Press release

RGI Statement on Renewables Acceleration Areas

Published 26 February 2024

The Renewables Grid Initiative (RGI) welcomes the opportunity to provide feedback to the call for evidence with regard to the upcoming guidance on designating renewable acceleration areas.

RGI, with our members, responded to the European Commission’s call for evidence on the renewables acceleration areas. It is acknowledged that, if well designed, the renewable acceleration areas can be valuable tools towards the swift development of variable renewable energy sources (RES) in the European Union. A balanced approach can increase predictability and certainty for new investments. However, renewables acceleration areas represent a make-or-break opportunity rather than offering a blank check. They demand careful consideration. They should also not become tools to fuel public opposition. Instead, Member States should adopt a holistic approach towards processes and solutions, encompassing technical, environmental, and societal aspects.

Moreover, alongside the process of designating the renewables acceleration areas, Member States and the European Union should identify and further tackle the root causes of delays in electricity infrastructure development within and beyond the framework of acceleration areas.

We strongly believe in identifying synergies between RES generation and electricity grids while minimising drawbacks. Simultaneously, we aim to accelerate RES development hand in hand with nature protection and restoration, as well as expedite the energy transition through enhanced public acceptance. To achieve these three goals requires the  European Union to:

  • Designate renewables acceleration areas following an optimised and forward-looking energy system planning to incorporate system-level and demand-side efficiency, including energy demand reduction, prioritising optimal use of resources and reducing spatial needs.
  • Encompass existing and future spatial planning tools and instruments in a coordinated and coherent manner, aligning with the identified protected areas for nature.
  • Provided clarity on the envisaged mitigation, nature enhancement and restoration measures, which should be tailored to the affected species and habitats. 
  • Promote engaging early, regularly, and meaningfully with relevant stakeholders, including TSOs, NGOs and the general public, to prevent societal backlash.

For a more detailed overview of RGI’s response to the call for evidence on the renewable acceleration areas please download the full statement below.

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Stephanie Bätjer

Stephanie Bätjer is leading the Renewables Grid Initiative’s communication and event activities as Programme Manager – Communication. She is also heavily involved in RGI’s policy work and all activities that look at social engagement around grids. She previously worked in the communications team of the European Climate Foundation. Stephanie has studied at the Universities of Marburg and Hamburg, Germany, and the University of Southern Queensland, Australia. She holds degrees in political science and journalism.

Alexandros Fakas Kakouris

Alexandros Fakas Kakouris

Alexandros joined RGI in March 2021 to support its Advocacy team. He is a fully qualified lawyer in Greece and prior to RGI worked as legal counsel in law firms and corporate environments in Greece and Germany. He holds a Bachelor of Laws (LLB) from the Aristotle University of Thessaloniki (AUTH) and he is currently pursuing a Master of Business Law (MBL) with a focus on European and International Energy Law at the Technical University of Berlin.