Ein Arbeiter steht mit einer Checkliste vor einem Windkraftrad

The climate strategy for the 
Federal Export Credit Guarantees

Promotion of climate-friendly exports

Icon Globus mit Blatt und Biene

Improved cover conditions for 
climate-friendly technologies

Preferential cover conditions are introduced that will make financing 
of Export Credit Agency (ECA) covered "green" exports even more attractive. 
With this, German exporters are strengthened to assert themselves in the 
highly competitive global market for climate-friendly technologies:
Facilitates financing

The cover ratio for financial credit cover for economic and political risks increases from 95 to 98 percent - making financing and presumably the German product more attractive. The calculation of the fee with an increased coverage ratio can be carried out using the updated fee calculation tool (DE) and the ‘Fees and premium rates’.

More flexible sourcing

The generally permissible foreign content increases to 70 percent. This will give exporters greater flexibility in sourcing and allows for more competitive pricing. The prerequisite is that core competencies or key technologies remain in Germany. This will also benefit the renewable energy export sector/market.

Reducing costs

The down payment requirement for local costs is waived. Through this the share of the Export Credit Guarantee (ECG) backed part of the funding can increase and, vice versa, will reduce the cost of credit.

Savings on local currencies

The surcharge for local currencies (which are often so-called "soft currencies") is waived. The surcharge had hindered "green" projects in particular, as their revenues are often generated in local currencies.

With the Climate Strategy for Export Credit Guarantees, the Federal Government introduces preferential cover conditions for climate-friendly projects. At the same time, coverage for projects that are not in line with the 1.5-degree pathway is restricted.

 

With the optimal alignment of the instrument and its improved cover conditions, the Federal Government makes an important contribution to:
 

  • the export industry, allowing a greater scope for financing through more favourable conditions and higher cover ratios for export credit guarantees,
     
  • an international level playing field, securing and creating jobs for export-oriented companies,
     
  • ease the export of existing climate-friendly technologies (e.g. wind power, photovoltaics, bioenergy),
     
  • insuring German exporters in up-scaling innovative climate solutions (e.g., green hydrogen, synthetic fuels, energy storage, green steel),
     
  • mobilizing private capital for the export of technologies for climate-friendly projects, and
     
  • supporting developing and emerging economies in their transition to a climate-neutral economy.
Bild: Mann auf Windkraftrad blickt in Landschaft

Climate categories determine cover conditions

The Climate Strategy for Export Credit Guarantees is based on two pillars: climate-friendly projects benefit immediately from improved cover conditions, while projects that are not aligned with the 1.5-degree pathway are gradually excluded from coverage; supporting the decarbonization of the German export industry, as well as the green transition in destination countries.  

 

Whether an export transaction qualifies for preferential cover conditions, unchanged cover conditions or is excluded from coverage will be determined on the basis of the technical climate assessment from November 1, 2023. Each export transaction will be classified into one of three climate categories:
 

  • Projects in the "green" category make a significant contribution to the 1.5-degree pathway and therefore qualify for improved cover conditions.
     
  • The "white" category includes projects that do not conflict with a 1.5-degree pathway and remain eligible for cover at unchanged conditions.
     
  • The "red" category includes projects that are not consistent with a 1.5-degree pathway and are therefore excluded from coverage.

The climate strategy for the Federal Export Credit Guarantees in an international context

The preferential cover conditions of the national climate strategy are embedded in the framework conditions granted to the member states of the OECD Arrangement on officially supported export credits (”OECD Consensus”). On 15 July 2023, the OECD Consensus was modernised and further climate-friendly activities were included in the Climate Change Sector Understanding (CCSU). These activities can therefore also benefit from improved financing conditions.

The national climate strategy and the CCSU are two different sets of rules. Projects have the opportunity to benefit simultaneously from the preferential cover conditions of the climate strategy and from the improved financing conditions under the OECD Consensus, if the technical requirements for both sets of rules are met.

Since the introduction of the climate strategy, all transactions have been assessed in terms of its climate impact and categorised into climate categories; the CCSU, however, as an integral part of the OECD Consensus, is only used for particularly climate-friendly activities with a repayment period of two years or more.

Following the launch of the climate strategy in November 2023, transactions can benefit from preferential cover conditions, such as an increase in the cover ratio for buyer credit cover for economic and political risks from 95 to 98 per cent. Projects that fall under the CCSU can benefit from improved financing conditions, such as an extended repayment period of up to 22 years and more flexibility in the structuring of the repayment profile.

There are both similarities and differences with regard to the technical requirements. These are summarised for key economic activities in the following overview:

Identical / similar requirements
  • Renewable energy (wind energy, solar photovoltaic power, solar thermal energy, wave power, tidal power, ocean thermal energy, osmotic energy)
  • Production, transport or storage of low-emission hydrogen
  • Storage of electricity
  • Production of batteries and ammonia
  • Rail transport
  • Enabling infrastructure for zero-emission transport
Different requirements
  • Renewable energy (geothermal energy, bioenergy, hydropower)
  • District heating
  • Power grid infrastructure
  • Production of aluminium or steel
  • Production of chemicals
  • Road transport
Activities that are only covered in the CCSU
  • Adaptation to climate change
  • Production of pulp and paper
Activities that are only covered by the national climate strategy
  • Production of technologies for renewable energy
  • Production of biogas or biofuels
  • Production of methanol

 

First indication of climate requirements with the interactive climate check tool  

The interactive climate check tool reduces the workload for applicants by providing a first indication on case-specific climate requirements. It enables applicants from November 1, 2023 onwards, to call up the applicable climate requirements for a transaction on the basis of just a few information (German version only at the moment).

Reliability through sector guidelines 

Classification into the three climate categories is based on sector guidelines developed for key sectors. Key sectors are sectors that are associated with particularly high greenhouse gas emissions and are significant for the German export economy. Key sectors include: energy, shipping, aviation, chemicals and metals.

