when systems are well interconnected. 
  • Gas markets remained stable, with hub spreads generally below 2 EUR/MWh.
  • EU slashed its reliance on Russian gas, replacing it with global LNG: Russian pipeline imports to the EU fell by about 162 TWh compared to 2024 and were fully offset by record-high LNG imports.
  • Low year-end gas storage: Heavy winter withdrawals left storage levels 10% below 2024.

What are ACER’s recommendations? 

To support global competitiveness and decarbonisation, Europe should step up efforts to expand energy market integration:

  • Make energy prices more efficient and transparent: Ensure efficiency across all price components (energy and supply, network charges and taxation) to improve household affordability and industrial competitiveness.
  • Harness flexibility: Expand demand response, electric vehicles (EVs) and battery use to balance supply and demand, reduce price swings and strengthen grid resilience.
  • Strengthen market integration: Expand interconnections to support cross-border use of renewables, reduce fossil fuel dependence and improve system flexibility and security.
  • Diversify gas supply: Higher LNG supplies replaced Russian pipeline gas but increased reliance on US LNG imports. Greater supply diversification, including domestic decarbonised gases, would reduce vulnerability and mitigate the impact of global price volatility.
  • Reduce reliance on conventional gas: With gas consumption still well above 2030 targets, further action is needed to cut demand and accelerate the uptake of renewable gases.

Key developments in European electricity and gas markets

  • Electricity
  • Gas
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Gas pipe wind turbines at sunset

2026 Monitoring Report

This ACER Monitoring Report outlines key developments in EU energy markets in 2025*, with a focus on the evolving interaction between gas and electricity. It covers both wholesale dynamics and their implications on retail markets. The report sets out ACER’s recommendations to step up energy market integration efforts to support EU decarbonisation, energy security and competitiveness goals.

*The analysis focuses on developments up until the end of 2025 and therefore does not reflect more recent geopolitical impacts.

What trends did ACER monitoring find?

The report highlights Europe’s progress in the clean energy transition, while underlining persistent challenges such as price volatility, supply risks and how wholesale market dynamics affect consumers. 

  • Wholesale energy prices continued to decline: Gas and electricity prices fell further, continuing the downward trend observed in 2024. However, global competitiveness of energy prices remains a challenge, with both gas and electricity prices structurally higher than in the US.
  • Household gas and electricity prices remain high despite falling wholesale prices.
  • Renewables lead the power mix, providing 50% of total EU electricity generation. Solar drives the energy transition, with investments in solar generation rising by 41 TWh compared to 2024. 
  • Electricity price volatility increased: Daily wholesale power price swings were around five times higher than in 2020, highlighting the growing need for flexibility. Rising solar generation lowers daytime prices but creates larger swings between peak and off-peak hours. 
  • Gas provides evening flexibility: As solar generation drops in the evening, gas-fired power plants are increasingly used to meet demand, which pushes wholesale power prices upward. Power systems with a higher reliance on fossil fuels have both higher average day-ahead prices and higher carbon intensity.
  • Extreme weather drives price spikes: A heatwave on 1 July 2025 reduced cooling efficiency at thermal and nuclear plants, while demand surged. In Poland, this led power prices to spike to around 470 EUR/MWh. 
  • Regional price differences highlight the value of interconnections: Different generation mixes and system flexibility across countries offer opportunities when systems are well interconnected. 
  • Gas markets remained stable, with hub spreads generally below 2 EUR/MWh.
  • EU slashed its reliance on Russian gas, replacing it with global LNG: Russian pipeline imports to the EU dropped by about 162 TWh compared to 2024. Record-high LNG supply, especially in the second half of the year, fully offset this shortfall, helping stabilise prices.
  • Low year-end gas storage: Heavy winter withdrawals were only partially compensated by increased summer injections, leaving storage levels 10% below 2024 at the end of winter 2025.

What are ACER’s recommendations?

To support global competitiveness and decarbonisation, Europe should step up efforts to expand energy market integration:

  • Make energy prices more efficient and transparent: Ensure efficiency across all price components (energy and supply, network charges and taxation) to improve household affordability and industrial competitiveness.
  • Harness flexibility: Expand demand response, electric vehicles (EVs) and battery use to balance supply and demand, reduce price swings and strengthen grid resilience, especially during peak hours.
  • Strengthen energy market integration: Expand interconnections to support cross-border renewable use, reducing fossil fuel dependence and improving flexibility and security.
  • Diversify gas supply: Higher LNG supplies replaced Russian pipeline gas but increased reliance on US LNG imports. Greater supply diversification, including domestic decarbonised gases, would reduce vulnerability and mitigate the impact of global price volatility.
  • Reduce reliance on conventional gas: With gas consumption still well above 2030 targets, further action is needed to cut demand and accelerate the uptake of renewable gases. This should be accompanied by careful infrastructure and tariff planning to limit network cost increases without compromising security of supply. 

Highlights

  • Renewables provide 50% of electricity generation, with solar driving the energy transition.

  • Daily price swings got larger (~5× vs 2020), highlighting higher need for flexibility.

  • EU reduces reliance on Russian gas (-162 TWh in 2025), met by LNG.

Report

ACER’s Monitoring Report on key developments in EU electricity and gas markets:

  • Highlights progress towards Europe’s transition to clean energy and persistent challenges.
  • Addresses how to unlock a secure, competitive and clean energy future.

  Access the report.

Dashboard

This dashboard provides an overview of renewable electricity generation trends across the EU, including:

  • day-ahead prices (number of negative and low-price hours);

  • electricity generation mix;

  • temperature and wind speed;

  • demand; and

  • renewable capacity factors.

  Access the dashboard.

Additional information

No

ACER assessed the EU DSO entity’s draft statutory documents updated to include gas and hydrogen

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Intro News
ACER issues its Opinion on the EU DSO entity’s draft statutory documents updated to include gas and hydrogen.

ACER assessed the EU DSO entity’s draft statutory documents updated to include gas and hydrogen

What is it about?

Today, ACER issues its Opinion on the EU DSO entity’s draft statutory documents updated to include gas and hydrogen. 

Why update these documents?

The EU DSO entity was created in 2019 by the Clean Energy Package to facilitate cooperation among European electricity distribution system operators (DSOs). The Hydrogen and Decarbonised Gas Market Package (2024) expanded the entity’s scope to include natural gas and hydrogen DSOs, requiring an update and resubmission of its statutes and rules to ensure fair and balanced representation of all operators. The updated documents were submitted to ACER and the European Commission in November 2025.

What’s the role of ACER?

ACER is mandated to provide an Opinion on the EU DSO entity’s updated draft statutory documents.

To inform its assessment, ACER conducted a consultation from 21 November to 19 December 2025, seeking input from organisations representing all stakeholders, in particular distribution system users (including customers).

What’s ACER assessment?

ACER considers the proposed governance amendments a reasonable adaptation to reflect a broader, more diverse membership and expanded tasks.

ACER welcomes steps to broaden DSOs’ participation in the EU DSO entity’s sector-specific activities through the creation of electricity and gas/hydrogen Councils and revised decision-making processes to reduce majority dominance.

However, ACER notes that the new decision-making arrangements may increase the risk of deadlocks and that certain provisions of the updated draft documents do not consistently reflect the rules set out in the Electricity Regulation.

What are the next steps?

This ACER Opinion is addressed to the European Commission, which has three months to provide its final assessment. If favourable, the EU DSO entity then has three months to adopt and publish the updated statutory documents.

ACER's Latest News - 19 March 2026

ACER will consult on developments & initiatives in the EU Power Purchase Agreements market

On 31 March 2026, ACER will open a public consultation on developments in the EU Power Purchase Agreements (PPAs) market. The aim is to identify existing initiatives and challenges faced by market participants across Member States.

What's next at ACER? Have a look at our upcoming events and public consultations.

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Interested to work at ACER? Check out our vacancies.

Any questions? Reach out to us at info@acer.europa.eu.

ACER will consult on developments & initiatives in the EU Power Purchase Agreements market

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Intro News
On 31 March 2026, ACER will open a public consultation on developments in the EU Power Purchase Agreements (PPAs) market. The aim is to identify existing initiatives and challenges faced by market participants across Member States.

ACER will consult on developments & initiatives in the EU Power Purchase Agreements market

What is it about?

On 31 March 2026, ACER will open a public consultation on developments in the EU Power Purchase Agreements (PPAs) market. The aim is to identify existing initiatives and challenges faced by market participants across Member States.

What are Power Purchase Agreements (PPAs)?

PPAs are long-term contracts between electricity producers (often renewable energy generators) and buyers. By providing renewable electricity at mutually agreed rates, these contracts foster long-term price stability and investment predictability for both parties. This helps reduce exposure to market volatility and encourages investments in renewable energy, limiting reliance on subsidy schemes. 

Under the revised Renewable Energy Directive, Member States are required to facilitate the uptake of renewable PPAs by removing unjustified barriers and disproportionate or discriminatory practices. However, the availability and functioning of these contracts vary significantly across the EU due to different national regulatory frameworks and financing mechanisms.

Why consult?

ACER is responsible for monitoring the PPAs market and publishing an annual assessment of its development at both EU and Member State level. 

To this end, ACER is launching a consultation to identify key regulatory, market and financial factors affecting the development and functioning of PPAs across Member States.