 

The development of the Sector Guidelines was science-based, i.e. based on widely accepted climate scenarios such as the Net Zero Emissions by 2050 Scenario of the International Energy Agency (IEA). The export industry and civil society were involved in the development of the Sector Guidelines as part of a consultation process.

Climate Policy Sector Guidelines for ECG and DIA - FAQ

In the comprehensive catalog of questions and answers (FAQs), we would like to clarify ambiguities, terms and definitions and answer important questions about the scope of application. This FAQ will be frequently updated.
Icon FAQs

I – General issues

1. When do the Climate Strategy and its Sector Guidelines enter into force? 

The Climate Strategies of Export Credit Guarantees (ECG) and the Investment Guarantees (DIA), including their sector guidelines entered into force on November 1st 2023. The new requirements will apply to all transactions and investments that are not committed in principle as of 1st November 2023 (for ECG) or on which the Interministerial Committee has not yet decided (for DIA). This also includes applications that were submitted before the deadline but have not received an offer of cover by the Interministerial Committee by the deadline.

For export credit guarantees, a climate assessment is generally not required for transactions that received an offer of cover before November 1st, 2023. The following rules apply to extensions of these offers of cover and other case constellations:
 

  1. All transactions that received an offer of cover before November 1st, 2023 must undergo a climate assessment upon commitment extension.

    1. For transactions classified into the white or green climate category based on the information available to the mandataries and where the red climate category can be excluded, this climate assessment is conducted without involving the guarantee holder and the foreign customer.
       
    2. For transactions where the red climate category cannot be excluded based on the information available to the mandataries, the guarantee holder and, if necessary, the foreign customer will be involved in the climate assessment. In individual cases, a hardship assessment may be conducted involving the Interministerial Committee. A case of hardship could arise if the subsequent climate assessment – including the provision of further information – would acutely endanger the transaction or if the guarantee holder can demonstrably fear contractual or other hardship.
       
  2. For supplier credit cover that received an offer of cover before November 1st, 2023 and for which the buyer credit cover under the same conditions (order value, repayment terms) is applied for after November 1st, 2023, no climate assessment is required. The received offer of cover of such buyer credit coverage ends with the term of the supplier credit cover for which an offer of cover was received before November 1st, 2023.
     
  3. For transactions that received an offer of cover or were officially supported before November 1st, 2023, for which an inflation-related increase in the order value is requested, no subsequent climate assessment is required.
     
  4. For a transaction with an offer of cover or an officially supported transaction for which an increase in the order value is requested due to the expansion of the scope of delivery (e.g. spare parts), a climate assessment is required.
     
  5. For a new, additional offer of cover (e.g. in case of a counter-guarantee) for a transaction decided or covered earlier, a climate assessment is required.
2. How were the Sector Guidelines developed; when and how will they be reviewed? 
  1. On what basis were the Sector Guidelines developed?
    The development of the Sector Guidelines is largely based on scientific findings. The "Net Zero by 2050" scenario (NZE) of the International Energy Agency (IEA) serves as the basis for the schedule and content of the Sector Guidelines. Furthermore, other recognised technical reference standards (e.g. EU Taxonomy) were used to substantiate the Sector Guidelines.
     
  2. What are the arguments for using the IEA NZE scenario as basis for the Sector Guidelines?
    The IEA NZE scenario possesses several decisive factors that were necessary for the development of the Sector Guidelines, as they require a strong regional and sectoral level of detail, necessary resilience and realism as well as a high level of ambition.

    The NZE scenario models the achievement of climate neutrality by 2050 and is designed in such a way that global warming is limited to 1.5 degrees (50% probability), excluding an "overshoot" (i.e. temporary temperature increase of more than 1.5 degrees in the meantime) and without relying on the extensive use of artificial carbon sinks (e.g. direct air capture). In addition, the scenario relies on a bottom-up approach to develop sectoral decarbonisation pathways, building on sector-specific studies on economically technically feasible mitigation options. The NZE scenario was also subject to a peer review (i.e. by representatives of the scientific and business community as well as non-governmental organisations).

    In contrast to the Integrated Assessment Models (IAM) of the Intergovernmental Panel on Climate Change (IPCC), the IEA scenario implies a higher level of detail regarding the decarbonisation pathways of individual sectors and regions. For this reason, the IEA scenario is commonly used by actors of the real and financial economy for the development of their climate strategies. The NZE scenario has also been recommended by Greenpeace UK as a basis for developing climate strategies for financial institutions and is in line with ambitious climate initiatives such as the Glasgow Financial Alliance for Net Zero and the Net Zero Standard of the Science Based Targets initiative.
     
  3. How were the sectors selected?
    The Sector Guidelines were developed for all key sectors of Export Credit Guarantees (ECG) and Investment Guarantees (DIA). Key sectors were assessed as those sectors that are associated with particularly high green house gas emissions and which, measured by the respective cover volume, are of particular importance within the respective guarantee instrument. In addition, the IEA NZE scenario and other studies provide sufficient basis for the definition of science-based criteria for these sectors.
     
  4. When and how will the Sector Guidelines be reviewed?
    In order to consider updates to the underlying standards and scientific scenarios and at the same time ensure planning security for the export industry, the Sector Guidelines will be reviewed for the first time in 2025 and thereafter every three years. Stakeholders will be informed about changes in due course. 
3. What is the scope of the Sector Guidelines and how are they categorised? 
  1. Do the Sector Guidelines also apply to Untied Financial Credits (UFK)?
    No, the published Sector Guidelines apply to Export Credit Guarantees (ECG) and Investment Guarantees (DIA) only. However, the German government will align all guarantee instruments of foreign trade promotion with a 1.5-degree pathway. In addition to the introduction of the Climate-UFK, criteria and requirements will be developed in the medium term that aim to align UFK guarantees with the 1.5-degree goal specifically.
     
  2. Do the Sector Guidelines also apply to Wholeturnover Policy (APG)?
    The Sector Guidelines only apply to Export Credit Guarantees and not for APG.
     