Get involved!

The public consultation will run from 31 March to 8 May 2026.

Feedback received will inform ACER’s 2026 annual assessment of the EU PPAs market.  

How ACER will conduct cross-border investigations features in the latest REMIT Quarterly

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Data analysis
Intro News
The 43rd edition features ACER’s new Rules of Procedure for cross-border investigations.

How ACER will conduct cross-border investigations features in the latest REMIT Quarterly

What is it about?

Europe has an EU-wide framework (called “REMIT”) to detect and deter market manipulation and abuse in wholesale energy markets. It enhances transparency and trust in the integrity of Europe’s energy markets. In 2024, EU legislators updated the REMIT framework giving ACER additional tasks, including the power to investigate cross-border cases.

ACER’s REMIT Quarterlies provide updates on REMIT-related activities, helping stakeholders stay informed. 

What’s new?

The latest REMIT Quarterly (43rd edition) features ACER’s new Rules of Procedure for cross-border investigations. These rules set out the procedural framework within which ACER carries out its cross-border investigatory mandate under REMIT. 

Find out more in this Quarterly about:

  • ACER’s stakeholder engagement plan for 2026.
  • ACER’s ongoing preparatory work on data reporting under the revised REMIT, pending finalisation of the revised REMIT Implementing Regulation.
  • Updates on market surveillance and statistics on the 456 REMIT breach cases under review at the end of Q4 2025.
  • A case report on an attempt to manipulate the Spanish gas market, investigated and sanctioned by Spain’s energy regulator (CNMC).
  • A summary of market activity, showing a year-on-year increase in trading on Organised Market Places, driven by growth in natural gas forward markets.
  • Takeaways from November 2025 events, including Expert Groups’ meetings on Wholesale Energy Market Data Reporting and the ACER-European Commission REMIT workshop.

Coming soon

ACER will soon launch a public consultation on a new guideline on REMIT transaction reporting to reflect evolving obligations under the revised REMIT framework. Details on the scope and timeline will follow shortly.

ACER calls for greater transparency on upstream pipeline costs in Danish gas tariffs

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Intro News
ACER releases its report on the Danish gas transmission tariffs directed at Energinet, Denmark’s transmission system operator (TSO).

ACER calls for greater transparency on upstream pipeline costs in Danish gas tariffs

What is it about?

Today, ACER releases its report on the Danish gas transmission tariffs directed at Energinet, Denmark’s transmission system operator (TSO).

The report assesses the compliance of the proposed reference price methodology (RPM) with the requirements of the EU Network Code on Harmonised Transmission Tariff Structures (NC TAR).

What is the proposed tariff methodology?

The Danish TSO proposes to:

  • Apply a uniform postage stamp reference price methodology with an ex-post entry-exit split, combined with discounts for gas storage facilities.
  • Continue recovering transmission revenues through capacity-based tariffs only, meaning users pay based on the network capacity they book, not the volume of gas they transport.
  • Maintain the existing joint market zone, which integrates the upstream section of the Baltic Pipe (the pipeline connecting Norwegian gas to Poland via Denmark) into the Danish entry-exit zone. Costs of this infrastructure continue to be covered by network users through a separate non-transmission tariff.
  • Keep two non-transmission services in place: upstream Baltic Pipe infrastructure and emergency gas supply.
  • Continue offering ex-ante discounts for interruptible capacity in steps (5% intervals). This allows users to book extra capacity at reduced prices that can be used when the network is not fully utilised, though it may be interrupted if users with guaranteed capacity rights need network access. 

What are the key findings? 

After analysing the consultation document, ACER concludes that: 

  • The proposed methodology meets EU rules on transparency, non-discrimination and volume risk.
  • Compliance with the requirements on cost-reflectivity, avoidance of cross-subsidisation and the prevention of cross-border trade distortions cannot be fully assessed due to lack of detail on the upstream infrastructure.
  • There is insufficient information to assess whether the proposed pricing for the upstream non-transmission services complies with network code principles. 
  • The proposed emergency supply tariff falls outside the scope of the network code framework (which covers transmission and non-transmission services provided to network users), as it pays for a security-of-supply service provided directly to end users.

What does ACER recommend? 

ACER recommends that the Danish national regulator (DUR), when adopting its final decision on the proposed methodology:

  • Ensure the upstream Baltic Pipe is overseen with similar transparency and scrutiny to the main transmission network, as its costs are also covered by transmission network users. 
  • Handle emergency supply tariffs separately from standard network fees, as they serve end users (not network users) and thus fall outside NC TAR rules.
  • Adjust discounts for interruptible capacity using the network code formula to better reflect the actual risk of interruption.

See all ACER reports on national tariff consultation documents.