  3. How are applications issued by consortia handled?
    The focus of the climate assessment is on the project. The decisive factor for classification into one of the climate categories is what the supplies and services to be covered are used for. This also applies if several exporters deliver to a project as a consortium or if several banks jointly grant a loan to a foreign buyer.
     
  4. Are the sector guidelines to be applied for reinsurance from another European ECA?
    Reinsurance generally does not fall within the scope of the climate strategy. A plausibility check is carried out for projects that could potentially be classified as “red” and therefore could potentially not be eligible for coverage.
     
  5. What happens to transactions for which no sector guideline applies? 
    The following applies to ECG only: All transactions in the area of individual cover that do not fall under the Sector Guidelines but have a credit period of at least 2 years and a contract value of at least EUR 15 million, are analysed in the context of the Environmental, Social and Human Rights (ESHR) assessment on the basis of so-called “best-in-class”-benchmarks (Substantial Contribution Criteria for Climate Change Mitigation of the EU Taxonomy in accordance with Annex I of the Delegated Act on Climate Change Mitigation). Based on the results, these transactions are also classified into one of the three climate categories (green, white, red). 

    Sectors starting 1st November 2023 
    Key sector: 
    Climate categorisation according to the Sector Guidelines
    independent of contract value and
    payment terms

    Any other sectors: 
    Climate categorisation within the scope of the ESHR assessment
    contract value ≥ € 15 million and 
    payment terms≥ 24 months 
                                                                                      
    No assesment 
    contract value < € 15 million and/or 
    payment terms < 24 months

    The following applies to DIA only: All projects are analysed in the context of the Environmental, Social and Human Rights (ESHR) assessment on the basis of so called “best-in-class”-benchmarks (Substantial Contribution Criteria for Climate Change Mitigation of the EU Taxonomy in accordance with Annex I of the Delegated Act on Climate Change Mitigation). Based on the results, these projects are also classified into one of the three climate categories (green, white, red).

    The assessment of climate impacts is carried out for all projects that are not covered by a sector guideline in the course  of processing the application – regardless of whether it is a new application or a term extension.
     
  6. Can transactions with a volume of less than 15 million euros and payment terms of less than two years qualify for the green category?
    Transactions in the key sectors of the sector guidelines are subject to a climate assessment regardless of their volume and payment terms and can therefore qualify for the green category.

    For transactions in all other sectors with small volumes and short-term payment terms, there is an option to undergo a climate assessment if desired. Applicants therefore have the chance to qualify their project for the green category and the associated improved cover conditions. However, it should be noted that this may require longer processing of the application. In addition, information must be presented in accordance with the relevant requirements of the EHS Guidelines and the EU Taxonomy. 

    Please note that click&cover applications are not suitable for this procedure.
     
  7. What is the reference point for categorising retrofits in Export Credit Guarantees?
    The climate category of a retrofit is determined by the requirements of the respective climate category the retrofitted project will fulfil. For example, if the retrofit results in a project changing from the white to the green category, the green category is relevant. The same would apply to a retrofit that would move from the red category into the white category.

    Note: This FAQ refers exclusively to retrofits in the context of exports covered by ECG. There are no retrofits for the DIA Sector Guidelines, as DIA differentiates between new and existing projects.
     
  8. What is the reference point for the categorisation into new and existing projects for Investment Guarantees?
    In contrast to the Sector Guidelines for ECG, the criteria in the Sector Guidelines for DIA do not refer to a new construction and retrofitting but distinguish between new projects and existing projects. An existing project is defined as a project that – at the time when the Interministerial Committee (IMC) decides regarding this project - is already commissioned. If investors apply for a newly established project only after it has been commissioned, the applicant will have to demonstrate in each individual case that this was not intended to circumvent more demanding criteria.
     
  9. What needs to be taken into account in the context of projects with regard to the power supply in the destination country?
    There are no general requirements for the national electricity mix in the country of destination. However, certain sector guideline requirements refer to the level of greenhouse gas emissions from the production of the energy that is used by the project. For example, covering a plant for the production of primary aluminium is only possible (with unchanged cover conditions) if it uses electricity whose production is associated with emissions of less than 500g CO2e/kWh. This requirement applies to both self-generated energy and purchased electricity from the grid.
4. Does the Climate Strategy of the guarantee instruments lead to higher costs for applications and assessments? 
  1. Will the workload in the application process for an Export Credit Guarantee or an Investment Guarantee increase as a result of the climate strategy?
    The development of the Climate Strategy and the Sector Guidelines was guided by the principle of integrating additional climate policy requirements into existing procedures in the best possible way. Therefore, an approach was chosen that fits into the existing Environmental, Social and Human Rights (ESHR) assessment process and that uses the standards (e.g. those of the World Bank Group), tools (e.g. ESHR questionnaires) and processes already known to the applicants from this process.
    Reference standards in the Sector Guidelines are relevant, transparent and recognised beyond Export Credit Guarantees (ECG) and Investment Guarantees (DIA).

    With the Climate Strategy and the Sector Guidelines, the Federal Government adds an additional requirement to the application procedure for an Export Credit Guarantee or Investment Guarantee. This entails additional work for the applicant and the assessment of the application. However, the effort and complexity of the new climate policy requirements differs from sector to sector.
    Not every sector guideline requires extensive additional information for review. For transactions for which there are no sector guidelines and which fall within the scope of the ESHR assessment, the climate categorisation is carried out within the scope of the ESHR assessment on the basis of the World Bank standards and the EU Taxonomy. The only new feature for these transactions is a comparison with the requirements of the EU Taxonomy.

    For transactions in sectors for which there are no guidelines and which do not fall within the scope of the ESHR assessment (contract value < EUR 15 million or short-term payment terms), no climate assessment is required. For DIA, the ESHR assessment including the climate assessment will continue to take place for all projects.
     
  2. Are applicants given special support when applying for climate assessment? 
    To ensure a smooth introduction, various information and advisory services are provided, such as this FAQ as well as further information on the websites of the guarantee instruments: www.exportkreditgarantien.de and www.investitionsgarantien.de.

    Furthermore, the interactive tool "Climate Check" is available for ECG applicants. This tool can retrieve the applicable requirements for cover on the basis of limited information. Click here to access the tool. A comparable pre-categorisation is also carried out for the DIA applications on request: to the climate page on the DIA website.
     
  3. Who carries out the climate assessment for ECG?
    Once the application has been received, the climate assessment of the projects is carried out by the Department Sustainability (DST), which is also responsible for the assessment of environmental, social and human rights issues (ESHR). If an indication of climate categorization is required before the application is submitted, the “Climate Check” online tool can be used. Companies can also directly contact employees from the Department Sustainability.
     
  4. Is evidence from independent third parties required for the climate assessment?
    As with the ESHR-assessment, the statements made by the applicant are decisive for the climate assessment. Evidence from independent third parties such as certifications may be required in connection with individual requirements of the EU Taxonomy in order to qualify for the green climate category (e.g. production of low-carbon technologies, production of chlorine). If in hindsight it turns out that the applicant's information was incorrect, this could mean that the cover does not apply in the event of a claim.
     
  5. Does the processing time increase until an application is submitted to the IMC?
    The Climate Strategy and the Sector Guidelines further develop the application procedure for an ECG or an DIA. This entails additional work for the applicant and the application assessment. However, the effort and complexity of the new climate policy requirements differ from sector to sector. The criteria of the climate assessment are taken into account parallelly with other aspects to be assessed in the course of the application. The processing time for an application depends on the project and can be influenced by various aspects. It is therefore not to be expected that the climate assessment will result in additional work. This is in line with the experience from the pilot phases of the climate assessment in both instruments, in which no submission to the IMC was delayed.
5. The requirements refer to various regulations. What needs to be considered? 
  1. Does the EU Taxonomy also apply to exports and investments in developing and emerging countries?
    The requirements set out in the Sector Guidelines apply to all exports and investments - regardless of the destination country. The fulfilment of the requirements
    of the EU Taxonomy serves to classify a project for the green climate category and thus opens up access to improved cover conditions. A classification in the white category also provides access to cover, but only for promotion to the previous extent.
    Since the Climate Strategy is also to accompany and promote the transformation in the industrial and transport sectors, a clear definition of climate-friendly technologies is needed. So far, the EU Taxonomy the most comprehensive standard available for this purpose. Moreover, the EU Taxonomy allows an assessment of climate-friendliness at the level of an individual project. This focus is in line with the established Environmental, Social and Human Rights (ESHR) procedures of Export Credit Guarantees (ECG) and Investment Guarantees (DIA).

    In the sectors for which the EU Taxonomy (according to Annex I of the Delegated Regulation (EU) 2021/2139 of the EU Commission of 04.06.2021) does not provide corresponding criteria (e.g. civil aviation), other internationally recognised standards are used as a guidance for assessing the extent of climate-friendliness of the transactions or projects to climate protection. 
     
  2. Do only the "Substantial Contribution Criteria" of the EU Taxonomy apply or also the "Do No Significant Harm" criteria?
    To classify a project or transaction as particularly climate-friendly, the technical assessment criteria regarding a "Substantial Contribution to Climate Change Mitigation" according to Annex I of the Delegated Regulation (EU) 2021/2139 of the EU Commission of 04.06.2021 are applied.
    The criteria regarding the avoidance of significant harm to other environmental objectives ("Do No Significant Harm" criteria, DNSH) addresses aspects that are already adequately considered in by the ESHR assessment. Therefore, the DNSH criteria are not relevant in the context of the climate assessment.
     
  3. What happens if a project only narrowly misses the benchmarks values (EU Taxonomy or EHS Guideline)?
    In order to be classified into the climate categories, the respective criteria must be met. If a project does not meet the relevant criteria at the time of coverage, it is possible, as with the environmental, social and human rights issues (ESHR) assessment, to ensure compliance with the criteria through credit or guarantee agreements via agreed-upon requirements.
     
  4. What are the requirements for hydrogen?
    All requirements and definitions in the Sector Guidelines regarding hydrogen are consistent with the German government's National Hydrogen Strategy (NHS) and its update of July 2023.

    According to the NHS, projects that fall under the Sector Guidelines "Industry" and "Transport" - i.e. projects that only relate to the use of hydrogen and not to its production – can also make use of low-carbon blue, turquoise and orange hydrogen in addition to green hydrogen, insofar as this is necessary in the market ramp-up phase, without affecting the climate assessment negatively. According to NHS hydrogen must meet an ambitious threshold with regard to its CO2 intensity (25 grams CO2 eq./MJ H2, analogous to EU Taxonomy), considering the entire life cycle (LCA approach), which represents a significant saving compared to the comparative value for fossil fuels.
    Updates to the NHS will be considered in future reviews of the Sector Guidelines accordingly.
     
  5. The Sector Guidelines mention that alignment with the German Carbon Management Strategy (CMS) is still pending. What does this mean?
    As part of the evaluation of the German Carbon Dioxide Storage Act (KSpG) of 2022, climate neutrality studies were evaluated according to the necessity of using Carbon Capture, Utilisation and Storage (CCUS) technologies. In this context, the German government has decided to develop a carbon management strategy. In particular, it is important to define conceivable fields of application for these technologies in more detail and to work out the economic and regulatory framework conditions for a possible ramp-up of CCUS in Germany. Once the CMS has been adopted, the Sector Guidelines will be adjusted accordingly.
     
  6. What are the requirements for Carbon Capture, Utilisation and Storage (CCUS)?
    Until the CMS is adopted, the requirements of the EU Taxonomy (Climate Mitigation, Substantial Contribution Criteria) apply to CCUS. In addition, CCUS retrofits must have a capture rate of at least 85% (analogous to the OECD/CCSU1). The capture rate mentioned here is different from the general emission reduction criteria for an entire project.

     1 "The capture rate has to be at least 85% of CO2 emitted by the equipment included in the application for officially supported export credits. The 85% is to apply at normal operating conditions."
6. Are the Sector Guidelines in line with international and European requirements? 

In terms of economic and climate policy, the German government is acting jointly and in accordance with its international partners, who are also taking steps towards decarbonising industry / transforming the economy and shaping the framework for these processes. This applies to export promotion in particular within the framework of the Export Finance for Future (E3F) initiative, within which the German government is working towards a joint and coordinated implementation of the Glasgow Statement (COP 26 Statement) to end financial public support for projects in the international fossil energy sector. At the level of the OECD, the German government is working to ensure that its Climate Strategy and the Sector Guidelines are in line with the OECD Consensus, which is currently being reformed, particularly with regard to the revised and expanded Climate Change Sector Understanding (CCSU) for the promotion of climate-friendly projects. The German government also sees a convergence with the Net Zero strategies of public and private banks and companies, often derived from the same scientific scenarios. As part of the Climate Strategy, the German government is working with its partners to ensure an maintaining international level playing field through consistent implementation of joint commitments.

 

  1. Do projects that fall under the OECD Climate Change Sector Understanding (CCSU) automatically qualify for the green category? And vice versa?
    No, projects that fall into the green category of the climate strategy are not automatically within the scope of the CCSU, or vice versa. In addition, the requirements of the CCSU and the climate strategy may differ due to different objectives and target groups. However, overlaps are certainly possible and were sought both when developing the climate strategy and during the negotiations on the CCSU. In some sectors the requirements are the same (e.g. wind and solar energy). In other sectors the sector guidelines are stricter (e.g. bioenergy, transmission and distribution networks) and in some cases the requirements are not comparable. A definitive statement can therefore only be made on a case-by-case basis.
7. Not all criteria of the Sector Guidelines can be influenced by exporters and/or foreign customers. How can applicants deal with this challenge? 

In order to meet the challenges of climate change, it is becoming increasingly important to address aspects that are only indirectly influenced by one's own activities. For example, within the scope of the ESHR assessment it is also expected from applicants to influence associated facilities to the extent possible so that the requirements of the IFC Performance Standards are met adequately.
 

Moreover, if the Sector Guidelines refer to factors that lie in the responsibility of third parties, this predominantly concerns criteria that are intended to be a requirement for coverage from 2030 onwards. By 2030, the climate policy framework conditions in the target countries should have developed further. The planned reviews of the Sector Guidelines can be used to react to any developments.

8. How are greenhouse gas (GHG) life cycle emissions determined? 

For the determination of GHG life cycle emissions, recognised tools and standards referenced in the EU Taxonomy shall be used. In particular, the ISO 14067:2018(143) and ISO 14064-1:2018(144) standards as well as Recommendation 2013/179/EU (EU-COM Recommendation on the use of common methodologies for measuring and disclosing the environmental performance of products and organisations) should be mentioned as a basis for this.

9. What needs to be taken into account with regard to the improved cover conditions?
  1. Are the improved cover conditions granted automatically for transactions/projects classified as green? Can one choose not to take advantage of the improved conditions?
    If a transaction is classified as green, it qualifies for the associated improved cover conditions. During the application review process, it will be clarified which of the improved conditions the applicant wishes to utilise. An applicant is not obligated to use all possible improved conditions.
     
  2. Is an increased cover ratio of 98% also associated with a higher coverage fee compared to a cover ratio of 95%?
    Yes, an increased cover ratio is associated with a higher fee.

    [Note: The deductible reduced to 2.5% in the area of investment guarantees is NOT associated with a higher fee.]
     
  3. Are improved cover conditions always fully granted?
    With classification into the green climate category, a transaction qualifies for consideration of the associated improved cover conditions during the application process. The Interministerial Committee will still decide on cover commitments taking into account all relevant aspects of eligibility and risk acceptability.
Iqon FAQs

II - Questions on the "Climate-friendly Energy" Sector Guideline 

10. Will there be concrete targets for the portfolio share of renewable energies?

With the goal of bringing the respective portfolios of Export Credit Guarantees (ECG) and Investment Guarantees (DIA) to Net Zero by 2045/2050, the Climate Strategy contains an overall portfolio target. Achieving this target also requires a steady increase in the share of renewable energy in the energy portfolio of the guarantee instruments. A concrete target regarding a certain share of renewable energy projects is not envisaged and not possible, as the foreign trade promotion instruments are demand-driven.

11. How is it considered that renewable energies such as hydropower and bioenergy can have negative environmental and climate impacts? 

According to the Sector Guideline "Climate-friendly energy", these forms of energy are to be assigned to the green category only if the projects applied for cover meet the referenced requirements of the EU Taxonomy. In addition, the guidelines of the World Bank Group are taken into account as minimum standards within the established Environmental, Social and Human Rights (ESHR) assessment. The guidelines address significant nature conservation and social risks occuring from these forms of energy.

 

In the spirit of continuous improvement, the first review of the Sector Guidelines will also examine, the extent to which there is a need to adapt the standards applied so far based on the experience with climate-friendly energy projects.

12. How is nuclear energy treated in the Sector Guidelines? 

Since 2014, nuclear power generation facilities are no longer accepted for cover by ECG. Therefore, nuclear energy is not considered in the Sector Guidelines. For DIA, the nuclear energy sector has not been relevant so far and will play no crucial role in the future.

13. In which category are electricity grids, district heating and energy storage to be classified that do not meet the requirements of the EU Taxonomy

Electricity grids, district heating and energy storage that meet the referenced requirements of the EU Taxonomy are to be assigned to the green category. Projects that do not meet these requirements are to be assigned to the white category and therefore remain eligible for cover.

Iqon FAQs

III - Questions on the "Fossil Energy" Sector Guideline 

14. How was the level of ambition for the Fossil Energy Sector Guidelines derived and why does this partly deviate from the IEA NZE? 

From the introduction of the Sector Guidelines onwards, projects and transactions will only be eligible for cover if they are in line with the 1.5-degree pathway. This means that the cover policy will at least comply with the ambition level of the IEA NZE scenario.


The exemptions provided for in the Sector Guidelines are in line with the NZE scenario and the commitments of the German government as a signatory of the Glasgow Statement. The compliance with the 1.5-degree pathway requires the phase-out of fossil fuels. However, many technologies that enable the replacement of fossil fuels have yet to reach market maturity. In addition to the climate targets, other key requirements for the energy system must be ensured, e.g. diversification of energy imports serves to strengthen security of supply. In order to achieve the Paris climate goals scenarios such as those of the IPCC aim for (global) climate neutrality by 2050 (+/-5 years). For industrialised countries such as Germany, it is the goal to achieve greenhouse gas neutrality by 2045. Until then, decreasing investments in projects that use fossil energy sources as raw materials for energy production or as fuel are required. However, new investments might also be required. Consequently, for a limited period of time and given that they are in line with a 1.5-degree pathway Export Credit Guarantees and Investment Guarantees might still be provided for projects in the fossil energy sector.

15. Individual terms can be defined differently. Which definitions apply in the context of the Sector Guideline?
  1. What does "planned development" of upstream projects mean?
    The wording "... fields already developed or planned in 2021..." ensures that the Sector Guideline "Fossil Energy Sources" (natural gas) is in line with the IEA NZE scenario. Specifically, this results from the wording in the NZE scenario (e.g. p. 99: "[...] no new oil and natural gas fields are required beyond those that have already been approved for development."). 
    Therefore, an abstract intention to develop is not sufficient, but it must be possible to prove for the specific project that a permit or comparable approval already existed in 2021.
     
  2. How is H2-Readiness defined in the context of the Sector Guidelines? How is H2-Readiness to be distinguished from H2-Capable?
    H2-Capable is the term used for plants that can fully or partially be operated with hydrogen without further conversion. The term H2-Readiness and the associated effort of conversion are based on the definition of EUTurbines - the European association of gas and steam turbine manufacturers. The effort required to convert a gas-fired power plant to operate with the minimum proportions of hydrogen mentioned in respective sector guidelines is classified as low if the costs for this conversion are not disproportionate. EUTurbines assumes an indicative value of no more than 20% of the cost of constructing a new power plant. (=low effort). The requirement for 50% H2 readiness by 2030 is therefore met if a new power plant built today is designed in such a way that the power plant can achieve 50% H2 capability with low effort. From 2030 onwards, a new power plant must be able to achieve 100% H2 capability with low effort. The concrete assessment can only be made on a case-by-case basis. This consideration aims to accompany the ramp-up of H2-fueled power plants in foreign markets with German technology. 
     
  3. Are gas turbines or gas-fired power plants also eligible for funding independently of the H2-Readiness criterion if a concrete reduction in emissions is demonstrated by a "coal to gas shift"?
    In individual cases, the export of gas turbines with unchanged cover conditions is eligible for cover for a transitional period if
    1. the German contribution is demonstrably 50%-H2 ready, AND
    2. the German supplier has evidence certifying the 1.5-degree compatibility of its portfolio incl. Scope 3 emissions, e.g. via the Science Based Targets initiative AND
    3. the exports take place in the context of power plant projects that demonstrably make a significant, short-term contribution to emission reductions in the destination country and are in line with the country’s documented 1.5-degree compatible decarbonisation pathway, i.e. possible lock-in effects are avoided. For example, this assessment can be carried out following the Paris Alignment Methodology of the EBRD.
       
  4. Are gas turbines or gas power plants eligible for funding if a concrete reduction in emissions through a “coal to gas shift” can be demonstrated?
    No, a mere “coal to gas shift” is not sufficient due to possible lock-in effects. In individual cases, coverage may be temporarily available through an assessment according to question 15.3. (see above).
     
  5. Which limit values apply to new power plants or significant power plant expansions until 2025 and under which conditions will the limit value for GHG emissions to be developed until 2025 be applied?
    By 2025, a threshold for the expected GHG emissions will be developed based on the EU Taxonomy. For the transition phase until 2025, the fulfilment of the requirements for H2-Readiness (see above) is sufficient for the granting of unchanged cover conditions.

    From 2025 onwards, the then defined limit value must be considered. In order to take into account the availability of green or low-carbon hydrogen, compliance with the threshold becomes a binding condition as soon as sufficient green hydrogen is available in the respective market. The assessment of sufficient availability of green hydrogen in a respective market is based on the Bundesnetzagentur scenarios for the H2 market ramp-up in Germany. The availability will be checked in the course of the periodic reviews.
     
  6. What do "significant capacity expansion" and "significant lifetime extension mean?
    The materiality of capacity expansions and lifetime extensions must be determined in the specific project context. Some aspects that can also be included in the assessment contain the extent to which the lifetime and capacity extensions contradict the decarbonisation pathway of the respective destination country, jeopardise the 1.5-degree pathway and result in lock-in effects, etc.
     
  7. Does the sector guideline for fossil energy apply if the project to be covered includes the construction or expansion of a captive power plant?
    The focus of the climate assessment is the intended use of the deliveries and services to be covered. For example, the intended use of a plant for the paper industry would be the production of paper. If the project also includes the construction of a captive power plant and the supplies and services to be covered are intended for that purpose, the sector guideline for fossil energy would apply. If no supplies and services to be covered are intended for the captive power plant, the sector guideline for fossil energy would only apply if the  plant is coal-fired or if the installed capacity of the power plant is at least 50 MWth and the specific emissions of the power plant are at least 500g CO2e/ kWh.
16. There is sometimes a fine line between red, white and green. How are these projects classified? 
  1. How are projects or transactions for decommissioning or converting fossil energy infrastructure and for closing methane leaks classified?
    Provided that the conversion of fossil energy infrastructure leads to the project meeting the criteria stated under the Sector Guideline "Climate-friendly Energy", the project/transaction would be assessed by this guideline. Therefore, the conversion could be allocated to the green category. For decommissioning-projects, there is less experience so far to attribute a substantial contribution to climate protection of such projects in general. In the course of the first review, it will be examined whether decommissioning-projects can be allocated to the green climate category.
    The reduction of methane emissions is also considered to play a significant role in meeting the 1.5-degree goal according to the IEA NZE scenario. Therefore, projects that serve to close methane leakages remain eligible for coverage in the white category, even if they are related to fossil energy.
     
  2. Are coal-fired power plants eligible for cover in connection with CCUS?
    Since 2020 coal-fired power plants are no longer eligible for cover.
     
  3. How should gas networks be classified for the transport of low-emission gases?
    The Sector Guideline "Climate-friendly Energy" provides that infrastructure that is built or retrofitted for the use of renewable or low-emission gases can be classified in the green climate category.
    New gas infrastructure that would only be ready for conversion but is initially and in the future used for natural gas and does not fulfil the exceptions listed in fossil energy guideline sub-item “Exploration/Production/Processing” is no longer eligible for cover.
     
  4. How is the extraction of natural gas for the production of hydrogen classified?
    In accordance with the German government's National Hydrogen Strategy, only the production of green hydrogen can receive direct financial support (especially through subsidies). For international projects, this will be clarified within the framework of the still outstanding Hydrogen Import Strategy.
17. How will transparency be created on methodology and testing related to lock-in effects, security of supply, 1.5-degree compatibility and evidence-based judgements? 

The review methodology is developed and refined on the basis of individual cases in order to reflect respective project realities. During the review process, transparency can only be provided for current applications to the extent that company and transaction specific non-disclosure criteria are met and no negative effects occur on bilateral relations with the partner countries in which the projects take place. For this reason, transparency can only be created in an abstract manner as soon as empirical results from several application procedures are available. In order to meet the need for comprehensibility of the decisions of various stakeholders, the German government will seek ways to report and advise on the experiences and concrete implementation of the review methodology in a continuous dialogue with stakeholders.

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IV - Questions on the "Chemistry" Sector Guideline 

18. Are petrochemical projects and refineries to be classified under the "Chemicals" Sector Guideline? 

Petrochemical projects and refineries are assigned on a case-by-case basis and based on their project-specific design either to the Sector Guideline for chemicals or assessed in the ESHR review with regard to their climate policy eligibility.

19. Which chemicals are subsumed under "Other Chemicals"? 

The Sector Guideline "Other Chemicals" serves as a framework for processes in the chemical industry that cannot be assigned to the specialised chemical Sector Guidelines. In this Sector Guideline a qualification for the green category is possible if corresponding emission benchmarks are listed in the EU Taxonomy and fulfilled. This is congruent with the approach of the Climate Strategy that only projects that make a special contribution to decarbonisation can qualify for the green category.

20. How the Sector Guidelines for chemicals, the use of fossil raw materials and energy is excluded from 2030 onwards - subject to proof of the economic viability of sustainable production processes. What does this mean?

Currently, many sustainable production processes for chemical substances are still in the early stages of development and are not yet market-ready. Market maturity here refers to both technological maturity as well as the economic feasibility of respective decarbonisation measures (e.g. availability and cost of renewable energy sources or raw materials). By 2030, the Sector Guidelines will have gone through two review cycles. In these reviews, the market readiness of known processes will be assessed again. For this purpose, relevant scientific findings will be consulted, such as the IEA's ETP Clean Energy Technology Guide, as well as the experience reports of chemical plant manufacturers.

21. In the Sector Guidelines for chemicals, the use of fossil raw materials and energy is excluded from 2030 onwards - subject to proof of the economic viability of sustainable production processes. What does this mean?

Currently, many sustainable production processes for chemical substances are still in the early stages of development and are not market-ready yet. In this case, market maturity refers to both the technological maturity as well as the economic feasibility of respective decarbonisation measures (e.g. availability and cost of renewable energy sources or raw materials). By 2030, the Sector Guidelines will have gone through two review cycles. In these reviews, the market readiness of known processes will be assessed again. Regarding this purpose, relevant scientific findings will be consulted, such as the IEA's ETP Clean Energy Technology Guide, as well as the experience reports of chemical plant manufacturers.

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V - Questions on the "Metal" Sector Guideline 

22. Which new installations for iron and steel production can qualify for cover? 

All installations or processes that meet the relevant requirements of the EU Taxonomy and are not exempt from cover under the red category (traditional BF-BOF blast furnace route and coking plants) can qualify for the green category. The white category includes all plants or processes (irrespective of technology) that comply with the requirements described there and that do not fall into the red category. This includes particularly, processes with direct reduction (DRI) and electricity-based processes. Some examples are DRI-EAF plants, DRI smelter BOF/EAF plants or iron ore electrolysis EAF plants. From 2030 onwards, processes that rely on fossil gases must be converted to use sustainable hydrogen.

23. Is the white category stricter than the green category with regard to the Hot Metal Benchmark? 

In the EU Taxonomy, the Hot Metal Benchmark refers to plants using the traditional blast furnace route (BF-BOF). For other processes / technologies the benchmark is not applicable. In the white category, the Hot Metal Benchmark is introduced as a reference for all processes / technologies. It is intended that through this all technologies are covered, for which no separate standard has been defined in the EU Taxonomy explicitly (e.g. direct reduction processes). In order to recognise the fact that the Hot Metal Benchmark was originally designed as a reference for the particularly emission-intensive blast furnace route – and thus a mere undercutting by other low-emission technologies does not correspond to the ambition level of the Climate Strategy – the white category demands an undercutting of at least 40%.

24. Are coking plants and coal processing plants at iron and steel plants assigned to the Sector Guideline "Metal" or to the Sector Guideline "Fossil Energy"?  

Insofar as the coking plants or coal processing plants are physically and technically connected to the iron / steel plant and are essential for its operation, they fall under the Sector Guideline "Metal".

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VI - Questions on the "Civil Aviation" Sector Guideline 

25. When does the “Civil Aviation” Sector Guideline enter into force? 

Euler Hermes is in close contact with its partner-ECAs UKEF and BPI France, which are relevant for Airbus transactions, in order to establish common criteria for the climate assessment of Airbus transactions. The issue is also being considered at OECD level in the discussions for an international level playing field via the Aviation Sector Understanding (ASU). The Sector Guideline "Civil Aviation" enters into force with the Climate Strategy and will be applied as soon as the coordination with the two partner-ECAs has been completed. The affected policyholders will be informed in time.

26. Does the requirement, relevant from 2030, that the state participates in CORSIA also apply to states that are exempt from the mandatory participation in CORSIA from 2027 onwards?

No, states that are exempt from the mandatory application phase of CORSIA do not need to fulfill this requirement. This applies to states whose individual share of international aviation activities in Revenue Tonne Kilometers (RTKs) in 2018 was below 0.5% of the total RTKs and to states not listed among those that account for 90% of total RTKs. Additionally, it applies to states defined as least developed countries (LDCs), small island developing states (SIDS), and landlocked developing countries (LLDCs), regardless of their share of international aviation RTKs.

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VII - Questions on the "Civil Shipping" Sector Guideline 

27. Why was the EEDI value selected as a criterion for assessment? 

The EEDI (Energy Efficiency Design Index) is an index designed by the International Maritime Organization (IMO) that represents a minimum standard for assessing the efficiency of ships. Moreover, the EEDI was selected as an assessment criterion because it relates to the design or technical construction parameters of a ship. Therefore, it can be checked at the time of coverage through an Export Credit Guarantee. Since retrofitted ships must also comply with the EEDI IMO reference values, it is useful to refer to the EEDI with regard to retrofitting.

28. What provisions apply to ships with a gross tonnage (GT) below the established GT application threshold of 2,000?

For ships that do not fall within the scope of the Sector Guideline as defined by the GT, climate categorisation is carried out out based on the requirements of so-called best-in-class benchmarks (Substantial Contribution Criteria for Climate Change Mitigation of the EU taxonomy in accordance with Annex I of the Commission Delegated Regulation (EU) 2021/2139 of June 4, 2021) out as part of the ESHR assessment. Thus, small ships can thus also qualify for the green climate category.

29. For what purpose is the reporting of the AER value required? 

The Annual Efficiency Ratio (AER) value shows how emission-intensive a ship operates each year. It is an important source of data for the review cycles of the Sector Guidelines and to track the market ramp-up of sustainable fuels in the shipping sector.

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VIII - Questions on the "Passenger and Commercial Vehicles" Sector Guideline 

30. Will there be a sector guideline for cars in ECG? 

For both instruments, sector guidelines were only developed for sectors which, in addition to their outstanding importance for decarbonisation, also have a high relevance within the respective portfolios of ECG or DIA. Regarding passenger cars and light commercial vehicles, this applies in the area of DIA, but not in the area of ECG, since applications for cover for deliveries and services in connection with the production of passenger cars and light commercial vehicles are made rarely. However, for transactions in this area, there is also the possibility of not obtaining cover or qualifying for the green category if minimum benchmarks are not met, via climate assessment in the context of the ESHR review. A classification for the green category could be accomplished via compliance with the respective Substantial Contribution Criteria for Climate Change Mitigation of the EU Taxonomy. Qualification for the green climate category would thus be possible, especially for supplies and services for electric vehicle manufacturing projects.

31. How is the financing of facilities used to produce zero-emission vehicles classified?

For export credit guarantees, passenger cars and light commercial vehicles do not fall under the sector guidelines of ECG. For transactions in this area, however, there is also the possibility of not obtaining cover or qualifying for the green category through the Benchmark Aclimate assessment via benchmarksif minimum benchmarks are not met, via climate assessment in the context of the ESHR review. A classification for the green category could for instancecan be accomplished via compliance with the respective Substantial Contribution Criteria for Climate Change Mitigation of the EU Taxonomy. Qualification for the green climate category would thus especially be possible for supplies and services related to electric vehicle manufacturing projects.

32. Is the battery industry included in the DIA Sector Guideline for “Passenger Cars”? 

The Sector Guidelines were developed within both instruments for sectors that, in addition to their outstanding importance for the decarbonisation of the economy, also have a high relevance within the respective portfolios of ECG or DIA. Although the battery industry is essential for the transformation of the transport sector, only a very small share of the covered transactions/projects is attributable to this industry. Accordingly, no separate sector guideline was developed for this sector and the battery industry was not integrated into the Sector Guideline “Passenger Cars”. Nevertheless, transactions/projects for battery production can benefit from improved coverage conditions in connection with climate categorisation in the context of the ESHR assessment, as battery production makes a significant contribution to climate protection according to the Substantial Contribution Criteria for Climate Change Mitigation of the EU Taxonomy.

If you have any further questions that are not addresses in the FAQ, please do not hesitate to contact the appropiate person. 

For questions on the climate strategy and the sector guidelines for Export Credit Guarantees, please feel free to contact the climate team at Euler Hermes:

Send message 

 

For questions related to investment guarantees, please contact PwC:

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Monitoring the progress based on the Greenhouse Gas Footprint

Progress in aligning the export credit guarantees (ECG) portfolio with the 1.5-degree target is measured by its greenhouse gas (GHG) footprint. There is currently no international standard for calculating the portfolio emissions of a promotion instrument such as the ECG. Therefore, an approach was developed based on the ‘Financed Emissions’ standard for banks of the Partnership for Carbon Accounting Financials (PCAF). The GHG footprint was calculated for the first time for the year 2022. This calculation serves as the baseline for the net-zero target of the climate strategy for ECG.

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Uwe Fitschen
Assessment of environmental, social and human rights issues, climate assessment
Omoniyi Osoba
ESG, Climate Strategy & Assessment